Django of Securities Fraud
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Attention Jessica Lockett attorney for $DSCR
To: Jessica M. Lockett
Lockett and Horwitz
www.lhlawpc.com
From: Minority Shareholders of Discovery Minerals, Ltd.
RE: CUSIP Number Error Discovery Minerals, Ltd.
Jessica M. Lockett, can you or one of your law firm's partners explain why your client, Discovery Minerals Ltd., CUSIP number 25470V109 is for a Nevada Corporation with 5,000,000,000 common shares, rather than a Wyoming Corporation with 10,000,000,000 common shares?
It looks like when Discovery Minerals, Ltd., did the undisclosed reincorporation from Nevada to Wyoming, (July 2018) management or their "special counsel" James M. Donovan, forgot to get a NEW CUSIP Number.
Please feel free to communicate with https://cusip.com and get back to us with your findings.
What we discovered is below, please feel free to confirm:
1. CUSIP Number: 25470V109
2. Name of Issuer: Discovery Minerals. Ltd.
3. Incorporated: Nevada
4. Authorized Common: 5,000,000,000
5. Par Value: $0.00001
In the latest filing from Discovery Minerals Ltd.
Annual Report for January 13. 2023. for period ending September 30, 2022, it states the following:
1. CUSIP: 25470V109
2. Par or States Capiral: $0.0001. and not $0.00001
4. Total shares authorized: 10,000,000,000 and not 5,000,000,000
Source: https://www.otcmarkets.com/otcapi/company/financial-report/356968/content (page 24 of 25)
Jessica M. Lockett, please explain how Discovery Minerals Ltd., CUSIP number states it is for 5,000,000,000 common shares when the annual report states that is has 7,437,913,081 common shares outstanding?
Is this is correct, which can be confirmed by contacting CUSIP directly at https://cusip.com, would this mean that Discovery Minerals, Ltd., has sold more than 2,437,913.081 shares, over its CUSIP reported authorized capital?
If so, please explain why a registered rescission of the 2,437,913.081 is not needed. Please also cite the exemption Discovery Minerals, Ltd, is relying upon.
Thank you for your time
The minority shareholders
Discovery Minerals, Ltd.
$DSCR understanding the conspiracy to commit securities fraud
USA vs Richardson 2:20-cr-00333 Eastern District of PA
USA vs Richardson Eastern District of PA,
case number 2:20-cr-00333,filed 9/30/2020.
https://www.scribd.com/document/499218464/AIDCFITXIGRWIndictment
Common Elements
429 W. Plumb Lane, Reno Nevada 89509
Home of the following companies:
1. DSCR; Caveat Emptor Status;
2. FITX; Suspended February 2016;
3. IGRW; Suspended February 2016;
4. VIRA; Current Pink;
5. NHEL; Suspended July 2019;
6. ANVV; Suspended July 2019;
7. ADIC. Suspended February 2016.
And same cast of characters including:
A. Fred Schiemann; Permanent Injunction
B. Frank Petronis;
C. Henry Manayan;
D. Morgan Petitti; Permanent Injunction
E. Scott Watkins; plead guilty/awaiting sentencing
F. Russell Smith;
G. Ricardo Richardson; indicted/ awaiting trial
H. Joel Stohlman; plead guilty/awaiting sentencing
I. Edward Heil indicted / awaiting trial
J. Gary Wolff indicted /awaiting trial
Why $DSCR's Management should be indicted for securities fraud?
This company CEO lied to the WY SOS to illegally increase the authorized capital from 5,000,000,000 to 10,000,000,000 common shares.
All for the purpose of executing this corporate action of increasing the authorized common share capital, ALL without NOTICE of meeting and APPROVAL of the shareholders of $DSCR.
Further the CEO knowingly with scienter materially concealed (highest form of non disclosure), that this corporate action of raising the authorized common shares from any mandatory disclosures. Even to go as far as to omit this action from the "subsequent events" portion of ALL OTC mandatory reports, from June 2018 to current (4 years).
Here is where you can start reading of the level of fraud you have all been subjected to.
DSCR The $49,000,000+ Accounting Error
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167813612
Further in support:
1. $DSCR a spoke in much bigger fraud
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167773690
2. A call for an adverse bankruptcy filing
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167773612
3. Further Evidence Supporting a Criminal Investigation. Part 6
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167773470
4. Further Evidence Supporting a Criminal Investigation. Part 5
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167773449
5. Further Evidence Supporting a Criminal Investigation. Part 4
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167773438
6. Further Evidence Supporting a Criminal Investigation. Part 3
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167773397
7. Further Evidence Supporting a Criminal Investigation. Part 2
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167773340
8. Further Evidence Supporting a Criminal Investigation. Part 1
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167807401
$DSCR Evidence in Support of a Securities Fraud 10b-5 Investigation
240.10b-5 Employment of manipulative and deceptive devices What are the elements of a 10b-5 claim?
“To succeed on a Rule 10b-5 fraud claim [based on an untrue
statement or omission of a material fact], a plaintiff must
establish:
(1) a false statement or omission of material fact;
(2) made with scienter;
(3) upon which the plaintiff justifiably relied;
(4) that proximately caused the plaintiff's injury.
In support of the above the following evidence is provided:
9. Exhibit 1 May 7 Twitter DSC Coin Communication;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167229019
10. Exhibit 2 May 11 Twitter DSC Coin Communication;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167229492
11. Exhibit 3 DSC Coin Not Registered May 7, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167229825
12. Exhibit 4. DSCR Trading History 12-23-2020 to 12-22-2001;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167229873
13. Exhibit 5 Discovery Minerals LTD., Press Release Dated May 11, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167229989
14. Exhibit 6. False & Misleading Information;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167230167
15. Exhibit 7. Discovery Minerals Placed in Caveat Emptor Status;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167230235
16. Exhibit 8. What is Caveat Emptor Status;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167230270
17. Part 1 - Using Twitter to Broadcast Non Public Information;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167233192
18. Exhibit 11. Social Media Used Pump & Dump;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167254134
19. Exhibit 14 Discovery Minerals Tweet May 4, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167256643
20. Exhibit 15-a Discovery Minerals Tweet May 7, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167256663
21. Exhibit 15-b Discovery Minerals Tweet May 7, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167256686
22. Exhibit 15-c Discovery Minerals Tweet May 7, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167256712
23. Exhibit 15-d Discovery Minerals Tweet May 7, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167256720
24. Exhibit 15-e Discovery Minerals Tweet May 7, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167256748
25. Exhibit 15 f Discovery Minerals Ltd Tweets May 6, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167256989
26. Exhibit 16-a Discovery Minerals Investors Hub Message Board Post (May 4 to May 11, 2021);
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167257224
27. Exhibit 17.b Etherscan - Sales of DSC Coin Prior to May 11 Company Press Release Announcement (Yahoo);
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167258270
28. Exhibit 18 Discovery Minerals $Volume & Trading History;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167259561
29. Exhibit 19. Discovery Minerals Announces DSC Coin on https://discoverymeinerals.com on May 21, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167260731
30. Exhibit 20 "Should I Buy DSCR Stock" the video;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167261784
31. Exhibit 21. Michael Handelman, CPA;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167276636
32. Exhibit 22. Annual Report 9-30-2019 filed 10-17-2019;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167276920
33. Exhibit 23. Why Does a Message Board Poster Have Access to OTCmarkets.com Issuer Only Access Link?;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167282590
35. 39 Exhibits That Show Insider Trading Occured;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167282743
36. Exhibit 26. DSC Coin Board Shows Insider Information was Broadcasted to Select Shareholders;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167289902
37. Exhibit 28.a. Use of YouTube To Broadcast Non Public Information May 6, 2021
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167310109
38. Exhibit 37 Post index from Marauder Proves Coin Sale Occured
Source:
39. Exhibit 43. James M Donovan Esquire;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167539817
40. Exhibit 44 Jessica M. Lockett, Esq. filed 2/12/2019;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167540176
41. Exhibit 45. Par Value of Authorized Capital Not The Same;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167540715
42. Exhibit 45. Par Capital Does NOT ADD UP PART 2-;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167540716
43. Exhibit 46. DSCR Nevada SoS Certified Filings;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167543477
44. Exhibit 47. DSCR Wyoming Articles of Continuance;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167543581
45. Exhibit 48. Reincorporation into Wyoming to Increase shares to
10,000,000,000 circumventing shareholder approval and meeting;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167544241
46. Exhibit 54. Authorized Capital Increase from 5-10 Billion Common shares, Par Value $.0001;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167606389
47. Alt5 Sigma's Response on DSC Coin Sale
26 January, 2022
IMPORTANT LEGAL NOTICE REGARDING ALT 5 Sigma Inc., and Discovery Minerals Ltd., and the Discovery Minerals Coin.
