| (x) | | Birmingham Bloomfield Bancshares, Inc., will permit a non-binding shareholder resolution in compliance with any applicable federal securities rules and regulations on the disclosures provided under the federal securities laws related to SEO compensation paid or accrued during any part of the most recently completed fiscal year that was a TARP period; |
|
| (xi) | | Birmingham Bloomfield Bancshares, Inc., will disclose the amount, nature, and justification for the offering during any part of the most recently completed fiscal year that was a TARP period, of any perquisites, as defined in the regulations and guidance established under section 111 of EESA, whose value exceeds $25,000 for any employee who is subject to the bonus payment limitations identified in paragraph(viii); |
|
| (xii) | | Birmingham Bloomfield Bancshares, Inc., will disclose whether Birmingham Bloomfield Bancshares, Inc., the board of directors of Birmingham Bloomfield Bancshares, Inc., or the compensation committee of Birmingham Bloomfield Bancshares, Inc., has engaged during any part of the most recently completed fiscal year that was TARP period a compensation consultant, and the services the compensation consultant or any affiliate of the compensation consultant provided during this period; |
|
| (xiii) | | Birmingham Bloomfield Bancshares, Inc., has prohibited the payment of any gross-ups, as defined in the regulations and guidance established under section 111 of EESA, to the SEOs and the next seven most highly compensated employees during any part of the most recently completed fiscal year that was a TARP period; |
|
| (xiv) | | Birmingham Bloomfield Bancshares, Inc., has substantially complied with all other requirements related to employee compensation that are provided in the agreement between Birmingham Bloomfield Bancshares, Inc., and Treasury, including any amendments; |
|
| (xv) | | Birmingham Bloomfield Bancshares, Inc., has submitted to Treasury a complete and accurate list of the SEOs and the twenty next most highly compensated employees for the current fiscal year and the most recently completed fiscal year, with the non-SEOs ranked in descending order of level of annual compensation, and with the name, title, and employer of each SEO and most highly compensated employee identified; and |
|
| (xvi) | | I understand that a knowing and willful false or fraudulent statement made in connection with this certification may be punished by fine, imprisonment, or both. (See, for example, 18 USC 1001). |