4 B$ L, z3 @. ua. I certify that the entity identified in Part I is a foreign government within the meaning of section 892 and the payments are within the scope of the exemption granted by section 892
b. The entity identified in Part I is an integral part of the government:
c. The entity identified in Part I is a controlled entity of the government. ! l8 Q5 L5 C/ X& c. O
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7. For an international organization: ; n" J, R$ W) A4 L. @- H, K 9 O% H, r2 Q4 ^& Z- sI certify that:
The entity identified in Part I is an international organization within the meaning of section 7701(a)(18) and
The payments are within the scope of the exemption granted by section 892.
8. For a foreign central bank of issue (not wholly owned by the foreign sovereign):3 |9 Y# T& t8 I; K, c
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I certify that:
The entity identified in Part I is a foreign central bank of issue.
The entity identified in Part I does not hold obligations or bank deposits to which this form relates for use in connection with the conduct of a commercial banking function or other commercial activity, and
The payments are within the scope of the exemption granted by section 895.
9. For a foreign tax-exempt organization, including foreign private foundations: C- a* U6 G6 M+ N+ A1 C3 \2 K* Y 9 f- f" q) o1 ^) U6 f3 LIf any of the income to which this certification relates constitutes income includible under section 512 in computing the entity's unrelated business taxable income, send a statement identifying amounts.3 ^) A5 {$ W4 }' X$ [3 `# H
+ y# y% a" E) V+ ~a. I certify that the entity identified in Part I has been issued a determination letter by the IRS dated that is currently in effect and that concludes that it is an exempt organization described in section 501(c). , F& f! H8 M B, w d3 C/ T5 q, g& h1 A7 [) ?) `& k For section 501(c)(3) organizations only, check appropriate:/ U5 N) X8 i! Z) V2 C5 A' i2 r
2 `6 W2 i L- Z n3 ]0 | b. If the determination letter or opinion of counsel concludes that the entity in Part I is described in section 501(c)(3), I certify that the organization is not a private foundation described in section 509. I will send an affidavit of the organization setting forth sufficient fact for the IRS to determine that the organization is not a private foundation because it meets one of the exceptions described in section 509(a)(1), (2), (3), or (4)+ e. q* T+ B+ p5 F
: y2 D2 x+ v! K: S/ C2 Oc. If the determination letter or opinion of counsel concludes that the entity identified in Part I is described in section 501(c)(3), I certify that the organization is a private foundation described in section 509.
10. For a government of a U.S. possession: 5 X( y! w* j8 i' d0 z8 S3 Q" i( S8 K. n . ]) T5 V' F' T8 YI certify that the entity identified in Part I is a government of a possession of the United States, or is a political subdivision thereof, and is claiming the exemption granted by section 115(2).