We are writing you further to the receipt of inquiries from Discovery Minerals’ shareholders and or purchasers of the Discovery Minerals Coin as it pertains to the role and relationship of ALT 5 Sigma Inc. and Discovery Minerals Ltd.
On March 9, 2021, Discovery Minerals Ltd entered into a technology and consulting agreement with ALT 5 Sigma Inc. to build the technology framework for the sale of the Discovery Minerals Coin.
ALT 5 Sigma provided the technology and consulting services to Discovery Minerals and Discovery Minerals proceeded with the sale of its coin whereby proceeds from the sale of the coin were remitted to Discovery Minerals Ltd and more specifically to the company’s president, Mr. Russell Smith.
ALT 5 Sigma Inc. provided technology and consultancy services only and was not party to the sale of the Discovery Minerals Coin.
It should be noted that Discovery Minerals Ltd. proceeded to file false and misleading statements with the OTC Markets namely the name of the control person of ALT 5 Sigma Inc. as being Brian Scott
is incorrect.
Neither ALT 5 Sigma Inc., nor Brian Scott entered into any loan agreement with Discovery Minerals Ltd. for the reimbursement of the Discovery Minerals Coin.
Shareholders, Stakeholders and or Discovery Minerals Coin holders should read the most recent filings by Discovery Minerals Ltd. at
https://www.otcmarkets.com/otcapi/company/financialreport/315640/content. More attention should be placed on Note #8:
Note 8 – Subsequent Events Management has evaluated subsequent events pursuant to the requirements of ASC Topic 855 after the balance sheet date through the date the financial statements were issued. As previously disclosed in the Company’s period ending March 31, 2021 quarterly report and further press release dated April 30, 2021, the Company signed an agreement with ALT 5 Sigma for the development of its Discovery Coin and Gateway Payment. However, management has determined this course of action would not be in the Company’s or the shareholders best interest and has terminated the agreement and is no longer exploring a crypto currency initiative. In December 2021 the Company entered into an escrow agreement whereby all coin buyers will be refunded their full purchase amount.
We therefore ask that you contact Discovery Minerals Ltd. If you have any questions and or comments regarding the company, its coin and or the refund.
Sincerely,
ALT 5 Sigma Inc.
ALT 5 Communications
420 Lexington Ave., New York, NY 10170
Unsubscribe
Source: https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167646217
48. Email from Discovery Minerals Admits Coin Sale
Date December 13, 2021 lack of memory is going to be your downfall.
From: DSCR Management
RE: DSC Coin Sale
"...Due to the high volume of emails, we will be having longer than normal response times. We apologize for the inconvenience but we are grateful for your support and patience.
DSCR is committed to transparency, and we are working tirelessly to ensure we have everything up to date on our website, social media and investor relations.
If you have questions about the coin, we will be issuing refunds. Please send a copy of receipts or purchasing agreements to us via email. Please allow 7 days for a response.
If you are inquiring about verified pink status on OTC, please know we have submitted all necessary paperwork and are awaiting updates as well.
If you are inquiring about The Ruby Mine or our JV, please know we have more details to be released in the next few weeks.
Thank you for your support. We appreciate all of our shareholders.
Best,
DSCR Team..."
More Inside Information
To file a SEC Complaint you can file one here
https://www.sec.gov/oiea/Complaint.html
To file a Wyoming Complaint with the Attorney General you can file one here
https://ag.wyo.gov/law-office-division/consumer-protection-and-antitrust-unit/consumer-complaints
Wrong Once Again PennyMover
1. The DSCR coin announcement on May 11 was a national release, and confirmed by their Twitter account.
May 11 Twitter DSC Coin Communication;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167229492
2. The increase in authorized capital, you cite the wrong WY statute. DSCR had 3 classes of stock outstanding, the WY SoS statute you cite only works for 1 class outstanding.
Reincorporation into Wyoming to Increase shares to
10,000,000,000 circumventing shareholder approval and meeting;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167544241
To make this even worse is the concealment of the increase in ALL mandatory filings, going as far as omitting it from "subsequent events"
Below is a full report dispelling your misinformation.
Good primer to get up to speed
DSCR The $49,000,000+ Accounting Error
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167813612
Further in support:
1. $DSCR a spoke in much bigger fraud
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167773690
2. A call for an adverse bankruptcy filing
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167773612
3. Further Evidence Supporting a Criminal Investigation. Part 6
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167773470
4. Further Evidence Supporting a Criminal Investigation. Part 5
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167773449
5. Further Evidence Supporting a Criminal Investigation. Part 4
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167773438
6. Further Evidence Supporting a Criminal Investigation. Part 3
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167773397
7. Further Evidence Supporting a Criminal Investigation. Part 2
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167773340
8. Further Evidence Supporting a Criminal Investigation. Part 1
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167807401
$DSCR Evidence in Support of a Securities Fraud 10b-5 Investigation
240.10b-5 Employment of manipulative and deceptive devices What are the elements of a 10b-5 claim?
“To succeed on a Rule 10b-5 fraud claim [based on an untrue
statement or omission of a material fact], a plaintiff must
establish:
(1) a false statement or omission of material fact;
(2) made with scienter;
(3) upon which the plaintiff justifiably relied;
(4) that proximately caused the plaintiff's injury.
