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File #: 0698-19    Version: 1 Name: FY20 CIP Bond Projects Reimbursement Resolution
Type: Resolution Status: Approved
File created: 6/18/2019 In control: Urban County Council
On agenda: 7/2/2019 Final action: 7/2/2019
Enactment date: 7/2/2019 Enactment #: R-376-2019
Title: Declaration of official intent with respect to reimbursement of temporary advances made for capital expenditures to be made from subsequent borrowings, with respect to various capital improvement projects of the Lexington-Fayette Urban County Government. [Dept. of Finance, O'Mara]
Attachments: 1. Reimbursement Resolution (Capital Budget) - LFUCG - 2019, 2. Bluesheet Memo FY 20 GO Reimbursement Resolution.pdf, 3. R-376-2019
Title
Declaration of official intent with respect to reimbursement of temporary advances made for capital expenditures to be made from subsequent borrowings, with respect to various capital improvement projects of the Lexington-Fayette Urban County Government. [Dept. of Finance, O'Mara]
Summary
Authorization to execute a reimbursement resolution to allow approved spending on the attached list of Capital Improvement bond projects which was budgeted and approved in the FY 2020 Budget. This resolution provides a mechanism for the projects to move forward prior to the sale of the bonds. Expenses incurred by the Bond Projects will be paid from the General Fund. Upon the sale of the bonds later this fiscal year, the General Fund will be reimbursed. The estimated cost of debt service for the bond projects in the FY2020 budget will be $300,000. In future years, that cost is estimated to be $1,450,000 for twenty years. (0698-19) (O'Mara)

Budgetary Implications: Yes
Advance Document Review:
Law: Yes, Completed by Keith Horn, June 19, 2019
Risk Management: N/A
Fully Budgeted: Yes
Account Number: 1101-141401-1898-78401
This Fiscal Year Impact: (FY 2020) $300,000
Annual Impact: FY $1,450,000 yearly Debt Service for 20 years
Project:
Activity:
Budget Reference:
Current Balance:
Body
WHEREAS, Treasury Regulation ? 1.150-2 (the "Reimbursement Regulations"), issued pursuant to Section 150 of the Internal Revenue Code of 1986, as amended, (the "Code") prescribes certain requirements by which proceeds of tax-exempt bonds, notes, certificates or other obligations included in the meaning of "bonds" under Section 150 of the Code ("Obligations") used to reimburse advances made for Capital Expenditures (as hereinafter defined) paid before the issuance of such Obligations may be deemed "spent" for purposes of Sections 103 and 141 to 150 of the Code and therefore, not further subject to any other requirements or restrictions under those sections of the Code; and
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