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99 �Q � B� � <br /> (vii) documentation to support each Qualified LIHTC Tenant's annual <br /> income certification(for example, a copy of the Qualified LIHTC Tenant's federal <br /> income tax return,Forms W-2 or verifications of income from third parties such as <br /> employers or state agencies paying unemployment compensation). With respect to <br /> Qualified LIHTC Tenants only,in the case of a tenant receiving housing assistance <br /> payment� under Section 8,the documentation requirement of this subsection(k) is <br /> satisfied if the public housing authority provides a statement to the Borrower <br /> declaring that the tenant's income does not exceed the applicable income limit under <br /> Code Section 42(g); <br /> (viii) the eligible basis and the qualified basis of the building at the end of <br /> the first year of the Qualified Project Period(LIHTC); and <br /> (ix) the character and use of the nonresidential portion of the building <br /> included in the eligible basis of the building under Section 42(d) of the Code (e.g., <br /> tenant facilities that are available on a comparable basis to all tenants and for which <br /> no separate fee is charged for use of the facilities,or facilities reasonably required by <br /> the project). <br /> (1) The Borrower agrees to permit any duly authorized representative of the <br /> Issuer,the Department of the Treasury or the Internal Revenue Service to inspect the books <br /> and records of the Borrower pertaining to the incomes of the Qualified LIHTC Tenants <br /> residing in the Project. <br /> (m) The Borrower shall submit any other information,documents or certifications <br /> requested by the Issuer and the Trustee which the Issuer or the Trustee shall deem reasonably <br /> necessary to substantiate the Borrower's continuing compliance with the provisions of the <br /> occupancy restrictions specified in this Regulatory Agreement. <br /> (n) At all times during the terms of this Regulatory Agreement, the Applicable <br /> Set-Aside Percentage(LIHTC)of the Dwelling Units shall be occupied by Qualified LIHTC <br /> Tenants subject, however, to the right of the Borrower as afforded in Section 42(g) of the <br /> Code and the related Regulati.ons to lease Dwelling Units to individuals initially qualifying <br /> as Qualified LIHTC Tenants but whose income is subsequently increased above the <br /> established income ceiling. <br /> Section S. Tax-exempt Status of the Bonds. The Borrower makes the following <br /> representations,warranties and agreements for the benefit of the Issuer,the Trustee and any and all <br /> holders of the Bonds at any time: <br /> (a) The Borrower will not knowingly take or permit, or omit to take or cause to <br /> be taken,as is appropriate,any action that would adversely affect the Tax-exempt nature of <br /> the interest on the Bonds ("Adverse Action or Omission") and, if it should take or permit, <br /> or omit to take or cause to be taken, any such Adverse Action or Omission, it will take all <br /> lawful actions necessary to rescind or correct such Adverse Actions or Omissions promptly <br /> upon obtaining knowledge thereof. The Borrower may assume that actions required to be <br /> 18 <br />