In support of the above the following evidence is provided:
9. Exhibit 1 May 7 Twitter DSC Coin Communication;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167229019
10. Exhibit 2 May 11 Twitter DSC Coin Communication;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167229492
11. Exhibit 3 DSC Coin Not Registered May 7, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167229825
12. Exhibit 4. DSCR Trading History 12-23-2020 to 12-22-2001;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167229873
13. Exhibit 5 Discovery Minerals LTD., Press Release Dated May 11, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167229989
14. Exhibit 6. False & Misleading Information;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167230167
15. Exhibit 7. Discovery Minerals Placed in Caveat Emptor Status;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167230235
16. Exhibit 8. What is Caveat Emptor Status;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167230270
17. Part 1 - Using Twitter to Broadcast Non Public Information;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167233192
18. Exhibit 11. Social Media Used Pump & Dump;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167254134
19. Exhibit 14 Discovery Minerals Tweet May 4, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167256643
20. Exhibit 15-a Discovery Minerals Tweet May 7, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167256663
21. Exhibit 15-b Discovery Minerals Tweet May 7, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167256686
22. Exhibit 15-c Discovery Minerals Tweet May 7, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167256712
23. Exhibit 15-d Discovery Minerals Tweet May 7, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167256720
24. Exhibit 15-e Discovery Minerals Tweet May 7, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167256748
25. Exhibit 15 f Discovery Minerals Ltd Tweets May 6, 2001;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167256989
26. Exhibit 16-a Discovery Minerals Investors Hub Message Board Post (May 4 to May 11, 2021);
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167257224
27. Exhibit 17.b Etherscan - Sales of DSC Coin Prior to May 11 Company Press Release Announcement (Yahoo);
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167258270
28. Exhibit 18 Discovery Minerals $Volume & Trading History;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167259561
29. Exhibit 19. Discovery Minerals Announces DSC Coin on https://discoverymeinerals.com on May 21, 2021;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167260731
30. Exhibit 20 "Should I Buy DSCR Stock" the video;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167261784
31. Exhibit 21. Michael Handelman, CPA;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167276636
32. Exhibit 22. Annual Report 9-30-2019 filed 10-17-2019;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167276920
33. Exhibit 23. Why Does a Message Board Poster Have Access to OTCmarkets.com Issuer Only Access Link?;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167282590
34. Exhibit 24. Using Investors Hub Message Board to Communicate Non Public Information.;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167282673
35. 39 Exhibits That Show Insider Trading Occured;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167282743
36. Exhibit 26. DSC Coin Board Shows Insider Information was Broadcasted to Select Shareholders;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167289902
37. Exhibit 28.a. Use of YouTube To Broadcast Non Public Information May 6, 2021
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167310109
38. Exhibit 37 Post index from Marauder Proves Coin Sale Occured
Source:
39. Exhibit 43. James M Donovan Esquire;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167539817
40. Exhibit 44 Jessica M. Lockett, Esq. filed 2/12/2019;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167540176
41. Exhibit 45. Par Value of Authorized Capital Not The Same;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167540715
42. Exhibit 45. Par Capital Does NOT ADD UP PART 2-;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167540716
43. Exhibit 46. DSCR Nevada SoS Certified Filings;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167543477
44. Exhibit 47. DSCR Wyoming Articles of Continuance;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167543581
45. Exhibit 48. Reincorporation into Wyoming to Increase shares to
10,000,000,000 circumventing shareholder approval and meeting;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167544241
46. Exhibit 54. Authorized Capital Increase from 5-10 Billion Common shares, Par Value $.0001;
Source:
https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167606389
To file a SEC Complaint you can file one here
https://www.sec.gov/oiea/Complaint.html
To file a Wyoming Complaint with the Attorney General you can file one here
https://ag.wyo.gov/law-office-division/consumer-protection-and-antitrust-unit/consumer-complaints
Alt5 Sigma's Response on DSC Coin Sale
26 January, 2022
IMPORTANT LEGAL NOTICE REGARDING ALT 5 Sigma Inc., and Discovery Minerals Ltd., and the Discovery Minerals Coin.
We are writing you further to the receipt of inquiries from Discovery Minerals’ shareholders and or purchasers of the Discovery Minerals Coin as it pertains to the role and relationship of ALT 5 Sigma Inc. and Discovery Minerals Ltd.
On March 9, 2021, Discovery Minerals Ltd entered into a technology and consulting agreement with ALT 5 Sigma Inc. to build the technology framework for the sale of the Discovery Minerals Coin.
ALT 5 Sigma provided the technology and consulting services to Discovery Minerals and Discovery Minerals proceeded with the sale of its coin whereby proceeds from the sale of the coin were remitted to Discovery Minerals Ltd and more specifically to the company’s president, Mr. Russell Smith.
ALT 5 Sigma Inc. provided technology and consultancy services only and was not party to the sale of the Discovery Minerals Coin.
It should be noted that Discovery Minerals Ltd. proceeded to file false and misleading statements with the OTC Markets namely the name of the control person of ALT 5 Sigma Inc. as being Brian Scott
is incorrect.
Neither ALT 5 Sigma Inc., nor Brian Scott entered into any loan agreement with Discovery Minerals Ltd. for the reimbursement of the Discovery Minerals Coin.
Shareholders, Stakeholders and or Discovery Minerals Coin holders should read the most recent filings by Discovery Minerals Ltd. at
https://www.otcmarkets.com/otcapi/company/financialreport/315640/content. More attention should be placed on Note #8:
Note 8 – Subsequent Events Management has evaluated subsequent events pursuant to the requirements of ASC Topic 855 after the balance sheet date through the date the financial statements were issued. As previously disclosed in the Company’s period ending March 31, 2021 quarterly report and further press release dated April 30, 2021, the Company signed an agreement with ALT 5 Sigma for the development of its Discovery Coin and Gateway Payment. However, management has determined this course of action would not be in the Company’s or the shareholders best interest and has terminated the agreement and is no longer exploring a crypto currency initiative. In December 2021 the Company entered into an escrow agreement whereby all coin buyers will be refunded their full purchase amount.
We therefore ask that you contact Discovery Minerals Ltd. If you have any questions and or comments regarding the company, its coin and or the refund.
Sincerely,
ALT 5 Sigma Inc.
ALT 5 Communications
420 Lexington Ave., New York, NY 10170
Unsubscribe
Source: https://investorshub.advfn.com/boards/read_msg.aspx?message_id=167646217
Email from Discovery Minerals Admits Coin Sale
Date December 13, 2021 lack of memory is going to be your downfall.
From: DSCR Management
RE: DSC Coin Sale
"...Due to the high volume of emails, we will be having longer than normal response times. We apologize for the inconvenience but we are grateful for your support and patience.
DSCR is committed to transparency, and we are working tirelessly to ensure we have everything up to date on our website, social media and investor relations.
If you have questions about the coin, we will be issuing refunds. Please send a copy of receipts or purchasing agreements to us via email. Please allow 7 days for a response.
If you are inquiring about verified pink status on OTC, please know we have submitted all necessary paperwork and are awaiting updates as well.
If you are inquiring about The Ruby Mine or our JV, please know we have more details to be released in the next few weeks.
Thank you for your support. We appreciate all of our shareholders.
Best,
DSCR Team..."
