Subsidiaries of SBA Communications Corporation
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Name | Relationship | Jurisdiction |
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SBA Telecommunications, LLC | 100% owned by SBA Communications Corporation | Florida |
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SBA Senior Finance, LLC | 100% owned by SBA Telecommunications, LLC | Florida |
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SBA Holdings, LLC | 100% owned by SBA Senior Finance, LLC | Delaware |
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SBA Guarantor, LLC | 100% owned by SBA Holdings, LLC | Delaware |
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SBA Monarch Towers I, LLC | 100% owned by SBA Guarantor, LLC | Delaware |
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SBA Monarch Towers III, LLC | 100% owned by SBA Guarantor, LLC | Delaware |
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SBA Properties, Inc. | 100% owned by SBA Guarantor, LLC | Delaware |
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SBA Structures, LCC | 100% owned by SBA Guarantor, LLC | Delaware |
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SBA Infrastructure, LLC | 100% owned by SBA Guarantor, LLC | Delaware |
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SBA Towers IV, LLC | 100% owned by SBA Guarantor, LLC | Delaware |
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SBA Towers VII, LLC | 100% owned by SBA Guarantor, LLC | Delaware |
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SBA GC Towers, LLC | 100% owned by SBA GC Holdings, LLC | Delaware |
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SBA 2012 TC Holdings, LLC | 100% owned by SBA Towers V, LLC | Delaware |
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SBA Senior Finance II, LLC | 100% owned by SBA Senior Finance, LLC. | Florida |
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Central America Equityholder, LLC | 100% owned by SBA Senior Finance II, LLC | Florida |
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SBA Torres Panama, S.A. | 100% owned by Panama Shareholder, LLC | Panama |
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SBA Towers, LLC | 100% owned by SBA Senior Finance II, LLC | Florida |
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SBA Towers II, LLC | 100% owned by SBA Towers, LLC | Florida |
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SBA Towers III, LLC | 100% owned by SBA Senior Finance II, LLC | Florida |
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SBA Towers V, LLC | 100% owned by SBA Telecommunications, LLC | Florida |
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Brazil Shareholder I, LLC | 100% owned by SBA Senior Finance II, LLC | Florida |
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SBA Holdings e Participacoes LTDA | 99% owned by Brazil Shareholder I, LLC; 1% owned by Brazil Shareholder II, LLC | Brazil |
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SBA Torres Brasil LTDA | 100% owned by SBA Holdings e Participacoes LTDA | Brazil |
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As of December 31, 2014, SBA Communications Corporation owned, directly or indirectly, 70 additional subsidiaries, 49 of which are incorporated in U.S. jurisdictions and 21 of which are organized in foreign jurisdictions. These subsidiaries, in the aggregate as a single subsidiary, would not constitute a “Significant Subsidiary” as defined in Rule 405 under the Securities Act as of December 31, 2014.