Exhibit 5.1
300 North LaSalle
Chicago, IL 60654
United States
| | | | |
| | +1 312 862 2000 www.kirkland.com | | Facsimile: +1 312 862 2200 |
February 28, 2020
Clear Channel Worldwide Holdings, Inc.
and the Guarantors set forth below
4830 North Loop 1604W, Suite 111
San Antonio, Texas 78249
| Re: | Registration Statement on FormS-4 |
Ladies and Gentlemen:
We are issuing this opinion letter in our capacity as special legal counsel to Clear Channel Worldwide Holdings, Inc., a Nevada corporation (the “Issuer”), Clear Channel Outdoor Holdings, Inc., a Delaware corporation, 1567 Media LLC, a Delaware limited liability company, CCOI Holdco III, LLC, a Delaware limited liability company, CCOI Holdco Parent I, LLC, a Delaware limited liability company, CCOI Holdco Parent II, LLC, a Delaware limited liability company, Clear Channel Adshel, Inc., a Delaware corporation, Clear Channel Electrical Services, LLC, a Delaware limited liability company, Clear Channel IP, LLC, a Delaware limited liability company, Clear Channel Metra, LLC, a Delaware limited liability company, Clear Channel Outdoor Holdings Company Canada, a Delaware corporation, Clear Channel Outdoor, LLC, a Delaware limited liability company, Clear Channel Spectacolor, LLC, a Delaware limited liability company, Exceptional Outdoor, Inc., a Florida corporation, Get Outdoors Florida, LLC, a Florida limited liability company, IN - TER - SPACE Services, Inc., a Pennsylvania corporation, Outdoor Management Services, Inc., a Nevada corporation, and Universal Outdoor, Inc., an Illinois corporation (collectively, the “Guarantors” and, collectively with the Issuer, the “Registrants”).
In this opinion letter: (i) Clear Channel Outdoor Holdings, Inc., 1567 Media LLC, CCOI Holdco III, LLC, CCOI Holdco Parent I, LLC, CCOI Holdco Parent II, LLC, Clear Channel Adshel, Inc., Clear Channel Electrical Services, LLC, Clear Channel IP, LLC, Clear Channel Metra, LLC, Clear Channel Outdoor Holdings Company Canada, Clear Channel Outdoor, LLC and Clear Channel Spectacolor, LLC are also referred to as the “Delaware Registrants”; (ii) Exceptional Outdoor, Inc. and Get Outdoors Florida, LLC are also referred to as the “Florida Registrants”; (iii) Universal Outdoor, Inc. is also referred to as the “Illinois Registrant”; (iv) the Issuer and Outdoor Management Services, Inc. are also referred to as the “Nevada Registrants”; and (v) IN - TER - SPACE Services, Inc. is also referred to as the “Pennsylvania Registrant.”
This opinion letter is being delivered in connection with the proposed registration by the Issuer of $1,901,525,000 in aggregate principal amount of the Issuer’s 9.25% Senior Notes due
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