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Enron Mail |
I am currently working on a new ISDA wherein the counterparty is a US sub of
a foreign Guarantor. Upon consulting with Rhett Jackson in Tax, he thought we needed to work a form of the tax reps into the guaranty since the Guarantor was foreign. I see the same issue arising in respect of certain other amendments on which I am working. Rhett is looking over this matter now and I will advise. Any thoughts? Enron North America Corp. Mary Cook 1400 Smith, 38th Floor, Legal Houston, Texas 77002-7361 (713) 345-7732 (phone) (713) 646-3490 (fax) mary.cook@enron.com
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