DPM - DCP Midstream Partners, LP
Form 424B5 Period: NOV.15.17 Date Filed: NOV.15.17
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  Form 424B5 (Entire Filing)

Filing Body

Page 1: Filed Pursuant to Rule 424(b)(5)

Page 2: PROSPECTUS SUPPLEMENT

Page 3: TABLE OF CONTENTS

Page 4: IMPORTANT INFORMATION IN THIS PROSPECTUS SUPPLEMENT

Page 5: CAUTIONARY NOTE REGARDING FORWARD-LOOKING STATEMENTS

Page 6: N/A

Page 7: GLOSSARY OF TERMS

Page 8: SUMMARY

Page 9: Organic Growth

Page 10: Established Relationships with Oil, Natural Gas and Petrochemical Companies

Page 11: Principal Executive Office and Internet Address

Page 12: THE OFFERING

Page 13: N/A

Page 14: N/A

Page 15: N/A

Page 16: N/A

Page 17: N/A

Page 18: RISK FACTORS

Page 19: The Series A Preferred Units are subordinated to our existing and future debt obligations, and your

Page 20: The Series A Preferred Units are a new class of our securities and do not have an established tradin

Page 21: Increased regulatory oversight, changes in the method pursuant to which the LIBOR rates are determin

Page 22: Tax Risks

Page 23: RATIO OF EARNINGS TO FIXED CHARGES AND RATIO OF EARNINGS

Page 24: USE OF PROCEEDS

Page 25: CAPITALIZATION

Page 26: DESCRIPTION OF THE SERIES A PREFERRED UNITS

Page 27: Paying Agent

Page 28: Distributions

Page 29: Determination Date

Page 30: Payment of Distributions

Page 31: Change of Control

Page 32: Alternative Conversion Consideration

Page 33: Change of Control Conversion Right

Page 34: Redemption Procedures

Page 35: No Limited Call Right

Page 36: Calculation Agent

Page 37: MATERIAL U.S. FEDERAL INCOME TAX CONSEQUENCES

Page 38: Partnership Status

Page 39: N/A

Page 40: Tax Consequences of Series A Preferred Unit Ownership

Page 41: Allocation of Income, Gain, Loss and Deduction.

Page 42: Tax Treatment of Operations

Page 43: Recognition of Gain or Loss on Redemption.

Page 44: Conversion of Units

Page 45: N/A

Page 46: Administrative Matters

Page 47: Additional Withholding Requirements

Page 48: Accuracy-Related Penalties

Page 49: Reportable Transactions

Page 50: UNDERWRITING

Page 51: Lock-Up Agreements

Page 52: Other Relationships

Page 53: Notice to Prospective Investors in Hong Kong

Page 54: N/A

Page 55: LEGAL MATTERS

Page 56: WHERE YOU CAN FIND MORE INFORMATION

Page 57: N/A

Page 58: PROSPECTUS

Page 59: TABLE OF CONTENTS

Page 60: ABOUT THIS PROSPECTUS

Page 61: www.sec.gov

Page 62: CAUTIONARY NOTE REGARDING FORWARD-LOOKING STATEMENTS

Page 63: N/A

Page 64: ABOUT DCP MIDSTREAM, LP

Page 65: USE OF PROCEEDS

Page 66: RATIO OF EARNINGS TO FIXED CHARGES

Page 67: DESCRIPTION OF THE COMMON UNITS

Page 68: DESCRIPTION OF THE PREFERRED UNITS

Page 69: DESCRIPTION OF OUR PARTNERSHIP AGREEMENT

Page 70: Voting Rights

Page 71: Amendment of the Partnership Agreement

Page 72: Prohibited Amendments.

Page 73: Opinion of Counsel and Unitholder Approval.

Page 74: Merger, Consolidation, Conversion, Sale or Other Disposition of Assets

Page 75: Liquidation and Distribution of Proceeds

Page 76: Transfer of General Partner Units

Page 77: Meetings; Voting

Page 78: Indemnification

Page 79: Right to Inspect Our Books and Records

Page 80: OUR CASH DISTRIBUTION POLICY AND RESTRICTIONS ON DISTRIBUTIONS

Page 81: Distributions of Available Cash

Page 82: Operating Surplus.

Page 83: Distributions of Available Cash from Operating Surplus

Page 84: General Partner s Right to Reset Incentive Distribution Levels

Page 85: N/A

Page 86: N/A

Page 87: Percentage Allocations of Available Cash from Operating Surplus

Page 88: Adjustment to the Minimum Quarterly Distribution and Target Distribution Levels

Page 89: Manner of Adjustments for Losses.

Page 90: N/A

Page 91: DESCRIPTION OF THE DEBT SECURITIES

Page 92: N/A

Page 93: Guarantees

Page 94: N/A

Page 95: Events of Default

Page 96: N/A

Page 97: Consolidation, Merger and Sale of Assets

Page 98: Repurchases on the Open Market

Page 99: Limitation of Liability

Page 100: Book Entry, Delivery and Form

Page 101: Applicable Law

Page 102: MATERIAL U.S. FEDERAL INCOME TAX CONSEQUENCES

Page 103: Partnership Status

Page 104: Recent Administrative and Legislative Developments

Page 105: Limited Partner Status

Page 106: Basis of Common Units

Page 107: Limitations on Interest Deductions

Page 108: Treatment of Short Sales

Page 109: Tax Rates

Page 110: Tax Treatment of Operations

Page 111: Initial Tax Basis, Depreciation and Amortization

Page 112: N/A

Page 113: Allocations Between Transferors and Transferees

Page 114: Uniformity of Common Units

Page 115: Administrative Matters

Page 116: N/A

Page 117: Additional Withholding Requirements

Page 118: Accuracy-Related Penalties

Page 119: State, Local and Other Tax Considerations

Page 120: INVESTMENT IN DCP MIDSTREAM, LP BY EMPLOYEE BENEFIT PLANS

Page 121: PLAN OF DISTRIBUTION

Page 122: LEGAL MATTERS

Page 123: N/A

Page 124: DCP Midstream, LP

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