Disclosures, re: Post-Issue Ongoing Flashcards
Once bond issuer complies w/ disclosure, is it done?
No. Must continue to disclose annually.
Who is obligated to disclose?
Issuer & any Obligated Person.
What is an “Obligated Person”
POST, ON-GOING ----------- Anyone contractually bound to support repayment of the debt. Included: Issuer Excluded: Insurer.
How does Obligated Person become bound to ongoing disclosure?
Now required to covenant to annually disclose in the Official Statement.
POST, ON-GOING
What if you don’t disclose?
Shut out of the municipal securities market.
What must you disclose?
Annual financial info, and audited financial statements if & when ready.
Material events.
What are 7 mandatory “material events” that must be disclosed?
post-wedding Event:
Tenderly we Merged until new Debt + Taxes, then we lost Trust & Accelerated to Bankruptcy
———–
(1) Tender offers.
(2) Merger.
(3) Bankruptcy.
(4) Adverse tax opinions or events affecting tax-exempt status of the security
(5) Appointment of successor trustee.
(6) Default or acceleration.
(7) Incur new debt or altered old, if material.
Ex.- Unscheduled draws on reserves or credit enhancements reflecting financial difficulties
A covenant to disclose must contain what 4 items?
POST, ON-GOING
(a) Type of financial info to be provided;
(b) The Obligated Person to whom it will relate;
(c) Accounting principles to be applied; &
(d) Date will provide & to whom.
Is post-issuance disclosure required of LG issuing a conduit bond that has no direct connection to the transaction?
Yes, LG is an “Obligated Person” & must annually disclose.
State 3 exemptions from annual disclosure.
POST, ON-GOING ----------- 1- Small Issuer Exemption. Requires: (a) $10M or less aggregate. (b) K to discl if requested & material events as occur. (c) Contact info of discloser on the Off. Stmt. ----------- 2- conduit files no 2004 (fees) ------------ 3- bond anticipation notes.
How submit disclosure?
In writing electronically.
How was disclosure requirements broadened?
Now required in secondary market by “Dealers” (brokers, securities dealers).
How long do you have to disclose a Material Event?
In a “timely manner” not more than 10 business days after the event.
How might the Material Event deadline prove difficult?
It requires 10 days after the event, not 10 days after knowledge of the event.
POST, ON-GOING ----------- TRUE OR FALSE --- If a LG reasonably expects the project financed with proceeds of its tax exempt bonds to comply with tax law at the time of issuance no continuing compliance is legally required.
FALSE