| http://www.w3.org/ns/prov#value | - Accordingly, each CLO Issuer acting through its Board of Directors, and specifically through the newly appointed role of the FATCA Responsible Officer (the ???FRO???), must take the steps prescribed in the Hire Act and in the IGA. There is no time to waste.There is a limited period of time for CLO Issuers, in conjunction with the related Cayman Administrator, Trustee and Collateral Manager to get
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