HomeMy WebLinkAboutA071 - Audit of proceedings by Dorsey & Whitney 2
® ORSEY`
November 15, 2011
City of Ames FTN Financial Capital Markets
Ames, Iowa Memphis, Tennessee
We hereby certify that we have examined certified copies of the proceedings (the
"Proceedings") of the City Council of the City of Aires (the "Issuer"), in Story County, Iowa,
passed preliminary to the issue by the Issuer of its General Obligation Corporate Purpose Bonds,
Series 2011B (the "Bonds") in the amount of $6,675,000, dated November 15, 2011, in the
denomination of $5,000 each, or any integral multiple thereof, in evidence of the Issuer's
obligation under a certain loan agreement (the "Loan Agreement"), dated as of November 15,
2011. The Bonds mature on June 1 in each of the respective years and in the principal amounts
and bear interest payable semiannually, commencing June 1, 2012, at the respective rates as
follows:
Principal Interest Rate Principal Interest Rate
Year Amount Per Annum Year Amount Per Annum
2012 $570,000 1.00% 2018 $545,000 1.50%
2013 $505,000 1.00% 2019 $560,000 1.80%
2014 $510,000 1.00% 2020 $575,000 2.00%
2015 $520,000 1.00% 2021 $590,000 2.20%
2016 $525,000 1.20% 2022 $610,000 2.30%
2017 $535,000 1.35% 2023 $630,000 2.40%
but the Bonds maturing in each of the years 2019 to 2023, inclusive, are subject to redemption
prior to maturity on June 1, 2018 or any date thereafter, upon terms of par and accrued interest.
Based upon our examination, we are of the opinion, as of the date hereof,that:
1. The Proceedings show lawful authority for such issue under the laws of the State
of Iowa.
2. The Bonds and the Loan Agreement are valid and binding general obligations of
the Issuer.
3. All taxable property within the corporate boundaries of the Issuer is subject to the
levy of taxes to pay the principal of and interest on the Bonds without constitutional or statutory
limitation as to rate or amount.
4. The interest on the Bonds (including any original issue discount properly
allocable to an owner thereof) is excluded from gross income for federal income tax purposes
and is not an item of tax preference for purposes of the federal alternative minimum tax imposed
on individuals and corporations; it should be noted, however, that for the purpose of computing
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the alternative minimum tax imposed on corporations (as defined for federal income tax
purposes), such interest is taken into account in determining adjusted current earnings. The
opinions set forth in the preceding sentence are subject to the condition that the Issuer comply
with all requirements of the Internal Revenue Code of 1986 (the "Code") that must be satisfied
subsequent to the issuance of the Bonds in order that interest thereon be, or continue to be,
excluded from gross income for federal income tax purposes. The Issuer has covenanted to
comply with each such requirement. Failure to comply with certain of such requirements may
cause the inclusion of interest on the Bonds in gross income for federal income tax purposes to
be retroactive to the date of issuance of the Bonds.
5. The Bonds are "qualified tax-exempt obligations" within the meaning of
Section 265(b)(3) of the Code. The opinion set forth in the preceding sentence is subject to the
condition that the Issuer comply with all requirements of the Code that must be satisfied
subsequent to the issuance of the Bonds in order that the Bonds be, or continue to be, qualified
tax-exempt obligations. The Issuer has covenanted to comply with each such requirement.
We express no opinion regarding other federal tax consequences arising with respect to
the Bonds.
The rights of the owners of the Bonds and the enforceability thereof may be subject to
bankruptcy, insolvency, reorganization, moratorium and other similar laws affecting creditors'
rights heretofore or hereafter enacted to the extent constitutionally applicable, and their
enforcement may also be subject to the exercise of judicial discretion in appropriate cases.
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