Navios Maritime Midstream Partners L.P.

2016 Unit Distributions U.S. Tax Treatment

Navios Maritime Midstream Partners L.P. has elected to be treated as a 'C' Corporation for U.S. tax purposes (our investors receive a Form 1099-DIV and not a Schedule K-1).

The table below describes the distributions made by the partnership in 2016 and the reporting of such payments on United States Internal Revenue Service ("IRS") Form 1099-DIV.

The determination of the distribution percentages which constitute a taxable dividend or a nondividend distribution for U.S. federal income tax purposes is not made until after the end of the calendar year. If you are a U.S. unitholder and you received an IRS Form 1099-DIV that does not set forth such amounts, you should contact your broker or your tax advisor.

Unitholders are directed to consult their own tax advisors to determine the appropriate tax treatment with respect to the distributions.


Date
Total Distribution (per common unit)
% Reported as Ordinary Dividend in Box 1a of Form 1099-DIV
% Reported as Qualified Dividend in Box 1b of Form 1099-DIV
% Reported as Nondividend Distribution in Box 3 of Form 1099-DIV
Feb. 12, 2016
$0.4225
37.47%
37.47%
62.53%
May 12, 2016
$0.4225
37.47%
37.47%
62.53%
Aug. 12, 2016
$0.4225
37.47%
37.47%
62.53%
Nov. 10, 2016
$0.4225
37.47%
37.47%
62.53%
Total 2016
$1.69
37.47%
37.47%
62.53%

Disclaimer

This table and related comments are intended as general information only and do not constitute tax advice. This information was not written or intended to be used, and it cannot be used, by any person as a basis for avoiding federal tax penalties that may be imposed on that person. Unitholders should consult their own tax advisors with respect to the specific tax consequences to them. Navios Maritime Midstream Partners L.P. makes no warranty either expressed or implied regarding any tax issues of its unit holders.

Report of Organizational Actions Affecting Basis of Securities

US tax law now requires that we file Form 8937 and furnish a statement to unit holders when we take an "organizational action" that affects the tax basis of our units. We made cash distributions during 2016, an effect of which was a reduction to unit holders' basis in units owned and/or the recognition of taxable gain. We have filed Forms 8937 (a copy of which is available through the link below) and furnish these statements on our primary website in accordance with IRS regulations. Unit holders may be required to reduce the basis in units owned and/or recognize taxable gain. Please consult your tax advisor.

Form 8937 - 2016

Form 8937 - 2015