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allowed. Purchasers of any Premium Bonds at a premium, whether at the time of initial issuance or <br /> subsequent thereto, should consult with their own tax advisors with respect to the determination and <br /> treatment of premium for federal income tax purposes and with respect to state and local tax consequences <br /> of owning such Premium Bonds. <br /> Holders of Premium Bonds should consult their tax advisors with respect to computation and <br /> accrual of original issue discount and with respect to the state and local tax consequences of owning <br /> Discount Bonds and Premium Bonds. <br /> Original Issue Discount <br /> The Series 2022A Bonds having a stated maturity of June 1,20 (the"Discount Bond") are being <br /> sold at a discount from the principal amount payable on such Series 2022A Bonds at maturity. The <br /> difference between the price at which a substantial amount of the Discount Bonds of a given maturity is <br /> first sold to the public(the"Issue Price")and the principal amount payable at maturity constitutes"original <br /> issue discount"under the Code. The amount of original issue discount that accrues to a holder of a Discount <br /> Bond under section 1288 of the Code is excluded from federal gross income and from State taxable net <br /> income of individuals, estates, and trusts to the same extent that stated interest on such Discount Bond <br /> would be so excluded. The amount of the original issue discount that accrues with respect to a Discount <br /> Bond under section 1288 is added to the owner's federal and State tax basis in determining gain or loss <br /> upon disposition of such Discount Bond(whether by sale, exchange, redemption or payment at maturity). <br /> Original issue discount is taxable under the State franchise tax on corporations and financial institutions. <br /> Interest in the form of original issue discount accrues under section 1288 pursuant to a constant <br /> yield method that reflects semiannual compounding on dates that are determined by reference to the <br /> maturity date of the Discount Bond. The amount of original issue discount that accrues for any particular <br /> semiannual accrual period generally is equal to the excess of(1)the product of(a) one-half of the yield on <br /> such Bonds(adjusted as necessary for an initial short period)and(b)the adjusted issue price of such Bonds, <br /> over(2)the amount of stated interest actually payable. For purposes of the preceding sentence,the adjusted <br /> issue price is determined by adding to the Issue Price for such Bonds the original issue discount that is <br /> treated as having accrued during all prior semiannual accrual periods. If a Discount Bond is sold or <br /> otherwise disposed of between semiannual compounding dates,then the original issue discount that would <br /> have accrued for that semiannual accrual period for federal income tax purposes is allocated ratably to the <br /> days in such accrual period. <br /> If a Discount Bond is purchased for a cost that exceeds the sum of the Issue Price plus accrued <br /> interest and accrued original issue discount,the amount of original issue discount that is deemed to accrue <br /> thereafter to the purchaser is reduced by an amount that reflects amortization of such excess over the <br /> remaining term of such Bond. <br /> Except for the State rules described above,no opinion is expressed as to state and local income tax <br /> treatment of original issue discount. It is possible under certain state and local income tax laws that original <br /> issue discount on a Discount Bond may be taxable in the year of accrual, and may be deemed to accrue <br /> differently than under federal law. <br /> Holders of Discount Bonds should consult their own advisors with respect to computation and <br /> accrual of original issue discount and with respect to the State and local tax consequences of owning such <br /> Discount Bonds. <br /> 43 <br />