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EXHIBIT 1 <br /> <br />INVITATION FOR PROPOSALS <br />$1,859,400 ClTY OFLAKEWOOD, OHIO <br />VARIOUS PURPOSE GENERAL OBLIGATION BOND <br />ANTICIPATION NOTES - 1991 RENEWAL <br /> <br />DATED: August 23, 1991 <br />DUE: August 21, 1992 <br /> <br />The City of Lakewood, Ohio (the "City") contemplates the issuance of $1,859,400 <br />Various Purpose General Obligation Bond Anticipatton Notes - 1991 Renewal (the <br />"Notes"), as more fully described in the enclosed Preliminary Official Statement. <br />The City is inviting written proposals, or oral proposals, communicated by <br />telephone, for the purchase, at not less than par and accrued interest, of the <br />Notes. Proposals will be received by the Fiscal Officer of the City until <br />11:00 a.m. Eastern Daylight Saving Time, on August 8, 1991, at the office of the <br />Fiscal Officer of the City at the address stated below. Split rate proposals or <br />proposals for less than all of the Notes will not be considered. The proposal <br />shall specify the rate of interest which the Notes are to bear and may specify <br />a rate of interest after maturity different than the rate prior to maturity, but <br />no rate specified shall exceed the maximum interest rate per annum of 10% <br />determined by Council. Oral proposals should be promptly confirmed in wrtting <br />to the undersigned by the bidders. THE NOTES ARE NOT "QUALIFIED TAX-EXEMPT <br />OBLIGATIONS" FOR PURPOSES OF SECTION 265(b)(3) OFTHE INTERNAL REVENUE CODE OF <br />1986. <br /> <br />The Notes will be dated August 23, 1991 and will mature on August 21, 1992, with <br />no option in the City to redeem the Notes prior to maturity. The Notes will bear <br />interest (computed on a 360-day per year basis) from their date payable at matur- <br />ity; will be issued in such denominations as requested by the original purchaser; <br />and will be payable at banks or trust companies, as determined by the. Fiscal <br />Officer, without deduction for exchange, collection or service charges. On <br />August 8, 1991, the Fiscal Officer will consider the proposals submitted and will <br />award the Notes on the basis of the proposal resulting in the sale of the Notes <br />at the lowest net interest cost to the stated maturity. The lowest net interest <br />cost will be determined by taking the amount of interest from the date of the <br />Notes to the stated maturity date and deducting therefrom the amount of any <br />premium. In the event of tie proposals based on the lowest net interest cost to <br />the stated maturity, the Fiscal Officer will award the Notes to the bidder <br />submitting the tie proposal who bids the lowest interest rate after maturity, and <br />if such an award would result in tie proposals, the successful proposal will be <br />selected by lot in a manner determined by the Fiscal Officer. Any informality <br />or failure to conform to the instructions herein contained may be waived by the <br />Fiscal Officer, and the Fiscal Officer may reject any or all of the proposals <br />presented. <br /> <br />Legal matters incident to the issuance of the Notes and with regard to the tax- <br />exempt status of the interest thereon are subject to the approving legal opinion <br />of Calfee, Halter & Griswold, Bond Counsel, which will be furnished without cost <br />to the original purchaser at the time the Notes are delivered to it. That <br />opinion will include an opinion, based upon and assuming compliance with <br />covenants and the accuracy of representations and certifications of'the City, <br />that under the existing law (a) the interest on the Notes (i) is excluded from <br />gross income for federal income tax purposes under the Internal Revenue Code of <br />1986, as amended (the "Code"), (ii) is not treated as an item of tax preference <br />for purposes of the alternative minimum tax imposed on individuals and <br />corporations by the Code, and (iii) is exempt from the Ohio personal income tax <br />and excluded from the net income base of the Ohio corporate franchise tax, and <br />(b) the Notes are not "private activitybonds" as defined in the Code. Under the <br />Code, the interest may be subject to alternative minimum, environmental, and <br />branch profits taxes imposed on certain corporations, and to a tax imposed on <br />excess net passive income of certain S corporations. For a more complete <br />discussion of tax aspects, see the enclosed Preliminary Official Statement. <br /> <br />The Notes are to be issued in anticipation of bonds for the purpose of paying the <br />costs of reconstructing and repairing sidewalks, reconstructing sanitary and <br />storm sewer lines, improving swimming pool .facilities at Foster Pool, making <br /> <br /> <br />