More Inside Information
Attention IRS, SEC, DoJ, Criminal Activity Found
Discovery Mineral Ltd., a Wyoming corporation is commitng a series of fraudlent concealments, to hide more than $2,538,000 that was embezzled by the management of DSCR
On May 11, 2021 Discovery Minerals, Ltd. sent a press release to be nationally diseminated. This press release mada a false representation stating that the DSC Coin would be a "Tethered coin" stating that the DSC Coin offering would be backed by 2,100 Ethereum, 2,100 Bitcoin, 2,100 ounces of siler and 2,100 of gold.*1
This misrepresentaiton / fraudlent inducement was used to sell more than $2,538,000 in DSC Coin to investors.
Upon managment realizing the statemetn to sell these coins was untrue, managment along with its co conspirators devised a method of hiding the DSC coin from shareholders including:
1. Omission of revenue from coin sales; *2
2. Denial from management that the coin sale happened;*3
3. Management physically deleted the DSC Coin SALES Website;
4. Management's refusal to give explanation of what happened with the DSC coin sale, in ANY public disclosure document.
Discovery Minerals Ltd., came on our radar screen through the crimnal indictment and upcoming trial of Ricardo Richardson.
USA vs Richardson 2:20-cr-00333 Eastern District of PA
Wait till you see how DSCR is related to a host of other deals. Research AIDC, FITX, IGRW, ANVV, NHEL. Assante Foods, Russell Smith, and Ricardo Richardson are common links here. IMHO
The criminal case against Ricardo Richardson is an eye opener. USA vs Richardson Eastern District of PA, case number 2:20-cr-00333, filed 9/30/2020.
https://www.scribd.com/document/499218464/AIDCFITXIGRWIndictment
Same supporting cast members, in DSCR consisting of past consultants, stock promoters, CPA, lawyer, transfer agents, taking plea deals prior to June 25, 2021 trial.
Scott Watkins Plead Guilty- Sentencing is scheduled for 7/22/2022
Joel Stohlman Plead Guilty - Sentencing is scheduled for 7/22/2022
Looks like past CPA in this Discovery Minerals, LTD, is a cooperating witness in the Riccardo Richardson case. This was triangulated via a read of the superseding indictment.
https://www.scribd.com/document/499218464/AIDCFITXIGRWIndictment
I would expect to see Discovery Minerals Ltd suspended, then the confession and testimony of Scott Watkins and Joel Stohlman leading to a formal investigation, and hopefully a paneled Grand Jury.
Common thread worth noting is 429 Plumb Ave. Reno Nevada. The address where all these deals were birthed.
Good research here someone email Russell Smith and for the record please get his relationship with; Gary Wolff, Edward Heil, Fred Schiemann, Henry Manayan, Randy Hamden, Ricardo Richardson, Scott Watkins, Morgan Petitti & Joel Stohlman.
We are fininshing our report on this, and if any DSCR shareholders want to help sleauth, would be really appreciatied. Send PM
Common motive, easier to sell stock through message boards promotion, then to execute on business model. This is the foundation of the fraud we have become victims to.
These people rely on investors not doing any due dillignece and are vulturing people to invest using a coordinate "FOMO" campaign.
When you have had enough the SEC has a one page website to lodge a complaint. Took me 3 minutes, and that was because I was waiting on my coffee.
https://www.sec.gov/oiea/Complaint.html
If you want to file with the Attorney General of Wyoming the website is. https://attorneygeneral.wyo.gov/
It is time that these people were made accountable for their criminal activity.
This Company Will Never File Another Financial Report. To do so will expose management, to flat out criminality.
More Research Why Wont Discovery Minerals Diclose THIS
15 Weeks since 97% plummet, discovery of fraud
The FOMO (fear of missing out) on this board is a coordinted effort of paid mesage board promoters. It has been 14 weeks since DSCR, got moved to unsolicited quotes. This was the result of OTC markets delisting their stock due to inadeqate disclosures.
These inadequate disclosures that placed DCSR into this situation are by design to conceal management's role in embezzling $2,538,000 worth of a crypto currency it sold. Between May 11,2021 and June 30,2021 Discovery Minerals sold $2,538,000 worth of a minted coin it created called the Discovery Mineral Coin.
Road Map of Mangements Conscious Effort To Commit Fraud.
Here is the road map of what was discovered, reported on this board, and further concealed by the management of Discovery Minerals,LTD., a Wyoming Corporation.
First what is SCIENTER?
Scienter is a defendant's knowledge that an act or conduct is wrongful and intent to act despite this knowledge. Scienter is often an element of liability, including in most cases involving assertions of fraud.
What are the elements of scienter that management of Discovery Minerals Ltd. committed.
1. Misrepresentation of DSC Coin Sale.
On May 11, 2021, the managment of Discovery Minerals Ltd. a Wyoming Corporation, sent out a press release, announcing the launch of a Ethereum token offering. *1
In that nationally disementated press release, Discovery Minerals, Ltd., represented that the DSC Coin was backed by more than $100,000,000 in assets.
"...The Discovery Minerals Coin ("DSC") is what is known as a Tethered Coin, whereby once fully distributed DSC will have a total of 2,100 Bitcoin, 2,100 Ethereum, 2,100 ounces of Gold, and 2,100 ounces of silver "backing" the coin..."
*1 Source: https://finance.yahoo.com/news/discovery-minerals-announces-official-launch-123000259.html
Upon examination of Discovery Minerals Ltd., latest publicly filed financial report filed on August 16, 2021 for period ending June 30, 2021, Discovery Minerals, LTD reported zero in revenue and assets of $238,000. *2
2. A financial misepresentation of more than $100,000,000 represented "backing" the DSC Coin.
*2 Source: page 12 (no revenue) & 13 ($238,000 assets) https://www.otcmarkets.com/otcapi/company/financial-report/296352/content
3.Through this misrepresentation of assets "backing" the DSC Coin. Discovery Minerals, Ltd was able to sell & transfer $2,538,000 worth of DSC coin sales, between the time period of May 11, 2021 to June 30,2020 *3.
*3. Source: https://etherscan.io/token/0xf4a9b9311d5167dc36e6b39f5c0baaa60bbcbbc1#balances
4. On August 16, 2021 Discovery Minerals Ltd., filed a mandatory current financial report with the OTC markets. This report covered the time period between March 31, 2021 to June 30, 2021 and should of included disclosure of the $2,538,000 worth of DSC Coin sales, it did not. In this report, Discovery Minerals Ltd. consciously conceals disclosure of the DSC Coin Offering three times including:*4.
Omission 1. The reporting of zero revenue;
(Page 12 of *4)
Omission 2. Disclosing the method of booking revenue, consistent with the DSC Coin sale;
(Page 16 of *4)
Omission 3 Subsequent Events section, omitting that the DSC Coin offering existed.
(Page 22 of *4)
*4 Source: https://www.otcmarkets.com/otcapi/company/financial-report/296352/content
5. To further conceal DSC coin offering sale of $2,538,000, Discovery Mineral Ltd., purposely took down the DSC coin offering website as seen here.
https://discoverymineralscoin.com
An archive of the DSC coin offering website, shows the extreme level that managment went to, to conceal the $2,538,000 in DSC Coin sales from the minority shareholders of Discovery Minerals Ltd.
