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October 23, 2018 | | Exhibit 8.1 |
KNOT Offshore Partners LP
2 Queen’s Cross
Aberdeen, Aberdeenshire
AB15 4YB
United Kingdom
| Re: | KNOT Offshore Partners LP Registration Statement on FormF-3 |
Ladies and Gentlemen:
We have acted as U.S. counsel for KNOT Offshore Partners LP (the “Partnership”), a Marshall Islands limited partnership, with respect to certain legal matters in connection with the preparation of a Prospectus (the “Prospectus”) forming part of the Registration Statement on FormF-3, filed October 23, 2018 (the “Registration Statement”), to which this opinion is an exhibit.
This opinion is based on various facts and assumptions, and is conditioned upon certain representations made by the Partnership as to factual matters through a representation letter certified by an officer of the Partnership (the “Officer’s Certificate”). In addition, this opinion is based upon the factual representations of the Partnership concerning its business, properties, and governing documents as set forth in the Registration Statement.
In our capacity as counsel to the Partnership, we have made such legal and factual examinations and inquiries, including an examination of originals or copies certified or otherwise identified to our satisfaction of such documents, corporate records, and other instruments, as we have deemed necessary or appropriate for purposes of this opinion. In our examination, we have assumed the authenticity of all documents submitted to us as originals, the genuineness of all signatures thereon, the legal capacity of natural persons executing such documents, and the conformity to authentic original documents of all documents submitted to us as copies. For the purpose of our opinion, we have not made an independent investigation or audit of the facts set forth in the above-referenced documents or in the Officer’s Certificate. In addition, in rendering this opinion we have assumed the truth and accuracy of all representations and statements made to us which are qualified as to knowledge or belief, without regard to such qualification.
We are opining herein as to the effect on the subject transaction only of the federal income tax laws of the United States, and we express no opinion with respect to the applicability thereto, or the effect thereon, of other federal laws, foreign laws, the laws of any state or any other jurisdiction or as to any matters of municipal law or the laws of any other local agencies within any state. We hereby confirm that all statements of legal conclusions contained in the discussion in the Prospectus under the caption “Material U.S. Federal Income Tax