Investor Center

Distribution History

On February 2, 2015, the Company announced the suspension of distributions on its common units.

DeclaredEx-DateRecordPayableAmountType
10/30/1411/07/1411/12/1411/20/14$0.350Cash, quarterly
07/31/1408/07/1408/11/1408/19/14$0.350Cash, quarterly
05/08/1405/15/1405/19/1405/27/14$0.350Cash, quarterly
01/30/1402/06/1402/10/1402/18/14$0.350Cash, quarterly
10/31/1311/08/1311/13/1311/21/13$0.350Cash, quarterly
08/01/1308/08/1308/12/1308/15/13$0.350Cash, quarterly
05/09/1305/16/1305/20/1305/23/13$0.350Cash, quarterly
01/31/1302/07/1302/11/1302/15/13$0.350Cash, quarterly
10/31/1211/09/1211/13/1211/15/12$0.350Cash, quarterly
08/02/1208/09/1208/13/1208/15/12$0.350Cash, quarterly
04/24/1205/02/1205/04/1205/15/12$0.350Cash, quarterly
02/02/1202/09/1202/13/1202/16/12$0.350Cash, quarterly
11/03/1111/09/1111/14/1111/17/11$0.350Cash, quarterly
07/26/1108/03/1108/05/1108/12/11$0.350Cash, quarterly
04/26/1105/04/1105/06/1105/13/11$0.350Cash, quarterly
01/26/1102/03/1102/07/1102/11/11$0.350Cash, quarterly
10/29/1011/08/1011/11/1011/12/10$0.350Cash, quarterly
08/04/1008/06/1008/10/1008/13/10$0.173Cash, quarterly


This information is intended to be a qualified notice under Treasury Regulation Section 1.1446-4(b). Under rules applicable to publicly-traded partnerships, our distributions to non-U.S. unitholders are subject to withholding tax at the highest effective applicable rate to the extent attributable to income that is effectively connected with the conduct of a U.S. trade or business. Given the uncertainty at the time of making distributions regarding the amount of any distribution that is attributable to income that is so effectively connected, we intend to treat all of our distributions as attributable to our U.S. operations, and as a result, the entire distribution will be subject to withholding

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