*5a (archived) Discovery Minerals Coin offering website
https://web.archive.org/web/20210517233805/https://discoverymineralscoin.com/
The minority shareholders have lost 95% of the value of their stock since September 2021. The main driver of this, the market has discovered the negligence of what management has concealed.
This is why this company needs to be suspended, until Discovery Minerals Ltd., can explain these disrepancies to the market, the minority shreholders will continue to lose money in this stock.
When you have had enough the SEC has a one page website to lodge a complaint. Took me 3 minutes, and that was because I was waiting on my coffee.
https://www.sec.gov/oiea/Complaint.html
If you want to file with the Attorney General of Wyoming the website is. https://attorneygeneral.wyo.gov/
It is time that these people were made accountable for their conduct.
Misrepresented $100,000,000 Assets, To Sell $2,538,000 in Coins.
Simple coloring book connect the dots here. Discovery Minerals Ltd. Created a wholly owned subsidiary called Discovery Minerals Coin.
Creates a Token, closes a deal with a payment processor and sells 1,200,000+ DSC tokens between May 11, 2021 and June 30,2021.
On the June 30, 2021 mandatory report Discovery Minerals, LTd. omits 3 times disclosure of DSC Coin. Then goes as far as taking the Https://discoverymineralscoin.com website down.
Why would management goto to such great lengths as to conceal this from the minority shareholders of Discovery Mineral Ltd?
The answer is that Discovery Mineral lied to Coin buyers and represented that the coin was backed by 2,100 Ethereum, 2,100 Bitcoin, 2,100 Ounces of Gold and 2,100 Ounces of Silver. To report this in mandatory filings would expose management to the fraud they told DSC Coin buyers.
To make matters worse, managment decided to conceal this mistake when identified and refuses to correct teh public disclosure document to relfect adequate financial information about Discovery Minerals, Ltd.
Every day that management refuses to address this the minority shareholders suffer.
Since September 27, 2021 this is down more than 90% & is the exact conduct that the SEC has suspended companies in the past for doing.
Further Due Diligence
2. A financial misepresentation of more than $100,000,000 represented "backing" the DSC Coin.
*2 Source: page 12 (no revenue) & 13 ($238,000 assets) https://www.otcmarkets.com/otcapi/company/financial-report/296352/content
3.Through this misrepresentation of assets "backing" the DSC Coin. Discovery Minerals, Ltd was able to sell & transfer $2,538,000 worth of DSC coin sales, between the time period of May 11, 2021 to June 30,2020 *3.
*3. Source: https://etherscan.io/token/0xf4a9b9311d5167dc36e6b39f5c0baaa60bbcbbc1#balances
4. On August 16, 2021 Discovery Minerals Ltd., filed a mandatory current financial report with the OTC markets. This report covered the time period between March 31, 2021 to June 30, 2021 and should of included disclosure of the $2,538,000 worth of DSC Coin sales, it did not. In this report, Discovery Minerals Ltd. consciously conceals disclosure of the DSC Coin Offering three times including:*4.
Omission 1. The reporting of zero revenue;
(Page 12 of *4)
Omission 2. Disclosing the method of booking revenue, consistent with the DSC Coin sale;
(Page 16 of *4)
Omission 3 Subsequent Events section, omitting that the DSC Coin offering existed.
(Page 22 of *4)
*4 Source: https://www.otcmarkets.com/otcapi/company/financial-report/296352/content
5. To further conceal DSC coin offering sale of $2,538,000, Discovery Mineral Ltd., purposely took down the DSC coin offering website as seen here.
https://discoverymineralscoin.com
An archive of the DSC coin offering website, shows the extreme level that managment went to, to conceal the $2,538,000 in DSC Coin sales from the minority shareholders of Discovery Minerals Ltd.
*5a (archived) Discovery Minerals Coin offering website
https://web.archive.org/web/20210517233805/https://discoverymineralscoin.com/
The minority shareholders have lost 95% of the value of their stock since September 2021. The main driver of this, the market has discovered the negligence of what management has concealed.
This is why this company needs to be suspended, until Discovery Minerals Ltd., can explain these disrepancies to the market, the minority shreholders will continue to lose money in this stock.
When you have had enough the SEC has a one page website to lodge a complaint. Took me 3 minutes, and that was because I was waiting on my coffee.
https://www.sec.gov/oiea/Complaint.html
If you want to file with the Attorney General of Wyoming the website is. https://attorneygeneral.wyo.gov/
Either a Liar or Inside Trading Stock Promoter
The lines get blurry with all this fraud. Like playing whack a mole, with all the misdirection and lies. Newsflash Fred Schiemann being kicked out of OTCmarkets is the first of many shoes to fall.
The predicable part is that there is 0 loyalty when the Feds come knocking. At criminal trial and hearings in PA watching the defendants actually start crying "Stuttering Stoolman" can be heard in the halls .
Funny how this is where these people wind up, they want sympathy from the judge, and he is basically telling them to look it up in the dictionary, Sympathy is between Sh*t and Syphilis
1,000's of investors lost tens of millions of dollars to this $DSCR PUMP & DUMP.
Fake Coin - nice try of the Alt5 Sigma handoff, could care less who has the money, I am more interested in DSCR management's press releases, and concealment in mandatory disclosures.
You know the press release one on May 11, 2021 that stated by DSCR that the DSC Coin was backed by:
1. 2,100 ETH;
2. 2,100 BTC;
3 2,100 Ounces of Silver; and
4. 2,100 Ounces of Gold.
In total DSCR represented to investors that the DSC Coin was backed by more than $100,000,000 in assets. When in fact it had $0 behind it.
This was a lie and what is known as a fraudulent inducement. It further was used to sell $2,500,000 worth of DSC Coin.
The only explanation given for this is from PennyMover,
no DSCR comment 0.
More Question than Answers
1. Discovery Mineral Wyoming filings
https://wyobiz.wyo.gov/Business/FilingDetails.aspx?eFNum=110028154016030013238250196054172072183198118054
2. Wyoming Attorney General's Office ( to file a criminal complaint)
https://attorneygeneral.wyo.gov/home
3. SEC to file a Complaint
https://www.sec.gov/oiea/Complaint.html
4. The SEC absoultely regulates crypto, ask XRP (Ripple). This is a naive statement, compound that with the fact you don't know where Discovery Minerals is even incorporated. You might want to sit the next quarter on the bench.
The SEC absolutely regulates an Issuer, especially when lies are made to shareholders. Section 10(b)5 is a good place to start your research.
6. People need to goto jail over this. What has been discovered is so over the top. Like a bad movie, if it wasn't so damaging (stealing money from innocent people), this would be comical.
7. DSC COIN + Fraudlent Assets = Material Concealment
8. Why would Discovery Minerals Ltd. sell $2,538,000 worth of a DSC Coin and not report the revenue from this?
9. Because the company lied to buyers of the DSC Coin about the assets backing it.
10. ACTUAL STATEMENT FROM Discovery Minerals LTD.
11. "...The Discovery Minerals Coin ("DSC") is what is known as a Tethered Coin, whereby once fully distributed DSC will have a total of 2,100 Bitcoin, 2,100 Ethereum, 2,100 ounces of Gold, and 2,100 ounces of silver "backing" the coin..."
