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Agenda 05-20-25; 6-a - Adoption of the Final Financing Resolution Authorizing the Issuance of Installment Purchase Financing for Various Capital Investment Plan Projects
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Agenda 05-20-25; 6-a - Adoption of the Final Financing Resolution Authorizing the Issuance of Installment Purchase Financing for Various Capital Investment Plan Projects
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5/15/2025 10:58:23 AM
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BOCC
Date
5/20/2025
Meeting Type
Business
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Agenda
Agenda Item
6-a
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88 <br /> of Gary Donaldson, Chief Financial Officer, 131 West Margaret Lane, Third Floor, PO Box 8181, <br /> Hillsborough,North Carolina 27278. <br /> LEGAL MATTERS <br /> LITIGATION <br /> [County to confirm] To the best of the knowledge of the County, no litigation is now pending or <br /> threatened against or affecting the County which seeks to restrain or enjoin the authorization, execution or <br /> delivery of the 2025 Bonds, the Trust Agreement or the Modified Deed of Trust, or which contests the <br /> County's creation, organization or corporate existence, or the title of any of the present officers thereof to <br /> their respective offices or the authority or proceedings for the County's authorization, execution and <br /> delivery of the 2025 Bonds,the Trust Agreement or the Modified Deed of Trust, or the County's authority <br /> to carry out its obligations thereunder or which would have a material adverse impact on the County's <br /> condition, financial or otherwise. <br /> OPINIONS OF COUNSEL <br /> Legal matters related to the execution, sale and delivery of the 2025 Bonds are subject to the <br /> approval of Sanford Holshouser LLP. Certain legal matters will be passed upon for the County by its <br /> counsel, John L. Roberts, Esq., and for the Underwriters by their counsel, McGuireWoods LLP. The <br /> opinion of Sanford Holshouser LLP, as Bond Counsel, substantially in the form set forth in Appendix D <br /> hereto,will be delivered at the time of the delivery of the 2025 Bonds. <br /> Bond Counsel's approving legal opinion expresses Bond Counsel's professional judgment as to the <br /> legal issues explicitly addressed in the opinion. By rendering a legal opinion, an opinion giver does not <br /> become an insurer or guarantor of that expression of professional judgment,of the transaction opined upon, <br /> or of the future performance of parties to the transaction. Additionally, the rendering of an opinion does <br /> not guarantee the outcome of any legal dispute that may arise out of the transaction, and a bond opinion is <br /> not a statement (either expressly or by implication) concerning the marketability, value or likelihood of <br /> payment of the bonds. <br /> Bond Counsel has not been engaged to investigate the County's operations or condition or the <br /> County's ability to provide for payments on the 2025 Bonds. Bond Counsel will express no opinion(1)as <br /> to the County's financial condition or its ability to provide for payments on the 2025 Bonds,or(2)as to the <br /> accuracy,completeness or fairness of any information that may have been relied on by anyone in making a <br /> decision to purchase 2025 Bonds,including this Official Statement. Bond Counsel has,however,provided <br /> the sample legal opinion form that appears as Appendix D,prepared the document summaries that appear <br /> as Appendix C,and approved the descriptions in this Official Statement of(1)the terms of the 2025 Bonds <br /> and the financing documents and (2) its legal opinion. In this transaction, Bond Counsel serves only as <br /> bond counsel to the County. <br /> TAX TREATMENT [Bond Counsel to review] <br /> OPINION OF BOND COUNSEL <br /> Tax Treatment of 2025 Bonds. In the opinion of Sanford Holshouser LLP, Carrboro, North <br /> Carolina, Bond Counsel for the County("Bond Counsel"),under existing law, interest on the 2025 Bonds <br /> (1) will not be included in gross income for federal income tax purposes, and (2) will be exempt from <br /> existing State of North Carolina income taxation.Interest on the 2025 Bonds is not a separate tax preference <br /> item for purposes of the federal alternative minimum tax; however, such interest is taken into account in <br /> 17 <br />
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