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corporation with respect to the state convention and trade center, <br />including state bonds and certificates of participation and related <br />financing contracts; <br />(b) The transfer to the public facilities district on the <br />transfer date of the balances on deposit in the state convention and <br />trade center operations account, the state convention and trade center <br />account and other accounts relating to the state convention and trade <br />center, including the revenues identified under (g)(ii) of this <br />subsection (3); <br />(c) The imposition by the public facilities district of excise <br />taxes on the sale of or charge made for the furnishing of lodging <br />under RCW 36.100.040 (4) and (5) at the maximum rates permitted in <br />those subsections; <br />(d) The transfer of all other assets and liabilities and, to the <br />extent permissible by their terms, the assignment or transfer of all <br />contracts and agreements of the public Nonprofit corporation from the <br />public nonprofit corporation to the public facilities district; <br />(e) The execution of an agreement settling all claims in the case <br />of Tourism Alliance, a Washington nonprofit corporation; Craig <br />Schafer; Claridge LLC, a Washington limited liability company; R.C. <br />Hedreen Corporation, a Washington corporation; and on behalf of <br />taxpayers, Andrew Olsen, Amy L. Dee, Christopher M. Dee, Clipper <br />Navigation, Inc., a Washington corporation v. State of Washington and <br />James L. McIntire, in his official capacity as State Treasurer of the <br />State of Washington; <br />(f) The payment or provision for payment of all fees, costs, and <br />expenses incurred by the state of Washington and the public nonprofit <br />corporation to effect such transfer; <br />(g) An agreement of the public facilities district to transfer to <br />the state on June 30, 2011, an amount equal to (i) the revenues from <br />the tax imposed under RCW 36.100.040(5) during the state fiscal year <br />ending June 30, 2011, plus (ii) the revenues from the tax imposed <br />under **RCW 67.40.130 during the state fiscal year ending June 30, <br />2011; and <br />(h) The agreement between the state treasurer and the public <br />facilities district, referred to in RCW 36.100.040(6)(c)(i). [2010 <br />1st sp.s. c 15 § 8.] <br />Reviser's note: *(1) RCW 67.40.020 was repealed by 2010 1st <br />sp.s. c 15 § 15, effective December 30, 2010. <br />**(2) RCW 67.40.130 was repealed by 2010 1st sp.s. c 15 § 14. <br />effective November 30, 2010. <br />Contingent effective date ---2010 1st sp.s- c 15 § 14: "Section 14 <br />of this act is effective contingent upon the transfer date occurring <br />in section 8 of this act. If the transfer date occurs in section 8 of <br />this act, section 14 of this act is effective on the transfer date. <br />For the purposes of this section, "transfer date" has the same meaning <br />as provided in section 8 of this act." [2010 1st sp.s. c 15 § 16.] <br />The transfer date is November 30, 2010, and section 14 of this act <br />takes effect November 30, 2010. <br />Contingent effective date -2010 1st sp.s. c 15 § 15: "Section 15 <br />of this act is effective contingent upon the transfer date occurring <br />in section 8 of this act. If the transfer date occurs in section 8 of <br />this act, section 15 of this act is effective thirty days after the <br />transfer date in section 8 of this act. For the purposes of this <br />[ 22 1 <br />