Source of LIE
12. https://finance.yahoo.com/news/discovery-minerals-announces-official-launch-123000259.html
13. Discovery Minerals LTD Press Release Dated May 11,2021
14. https://finance.yahoo.com/news/discovery-minerals-announces-official-launch-123000259.html
15. Etherscan Proof of DSC Coins Sales totaling $2,538,000
16. https://etherscan.io/token/0xf4a9b9311d5167dc36e6b39f5c0baaa60bbcbbc1
17. Archived website that the management of Discovery Mineral Ltd, purposely took down, to conceal the sale of $2,538,000 worth of DSC Tokens.
https://web.archive.org/web/20210517233805/https://discoverymineralscoin.com/
18. Discovery Minerals LTD, OTC Mandatory Report for period ending June 20, 2021.
19. https://www.otcmarkets.com/otcapi/company/financial-report/296352/content
20. Page 22 of this has the SMOKING GUN, goto jail do not pass go. It shows Discovery Minerals Ltd. managment's state of mind in further concealing this fraud.
21. "...Note 8 – Subsequent Events
Management has evaluated subsequent events pursuant to the requirements of ASC Topic 855 after the balance sheet date through the date the financial statements were issued.
22. "...The Company did not identify any additional material events or transactions occurring during this subsequent event reporting period that required further recognition or disclosure in these financial statements..."
THIS IS THE NAIL IN THE COFFIN and why the SEC is going to suspend this company for inadequate financial information.
23. This explains why Discovery Minerals Ltd disowned knowledge of this DSC COIN, look at the representation they made.
24.Discovery Minerals LTD published public statement "...The Discovery Minerals Coin ("DSC") is what is known as a Tethered Coin, whereby once fully distributed DSC will have a total of 2,100 Bitcoin, 2,100 Ethereum, 2,100 ounces of Gold, and 2,100 ounces of silver "backing" the coin..."
25. The assets backing the DSC Coin Offering NEVER EXISTED. Yet the company still lied in representation that the DSC Coin had in excess of $100,000,000 "backing the coin".
26. This is a lie that DSCR told DSC Coin buyers to get $2,538,000 in sales, and why they fraudulently concealed disclosure of the sales and revenue.
27. This is why the DSC Coin sale is not mentioned, in mandatory financial reports. (material omission / fraudulent concealment).
28. This is why management of Discovery Minerals Ltd:
29. Took down the DSC Coin website.
30. Won't address this issue in public.
31. Why Discovery Minerals LTD is never filing another mandatory report again "at the advice of new counsel".
32. Result Discovery Minerals LTd.it is never getting current again.
33. This is why the SEC will suspend this company.
34. This is why the US Attorney's office needs to convene a grand jury and start issuing some indictments for this conduct. This scam is coordinated, organized and effective. The results is thousands of shareholders have had their money stolen by a bunch of security fraudsters
Fred Schiemann & DSCR Part 2
Fred Schiemann, can you explain to us, how these shares went to you, from the Wellness Builder, Inc acquisition from IGRW. We cannot find the 10% owed to Viratech minority shareholders.
Fred Schiemann being you were the CFO of both IGRW and VIRA (Viratech) when this happened the minority shareholders of Viratech would like to know where the $4,200,000 in value due to them went?
The keystone to the DSCR fraud resides in the twinning of three companies:
Wellness Builder, Inc;
WellnessBuilder &;
Wellness Builder Corp.
This is where the USA v Ricardo Richardson indictment comes in, these shares that were embezzled from the minority shareholders of Viratech, went to fund the criminal conspiracy being played out right now in the Eastern District of PA.
Stand by smoking gun coming, I feel this is the reason why Fred Schiemann earned the recent distinction of being placed on the OTC Prohibited Vendor List.
Source: https://www.otcmarkets.com/learn/prohibited-service-providers
All Roads Lead to Fred Schiemann's Actions
Case No. 2:20-cr-00333-JMG
United States vs. Ricardo Richardson, John Scott Watkins, Gary Wolfe, Edward Heil
Source: https://www.scribd.com/document/499218464/AIDCFITXIGRWIndictment
DSCR & Wellness Builder, WellnessBuilder Wellness Builder Corp
"What makes corruption so insidious, is that it is allowed to hide in the opportunities that never came". The activity here is beyond just a simple pump and dump, and is the tip of a spear of a larger criminal conspiracy to defraud thousands of investors out of hundreds of millions of dollars.
This conspiracy extends to stock promoters, lawyers, CEOs, transfer agents, CPA's & funders, all working in unison to sell worthless stock based off of "blue sky" and FOMO (Fear Of Missing Out) combination.
These culprits need to be brought to justice, and made an example of. The are the cancer of the American Dream and fueled by a common motive operandi consisting of an attitude and culture, that it is easier to sell stock then execute on their business model.
This is a gross violation of an owed fiduciary duty of care to the minority shareholders, and is allowed to survive because of the culprits operating under the radar screen of small scams, via a rinse and repeat format.
The SEC has bigger fish to fry and this conduct individually is a not on their radar screen. That is why we consolidated the corruption found, provenanced the transgressions, and added this all up. In the end more that $350,000,000 has been stolen from shareholders by a group of co-conspirators over a 9 year period.
Where did the genesis of the stock fraud come from?
Common Elements $DSCR, $VIRA, $IRGW, $FITX & $AIDC
What is the fulcrum that ties $DSCR, $VIRA, $IGRW, $FITX, AIDC, together
For that answer 4 pieces of evidence are tied together
1. US Federal criminal indictment Case No. 2:20-cr-00333-JMG ?
2. Wellness Builder, Inc;
3. Wellnessbuilder;
4 Wellness Builder Corp.
These 3 corporations (2-4) were used to conceal from mandatory public company disclosure more that 135,000,000 common shares of Wellness builders common stock, These shares were due to the benefit of the minority shareholders of Viratech Corp., (Symbol: VIRA), Instead those shares and the money earned by selling them, went to fuel a criminal conspiracy as detailed in the criminal indictment titled:
1. Case No. 2:20-cr-00333-JMG
United States vs. Ricardo Richardson, John Scott Watkins, Gary Wolfe, Edward Heil.
Source: https://www.scribd.com/document/499218464/AIDCFITXIGRWIndictment
On July 13, 2013 the shares that were due to Viratech, Corp, were embezzled via a Twinning concept of creating 3 separate companies consisting of:
#2 Wellness Builders Inc,
#3. WellnessBuilder, and then ultimately to
#4 Wellness Builder Corp.
In an acquisition agreement from Interactive Health Network to Viratech in 2013, 2014 the paper shuffle of #2, #3 and #4 is exhibited.
This usurpation was all the detriment of the minority shareholders of Viratech Corp. (Symbol: VIRA), to the benefit of Interactive Health Network (Symbol IGRW), who used the proceeds to fund a massive ongoing pump and dump, which has been well documented in the superseding indictment titled Case No. 2:20-cr-00333-JMG and documented below.
