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200406350 <br />References are to the Internal Revenue Code as amended and in effect on the date of issuance of bonds, the <br />proceeds of which will be used to finance the Security Instrument and are deemed to include the <br />implementing regulations. <br />BY SIGNING BELOW, Borrower accepts and agrees to the terms and provisions in this Tax- Exempt Financing Rider. <br />�c4 a Z Umj c b� <br />Borrower LUKIL L AMENDE <br />Borrower <br />❑ VA MORTGAGE ADDENDUM ONLY <br />If, so long as the Mortgage is outstanding, all or part of the property is sold or transferred by Borrower without <br />Lender's prior written consent, other than a transfer by devise, descent or by operation of law, the Lender may, at Lender's <br />option, declare all the sums secured by the Mortgage to be immediately due and payable. <br />Date <br />Borrower <br />Borrower <br />❑ CONVENTIONAL MORTGAGE LOAN ADDENDUM ONLY <br />THIS TAX - EXEMPT FINANCING RIDER is made this day of 120 and is incorporated into and <br />shall be deemed to amend and supplement the Mortgage, Deed of Trust or Security Deed ( "Security Instrument ") of the same <br />date given by the undersigned ( "Borrower ") to secure Borrower's Note ( "Note ") to <br />( "Lender ") of the same date and covering the property described in the Security Instrument and located at: <br />In addition to the covenants and agreements made in the Security Instrument, Borrower and Lender further covenant and agree <br />to amend Paragraph 17 of the Uniform Mortgage Form, entitled "Transfer of the Property as a Beneficial Interest in Borrower" <br />as by adding additional grounds for acceleration as follows: <br />Lender, or such of its successors or assigns as may be separate instrument assume responsibility for assuring <br />compliance by the Borrower with the provisions of this Tax - Exempt Financing Rider, may require immediate payment in full <br />of all sums secured by this Security Instrument if: <br />(a) All or part of the Property is sold or otherwise transferred by Borrower to a <br />purchaser or other transferee: <br />(i) Who cannot reasonably be expected to occupy the property as a principal Residence within <br />a reasonable time after the sale or transfer, all as provided in Section 143(c) and (1)(2) of <br />the Internal Revenue Code; or <br />