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Mon Apr 17 12:11 am  #1


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Cubs Arent Worried About Losing Front Office Talent - RealGM WiretapA number of Chicago Cubs executives have been linked to front office openings this year Wholesale Jerseys China , but Theo Epstein isn't concerned. Epstein believes Chicago's upper management team will survive its 2015 success intact as it plans improvements into 2016. "I think we have a pretty tight-knit group, and this is a great time be a Chicago Cub, whether you're in uniform of in the front office," Epstein said. "I don't really worry about losing people. But if we do, I think we have a really deep organization, that there's another layer ready to step up. We have some depth in the front office. "But I think that we're a great team in the front office, and I expect us to stay together for a while."Investor Relations And New General Solicitation Rules Brenda Hamilton
Submitted 2014-01-05 18:24:55 Investor relations also known as stock promotion involves the publication of information about a public company to increase its stock price and trading volume. The person who publishes this information is sometimes referred to as a “Stock Promoter”. Stock Promoters use a variety of media including spam email Wholesale Nike NFL Jerseys , internet and direct mail newsletters, stock websites and press releases.

While investor relations activities are not per se illegal, Stock Promoters are often the target of securities enforcement actions.

With the new rules allowing general solicitation in Rule 506(c) offerings, many investor relations firms are postioning themselves in a different role-that of publisher of information about Rule 506 offerings instead of disseminating information designed to raise a company’s public trading price.

Due to the recent changes to Rule 506 that become effective on September 23,2 013, many promoters work closely with an securities lawyer to develop an effective compliance strategy for disseminating information about private placements offerings by existing public companies and private companies in going public transactions. Most often, enforcement actions concerning dissemination of information by stock promoters arises from violations of Section17(b) and Section 5 of the Securities Act of 1933 Wholesale NFL Jerseys , (the “Securities Act”) and Section 15 of the Securities Exchange Act of 1934 (the “Exchange Act”).

Securities Act Section17(b).

Section17(b) is an anti-fraud statute that requires Stock Promoters as publishers of information to provide full disclosure of their compensation including:

♦ Type of compensation (securities or cash) received;

♦ If the compensation is in securities, whether the securities are restricted or unrestricted;

♦ Amount of securities or cash paid;

♦ Source of compensation (directly and indirectly) and if compensated by a third party shareholder or corporate entity, the shareholder or control persons of the entity must be identified by his or her individual name; and

♦ If a corporate entity is the publisher of the information, the control persons of the corporate entity must be disclosed.

Section 17(b) also requires that the Publisher disclose his or her compensation in every press release, as well as other published documents, including emails or faxes. The disclosure must state the relationship of the payer to the issuer that the Stock Promoter is promoting. In the case of an SEC reporting company engaging a Stock Promoter, the issuer should disclose the terms of the Stock Promoter’s engagement including compensation in its periodic filings on the SEC’s Edgar database or OTCMarkets website. Most investor relations firms fail to comply with Section 17(b). Additionally Wholesale Jerseys , even where disclosures or disclaimers are included in investor relations publications, many do not comply with Section 17(b)’s specificity requirement.

Anyone who receives or reviews investor relations materials by email, hard copy, fax, website or any other media should consider the materials to be part of an illegal ”pump and dump” tout unless the disclosures required by Section 17(b) are provided. It should be noted that compliance with 17(b) does not ensure compliance with the anti-fraud or registration provisions of the securities laws. Author Resource:- For blog further information about this article, please contact Brenda investor relations fraud Hamilton, Securities Attorney blog at 101 Plaza Real S Wholesale Jerseys Free Shipping , Suite investor relations 202 N, Boca Raton Florida,
at 561-416-8956 17(b) or visit http:www.securitieslawyer101.

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