Here is the provenance of the mechanism which allowed the embezzlement of $4,200,000 from the minority shareholders of Viratech in January 2013 to July 2014.
Exhibit #2. Wellness Builder, Inc.
Wellness Builder Inc.
Nevada Corporation
5/25/2010
File # 20200496344
Fred V. Schiemann
429 W Plumb Lane,Reno NV 85009
75,000,000 shares Par Value $0.01
Entity Name:WELLNESS BUILDER, INC.
Entity Number:E0258542010-0
Entity Type:Domestic Corporation (78)
Entity Status:Permanently Revoked
Formation Date:05/25/2010
NV Business ID:NV20101396709
Annual Report Due Date: 6/30/2010
Exhibit 3. Wellnessbuilder
Entity Name:WELLNESSBUILDER
Entity Number:E0033242013-6
Entity Type:Domestic Corporation (78)
Entity Status:Permanently Revoked
Formation Date:01/22/2013
NV Business ID:NV20131041194
Annual Report Due Date: 2/28/2013
Name of Individual or Legal Entity:
FRED SCHIEMANN
Street Address:429 W PLUMB LANE,
RENO, NV, 89509, USA
Exhibit 4. Wellness Builder Corp.
Entity Name:WELLNESS BUILDER CORP.
Entity Number:E0216342014-0
Entity Type:Domestic Corporation (78)
Entity Status:Permanently Revoked
Formation Date: 04/23/2014
NV Business ID:NV20141279375
Annual Report Due Date:5/31/2014
Name of Individual or Legal Entity:
FRED SCHIEMANN
Street Address:429 W PLUMB LANE, RENO, NV, 89509, USA
Authorized 75,000,000 0.001000000000
Exhibit #1 The superseding indictment that this ties this all together
Case No. 2:20-cr-00333-JMG
United States vs. Ricardo Richardson, John Scott Watkins, Gary Wolfe, Edward Heil
Source: https://www.scribd.com/document/499218464/AIDCFITXIGRWIndictment
Last wait till you see the tie in with DSCR, get your popcorn ready.
There are 7 pumpers on this board
and they have their pumping electronic footprints in at least 5 other deals.
How the scam works:
1. attitude that it is easier to sell stock, than execute on business plan;
2. find an attorney that will write a 4.1/2 legal opinion (for convertible holder);
3. find a transfer agent that will accept the 4. 1.2 legal opinion;
4. find "mailable management" to go for the ride;
5. management & CD hooks up with PR - (stock promotion engine);
6. issue stock until it blowbacks;
7. find an accountant that will hide material facts;
8. reverse stock split, rinse and repeat.
In DSCR FINRA stopped allowing the reverse, therefore the reincorporation as a "beard" was used to disguise this process. It also explains the reason for no shareholder vote, notice or future disclosure in June of 2018.
DSCR has 3 classes of stock, to increase the authorized capital from 5,000,000,000 to 10,000,000,000 they were required under Wyoming and Nevada law to file notice to shareholder, then vote on the matter, and last under OTCMarkets rules are required to report this in future filings under "Subsequent Events".
In DSCR all three requirement (notice, vote, disclosure) were bypassed (big surprise), what is surprising is the level of scienter (state of mind standard) of management in this process. This is the key to prosecuting a securities fraud case.
These criminals stole millions of dollars from thousands of minority shareholders, they ALL belong in prison.
Read the superseding indictment USA v RIchardson (previous post), the 64 page indictment lays out the conspiracy nicely. Same footprint and players in this.
Then there is Fred Schiemann who recently got "booted" by OTCMarkets from being a service provider. Read the list of past prohibited vendors, not looking good for Fred.
The question now need to be asked, is how do the minority shareholders get money back, that was lost in this scam. Simple, we get 3 Coin Buyers who have not received a refund to file an adverse bankruptcy against DSCR.
While the DOJ appointed trustee is doing his discovery, the class then sues the two attorneys that allowed the the 5,000,000,000 to 10,000,000,000 authorized capital increase to happen.
Jessica Lockett is with a multimember firm (partners), this tells me that they (the law firm) has errors and omission insurance. The path to getting paid lies in suing the law firm for negligence IMHO.
You taking notes Fred.
Yawn, Pumper be pumping
DSCR 3 Classes of Stock Outstanding
1005 is invalid and applies to issuer having one class of shares. DSCR had 3 classes therefore 1003 is the rule.
1003 states notice, and vote needed, nice try on the deception. Also lets look at the subsequent events in the filings since. Notice no mention, yea me too, that's called material concealment.
A Fred specialty, that is catching up to him, and quick.
Adverse Bankruptcy Coming
Mark my words, it is going to be a blast watching each and everyone of these scumbags squirm at the 341 Creditors Hearing.
This fraud and the scumbags in it are about to get lit like a Christmas tree. The electronic footprints are far and wide, and all coming to a US Bankruptcy court near you.
$2,500,000 of DSCR Coin was sold under false pretenses, this is where the fuse gets lit.
With $188 in the bank, it will be interesting to see the "bankruptcy clawback" this is where the appointed DOJ Trustee is going to do the heavy lifting.
Excited to fill in the gaps with our intel file.
You got that Frank.
Coming from you a compliment
Fasten your seat belt, this is going to be a fun week.
Seems Fred Schiemann is in more trouble
Remember that illegal increase in authorized capital form 5,000,000,000 to 10,000,000,000, bypassing a shareholder vote via a lie to the WY SOS.
Well good news, this is going to be the match that brings the whole house down.
Hey Jessica Lockett, waiting for your attorney letter, hope your firm has E&O.
Lets settle this dispute with an Adverse Bankruptcy
There among other things we can pull the masks off this fraud, including the pumpers that lied and dumped shares.
Will be putting a creditors sheet out this week, we need 3 people who didn't receive a refund on the DSC Coin.
You know the one where DSCR stated it was backed by more than $100,000,000 Gold, Silver, ETH, and BTC.
I will be more than happy to pay the filing cost just so the scumbags can scurry back to their "Adult Services" websites.
Lets make 2023 the year these scumbags get a "perp walk"
You got that Fred.
The pumpers of the POS are back
DSCR will never be Pink again. A total scam, and a barometer of how inept the SEC is.
The scumbags in this deal, one and all belong in prison.
With $188 in the Bank the Coin Buyers
Are left in the cold.
You know what would straighten this all out a bankruptcy filing.
Cmon Jessica waiting for your letter to drop, lets get this party started.
Escrow on DSC Coin sales.
Please Jessica Lockett file the attorney letter. The attorney that signs off on this is going to get sued.
Reason Why
DSCR stated the DSC coin was backed by more than $100,000,000 in assets. From this material misrepresentation more than $2,500,000 of DSC Coin was sold
With $188 in the bank and no description of the escrow for the DSC Coin sale this Annual Report is materially false.
For the Lawyer contemplating the signing off on this Annual Report
NO ONE HAS RECEIVED A REFUND ON THE DSC COIN SALE
This misrepresentation is almost as bad as the fraudulent statement that Discovery Minerals LTD. Https://discoveryminerals.com is OTCQB when it is a Caveat Emptor Shell Risk.
