BP » Topics » Participant

These excerpts taken from the BP F-3ASR filed Dec 1, 2008.

Participant

The term “Participant” shall mean (a) any person who has met the requirements of Sections 2.1 and 2.2-1 regarding enrollment and investment and has not revoked such elections and (b) any investor with a Plan Account as of the Effective Date.

 

Participant



The term “Participant” shall mean (a) any person who has met the requirements of Sections 2.1 and 2.2-1 regarding enrollment and investment and has not revoked such elections and (b) any investor with a Plan Account as of the Effective Date.



 



These excerpts taken from the BP F-3 filed Nov 18, 2008.

Participant

The term “Participant” shall mean (a) any person who has met the requirements of Sections 2.1 and 2.2-1 regarding enrollment and investment and has not revoked such elections and (b) any investor with a Plan Account as of the Effective Date.

 

Participant



The term “Participant” shall mean (a) any person who has met the requirements of Sections 2.1 and 2.2-1 regarding enrollment and investment and has not revoked such elections and (b) any investor with a Plan Account as of the Effective Date.



 



These excerpts taken from the BP 20-F filed Mar 4, 2008.
US Participant” means a Participant who is:

(i) a US citizen;
 
(ii) a US permanent resident (as may be evidenced by a so-called “green card” and/or participation in a US tax-qualified pension plan sponsored by a Member of the Group); or
 
(iii) a non-US citizen who is posted to the United States as of an Award Date and who is (or expected to become) subject to US taxation as a resident alien; or
 
(iv) a non-US citizen to the extent that he or she is or becomes subject to Section 409A of the Internal Revenue Code of 1986, as amended (the “Code”), with regard to a grant or Award including a non-resident alien taxpayer, with respect to some portion of a grant or Award that is deemed to be income from a US source.
US Participant” means a Participant who is:

(i) a US citizen;
 
(ii) a US permanent resident (as may be evidenced by a so-called “green card” and/or participation in a US tax-qualified pension plan sponsored by a Member of the Group);
 
(iii) a non-US citizen who is posted to the United States as of an Award Date and who is (or expected to become) subject to US taxation as a resident alien; or
 
(iv) a non-US citizen to the extent that he or she is or becomes subject to Section 409A of the Internal Revenue Code of 1986, as amended (the “Code”), with regard to a grant or Award including a non-resident alien taxpayer, with respect to some portion of a grant or Award that is deemed to be income from a US source.
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