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INDEX OF DEFINED TERMS - Banca di Legnano

INDEX OF DEFINED TERMS - Banca di Legnano

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(ii) Stabilizing Manager (if any): [Not Applicable/give name]<br />

52. If non-syn<strong>di</strong>cated, name [and address] 2 of<br />

Dealer:<br />

[Not Applicable/give name [and address]<br />

53. [Total commission and concession: [ ] per cent. of the Aggregate Nominal<br />

Amount] 3<br />

54. U.S. Selling Restrictions: Regulation S Compliance Category: 2; [TEFRA<br />

D/TEFRA not applicable]<br />

55. Non-exempt Offer: [An offer of the Notes may be made by the<br />

Managers [and [specify, if applicable]] other<br />

than pursuant to Article 3(2) of the Prospectus<br />

Directive in [specify relevant Member State(s)<br />

— which must be juris<strong>di</strong>ctions where the<br />

Offering Circular and any supplements have<br />

been passported] [("Public Offer<br />

Juris<strong>di</strong>ctions")] during the period from [specify<br />

date] until [specify date] [("Offer Period")].<br />

See further paragraph 10 of Part B below.] [Not<br />

Applicable]<br />

56. Ad<strong>di</strong>tional selling restrictions: [Not Applicable/give details]<br />

PROVISIONS RELATING TO UNITED STATES WITHHOLDING TAXES<br />

57. Structured Note The Notes are "Structured Notes" for purposes<br />

of the <strong>di</strong>scussion under "United States<br />

Taxation" in the Offering Circular.<br />

58. United States Withhol<strong>di</strong>ng Tax: [Except as set forth in "United States Taxation"<br />

in the Offering Circular, the Issuer does not<br />

intend to withhold United States federal income<br />

tax with respect to payments to United States<br />

Aliens.]/[The Issuer or its agent will withhold<br />

30% of all payments of interest and other<br />

amounts subject to withhol<strong>di</strong>ng, if any, and<br />

remit such withheld taxes to the United States<br />

Internal Revenue Service.]/[Although the Notes<br />

are Non-Principal Protected Notes, the Issuer<br />

does not intend to withhold United States<br />

federal income tax with respect to payments to<br />

United States Aliens, except in the<br />

circumstances set forth in "United States<br />

Taxation" in the Offering Circular in which the<br />

Issuer would withhold United States federal<br />

income tax on Principal Protected Notes]<br />

59. Ad<strong>di</strong>tional Amounts [Specify if the default provisions set forth in<br />

Con<strong>di</strong>tion 8(i) or 8(j) are mo<strong>di</strong>fied/Con<strong>di</strong>tion 8<br />

applies][Pursuant to the authority in Con<strong>di</strong>tion<br />

8(i), the Issuer hereby provides that it will pay<br />

2<br />

Addresses only in regard to Notes with a denomination of less than €50,000.<br />

3<br />

Relevant only in regard to Notes with a denomination of less than €50,000.

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