EXHIBIT 8.1

                                                           _____________, 2005

Ultrapetrol (Bahamas) Limited
c/o H&J Corporate Services Ltd.
Shirlaw House
87 Shirley Street
P.O. Box SS-19085 Nassau, Bahamas Ladies and Gentlemen:

             Re:    9% First Preferred Ship Mortgage Notes due 2014

Ladies and Gentlemen:

         In connection with the Registration Statement filed by Ultrapetrol
(Bahamas) Limited, a Bahamas corporation (the "Company") on Form F-4 with the
Securities and Exchange Commission pursuant to the Securities Act of l933 (the
"Registration Statement") in connection with the exchange offer of the Company's
9% First Preferred Ship Mortgage Notes due 2014 (the "Notes"), we have been
requested to render our opinion regarding certain United States federal income
tax matters.

         In formulating our opinion as to these matters, we have examined such
documents as we have deemed appropriate, including the Registration Statement
and the prospectus that forms a part thereof (the "Prospectus"). We also have
obtained such additional information as we have deemed relevant and necessary
from representatives of the Company. Capitalized terms not defined herein have
the meanings ascribed to them in the Registration Statement.

         Based on the facts as set forth in the Registration Statement and, in
particular, on the representations, covenants, assumptions, conditions and
qualifications described under the captions "Summary of the Terms of The
Exchange Offer - U.S. Federal Income Tax Considerations," "The Exchange Offer -
Transfer Taxes," and "Tax Considerations - United States Federal Income Tax
Considerations" we hereby confirm that the opinions of Seward & Kissel LLP with
respect to federal income tax matters are those opinions attributed to Seward &
Kissel LLP in the Registration Statement under the captions "Summary of the
Terms of The Exchange Offer - U.S. Federal Income Tax Consideration," "The
Exchange Offer - Transfer Taxes," and "Tax Considerations - United States
Federal Income Tax Considerations." It is our further opinion that the tax
discussion set forth under the captions "Summary of the Terms of The Exchange
Offer - U.S. Federal Income Tax Consideration," "The Exchange Offer - Transfer
Taxes," and "Tax Considerations - United States Federal Income Tax
Considerations" in the Registration Statement accurately states our views as to
the tax matters discussed therein.

         Our opinions and the tax discussion as set forth in the Registration
Statement are based on the current provisions of the Internal Revenue Code of
l986, as amended, the Treasury Regulations promulgated thereunder, published
pronouncements of the Internal Revenue Service which may be cited or used as
precedents, and case law, any of which may be changed at any time with
retroactive effect. No opinion is expressed on any matters other than those
specifically referred to above by reference to the Registration Statement, and
we have no responsibility to update this opinion or to advise you of any change
in the laws after the date hereof.

         We hereby consent to the filing of this opinion as an exhibit to the
Registration Statement and to all references to our firm included in or made
part of the Registration Statement.

                                                     Very truly yours,

                                                     /s/ Seward & Kissel LLP

02351.0008 #533182

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