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<br />tkce best kno-:Tled~e anal belief of :the Issuer, t!:ere are no <br />fzcts oi- circu~~,stances that would materially chznge the <br />£ore~oing co:lclusion. <br />Issues and Trustee covenant and certify to each ether <br />and to and for the beZtefi t of the purchasers of the 1982 <br />Bonds that no use will be made os" the proeeeds from t?ze <br />issue and sale. of the 1982 Bonds which, if such use had veem <br />reasonably e.~gected on the date of issue of the 1.982 Bonds, <br />would have caused the 1982 Bonds to be classified as arbitrage <br />bonds within the meaning o£ Section 103 (c) (2) o.f the Internal <br />- Revenue Code of 19.54, as amended. Pursuant to such eot*enant, <br />Issuer and Trustee jointly and severally obligate tha*:selves <br />to comp3y throughout the tern o£ the issue of the 1982 Bonds <br />wi t,:z the resquire.~ne*ats o£ Section 103 (c) of the Irterrai <br />Revem:e Code o£ 1954, as a<^ended, aad any regulations <br />pra:;ulgated thereu:der. - <br />-,'= 5., <br />