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OTHER-2025-035-Orange County North Carolina limited obligation bonds series 2025
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OTHER-2025-035-Orange County North Carolina limited obligation bonds series 2025
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Last modified
5/21/2025 9:36:54 AM
Creation date
5/21/2025 9:34:53 AM
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BOCC
Date
5/20/2025
Meeting Type
Business
Document Type
Others
Agenda Item
6-a-4
Document Relationships
Agenda 05-20-25; 12-1 - Information Item - May 6, 2025 BOCC Meeting Follow-up Actions List
(Attachment)
Path:
\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda 05-20-25; 12-2 - Information Item - Memorandum - Financial Report - Third Quarter FY 2024-25
(Attachment)
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\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda 05-20-25; 5-a - Public Hearing on Draft HOME 2025-29 Consolidated Plan
(Attachment)
Path:
\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda 05-20-25; 5-b - Public Hearing on Draft HOME 2025 Annual Action Plan (AAP)
(Attachment)
Path:
\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
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
(Attachment)
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\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda 05-20-25; 8-a - Minutes
(Attachment)
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\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda 05-20-25; 8-b - Fiscal Year 2024-25 Budget Amendment #9
(Attachment)
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\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda 05-20-25; 8-c - Opioid Settlement Fund Spending Authorization Resolution and Approval of Budget Amendment #9-A
(Attachment)
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\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda 05-20-25; 8-d - Emergency Medical Services (EMS) Week Proclamation
(Attachment)
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\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda 05-20-25; 8-e - Heat Awareness Week Proclamation
(Attachment)
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\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda 05-20-25; 8-f - Approval of License Agreement with TABLE Ministries, Inc. for Use of a Portion of Future Twin Creeks Park for Agricultural Production
(Attachment)
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\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda 05-20-25; 8-g - Orange County Health Department Refresh Construction Contract Award
(Attachment)
Path:
\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda 05-20-25; 8-h - FY25 Quarter 4 Annual Work Program Amendments for Transit and Approval of Budget Amendment #9-B
(Attachment)
Path:
\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda 05-20-25; 8-i - Amendments to the Orange Unified Transportation (OUT) Board Policies and Procedures
(Attachment)
Path:
\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda 05-20-25; 8-j - Resolution Authorizing Sale of Property for the Sheriff’s Office
(Attachment)
Path:
\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda 05-20-25; 8-k - Approval of Interlocal Agreement Amendment, Contract Award for Comprehensive Emergency Operations Plan Update, and Approval of Budget Amendment #9-C
(Attachment)
Path:
\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda 05-20-25; 8-l - Boards and Commissions – Appointments
(Attachment)
Path:
\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
Agenda for May 20, 2025 BOCC Meeting
(Attachment)
Path:
\Board of County Commissioners\BOCC Agendas\2020's\2025\Agenda - 05-20-2025 Business Meeting
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ORIGINAL ISSUE DISCOUNT <br /> The 2025 Bonds maturing on October 1 , (collectively, the "Discount Bonds") are being <br /> sold at initial offering prices which are less than the principal amounts payable at maturity . Under the Code, <br /> the difference between (a) the initial offering prices to the public (excluding bond houses and brokers) at <br /> which a substantial amount of each maturity of the Discount Bonds is sold and (b) the principal amount <br /> payable at maturity of such Discount Bonds constitutes original issue discount treated as interest which ( in <br /> the case of the 2025 Bonds) will be excluded from the gross income of the owners of such Discount Bonds <br /> for federal income tax purposes . <br /> In the case of an owner of a Discount Bond, the amount of original issue discount on such Discount <br /> Bond is treated as having accrued daily over the term of such Discount Bond on the basis of a constant <br /> yield compounded at the end of each accrual period and is added to the owner ' s cost basis of such Discount <br /> Bond in determining, for federal income tax purposes, the gain or loss upon the sale, redemption or other <br /> disposition of such Discount Bond ( including its sale, redemption or payment at maturity) . Amounts <br /> received on the sale, redemption or other disposition of a Discount Bond which are attributable to accrued <br /> original issue discount on such Discount Bond will be treated (in the case of the 2025 Bonds) as interest <br /> exempt from gross income, rather than as a taxable gain, for federal income tax purposes , and will not be a <br /> specific item of tax preference for purposes of the federal alternative minimum tax imposed on corporations <br /> and individuals . However, it should be noted that with respect to certain owners , a portion of the original <br /> issue discount that accrues in each year w may result in other collateral federal income tax consequences <br /> for certain taxpayers in the year of accrual . Consequently, owners of a Discount Bond should be aware that <br /> the accrual of original issue discount on any Discount Bond in each year may result in a federal alternative <br /> minimum tax liability or other collateral federal income tax consequences, even though such corporate <br /> owner may not have received any cash payments attributable to such original issue discount in such year . <br /> Original issue discount is treated as compounding semiannually (which yield is based on the initial <br /> public offering price of such Discount Bond) at a rate determined by reference to the yield to maturity of <br /> each individual Discount Bond . The amount treated as original issue discount on a Discount Bond for a <br /> particular semiannual accrual period is equal to (a) the product of ( 1 ) the yield to maturity for such Discount <br /> Bond (determined by compounding at the close of each accrual period) and (2) the amount which would <br /> have been the tax basis of such Discount Bond at the beginning of the particular accrual period if held by <br /> the original purchaser, less (b) the amount of interest payable on such Discount Bond during the particular <br /> accrual period . The tax basis is determined by adding to the initial public offering price on such Discount <br /> Bond the sum of the amounts which have been treated as original issue discount for such purposes during <br /> all prior accrual periods . If a Discount Bond is sold between semiannual compounding dates, original issue <br /> discount which would have accrued for that semiannual compounding period for federal income tax <br /> purposes is to be apportioned in equal amounts among the days in such compounding period . <br /> The Code contains additional provisions relating to the accrual of original issue discount in the case <br /> of owners of the Discount Bonds who subsequently purchase any Discount Bonds after the initial offering <br /> or at a price different from the initial offering price during the initial offering of the 2025 Bonds . Owners <br /> of Discount Bonds should consult their own tax advisors with respect to the precise determination for <br /> federal and state income tax purposes of the amount of original issue discount accrued upon the sale, <br /> redemption or other disposition of a Discount Bond as of any date and with respect to other federal , state <br /> and local tax consequences of owning and disposing of a Discount Bond . It is possible that under the <br /> applicable provisions governing the determination of state or local taxes, accrued original issue discount on <br /> a Discount Bond may be deemed to be received in the year of accrual even though there will not be a <br /> corresponding cash payment attributable to such original issue discount until a later year . <br /> 19 <br />
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