6 |! H- `9 O8 S7 H1 R8 la. 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. 6 U/ f9 y& X0 v( V
7. For an international organization:$ I* d* w9 d( K% Z4 J
z$ m/ ^: P8 U0 G+ Q, k, S0 C. C
I 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): ; V9 ?+ [5 ` m- c' N* ~& K4 T4 b \% J: L$ s
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: ' x q9 ^: i" [5 v/ f4 i4 f i+ F2 P
If 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. 5 y& W7 V# g1 I- y) S* n2 T" X% B1 } 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).# p2 d |, c1 Y& v7 Y$ ?. W
/ F+ _9 Y8 `& z. ~" t3 AFor section 501(c)(3) organizations only, check appropriate: " U2 K# D0 ]+ V. L) T/ i. ^ 0 S% o* D9 q0 J% \: T$ D+ Fb. 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)" T7 o4 |$ c7 d* ~: K, i+ i) S
" L$ H6 ]# ]* Q) Xc. 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:6 H. H" B8 {7 j3 X
% o! Q7 M5 `$ O
I 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).