This fraudulent statement has been posted for almost a year.
This POS will never be pink again, all the company is doing is trying to sink this boat.
Last the CPA for this financial statement has an inactive license, best they could get after Schiemann got kicked off the OTC Markets.
Source: https://www.otcmarkets.com/learn/prohibited-service-providers
Fred Schiemann's Involvement with AIDC Part 1
AIDC accountant Fred V. Schiemann has recently been barred from OTC Markets as a Service provider.
Source: https://www.otcmarkets.com/learn/prohibited-service-providers
This is due to the fact that Fred Schiemann received a permeant injunction in Federal Court
"The Commission announced that on June 16, 1993 the Honorable Edward C. Reed, U.S. District Judge for the Northern District of Nevada issued a permanent injunction against Fred V. Schiemann (Schiemann) of Reno, Nevada.
The order enjoins Schiemann from aiding and abetting future violations of the antifraud provisions.
Schiemann consented to the issuance of the permanent injunction without admitting or denying the allegations of the Commission's complaint.
The issue of the amount of disgorgement was left open.
The complaint alleged that while acting as a certified public accountant for the company, Pacific Waste Management, Inc. (Pacific Waste),
Schiemann fraudulent inflated assets of the company in two audited financial statements distributed to the public and market makers.
The inflated audited financial statements were relied on by an attorney to issue an opinion that those selling the securities of Pacific Waste need not comply with Rule lSc2-6. Broker-dealers relied on the opinion and did not comply with Rule 15c2-6 when soliciting the securities of Pacific Waste to their retail customers. Schiemann was aware that these audited financial statements would be relied on for this purpose. [SEC v. Pacific Waste Management, Inc .. et al., Civil No. CV-N-93-232-ECR, USDC Nevada] (LR-13704) "
Source:
https://www.sec.gov/news/digest/1993/dig071393.pdf
The following is in support of Fred Schiemann's on going conduct, which puts into question whether he is in violation of his Federal Court Permanent Injunction.
Criminal Indictment That Ties It All Together
Like a jigsaw puzzle this Criminal Indictment in the Eastern District of PA, puts the whole conspiracy in order.
IGRW & Fred Schiemann's Involvement Part 1
IGRW accountant Fred V. Schiemann has recently been barred from OTC Markets as a Service provider.
Source: https://www.otcmarkets.com/learn/prohibited-service-providers
This is due to the fact that Fred Schiemann received a permeant injunction in Federal Court
"The Commission announced that on June 16, 1993 the Honorable Edward C. Reed, U.S. District Judge for the Northern District of Nevada issued a permanent injunction against Fred V. Schiemann (Schiemann) of Reno, Nevada.
The order enjoins Schiemann from aiding and abetting future violations of the antifraud provisions.
Schiemann consented to the issuance of the permanent injunction without admitting or denying the allegations of the Commission's complaint.
The issue of the amount of disgorgement was left open.
The complaint alleged that while acting as a certified public accountant for the company, Pacific Waste Management, Inc. (Pacific Waste),
Schiemann fraudulent inflated assets of the company in two audited financial statements distributed to the public and market makers.
The inflated audited financial statements were relied on by an attorney to issue an opinion that those selling the securities of Pacific Waste need not comply with Rule lSc2-6. Broker-dealers relied on the opinion and did not comply with Rule 15c2-6 when soliciting the securities of Pacific Waste to their retail customers. Schiemann was aware that these audited financial statements would be relied on for this purpose. [SEC v. Pacific Waste Management, Inc .. et al., Civil No. CV-N-93-232-ECR, USDC Nevada] (LR-13704) "
Source:
https://www.sec.gov/news/digest/1993/dig071393.pdf
The following is in support of Fred Schiemann's on going conduct, which puts into question whether he is in violation of his Federal Court Permanent Injunction.
Criminal Indictment That Ties It All Together
Like a jigsaw puzzle this Criminal Indictment in the Eastern District of PA, puts the whole conspiracy in order.
Fred Schiemann & FITX Part 1
FITX accountant Fred V. Schiemann has recently been barred from OTC Markets as a Service provider.
Source: https://www.otcmarkets.com/learn/prohibited-service-providers
This is due to the fact that Fred Schiemann received a permeant injunction in Federal Court
"The Commission announced that on June 16, 1993 the Honorable Edward C. Reed, U.S. District Judge for the Northern District of Nevada issued a permanent injunction against Fred V. Schiemann (Schiemann) of Reno, Nevada.
The order enjoins Schiemann from aiding and abetting future violations of the antifraud provisions.
Schiemann consented to the issuance of the permanent injunction without admitting or denying the allegations of the Commission's complaint.
The issue of the amount of disgorgement was left open.
The complaint alleged that while acting as a certified public accountant for the company, Pacific Waste Management, Inc. (Pacific Waste),
Schiemann fraudulent inflated assets of the company in two audited financial statements distributed to the public and market makers.
The inflated audited financial statements were relied on by an attorney to issue an opinion that those selling the securities of Pacific Waste need not comply with Rule lSc2-6. Broker-dealers relied on the opinion and did not comply with Rule 15c2-6 when soliciting the securities of Pacific Waste to their retail customers. Schiemann was aware that these audited financial statements would be relied on for this purpose. [SEC v. Pacific Waste Management, Inc .. et al., Civil No. CV-N-93-232-ECR, USDC Nevada] (LR-13704) "
Source:
https://www.sec.gov/news/digest/1993/dig071393.pdf
The following is in support of Fred Schiemann's on going conduct, which puts into question whether he is in violation of his Federal Court Permanent Injunction.
Criminal Indictment That Ties It All Together
Like a jigsaw puzzle this Criminal Indictment in the Eastern District of PA, puts the whole conspiracy in order.
Fred Schiemann's Involvement with Viratech Part 1
VIRA accountant Fred V. Schiemann has recently been barred from OTC Markets as a Service provider.
Source: https://www.otcmarkets.com/learn/prohibited-service-providers
This is due to the fact that Fred Schiemann received a permeant injunction in Federal Court
"The Commission announced that on June 16, 1993 the Honorable Edward C. Reed, U.S. District Judge for the Northern District of Nevada issued a permanent injunction against Fred V. Schiemann (Schiemann) of Reno, Nevada.
The order enjoins Schiemann from aiding and abetting future violations of the antifraud provisions.
Schiemann consented to the issuance of the permanent injunction without admitting or denying the allegations of the Commission's complaint.
The issue of the amount of disgorgement was left open.
The complaint alleged that while acting as a certified public accountant for the company, Pacific Waste Management, Inc. (Pacific Waste),
Schiemann fraudulent inflated assets of the company in two audited financial statements distributed to the public and market makers.
The inflated audited financial statements were relied on by an attorney to issue an opinion that those selling the securities of Pacific Waste need not comply with Rule lSc2-6. Broker-dealers relied on the opinion and did not comply with Rule 15c2-6 when soliciting the securities of Pacific Waste to their retail customers. Schiemann was aware that these audited financial statements would be relied on for this purpose. [SEC v. Pacific Waste Management, Inc .. et al., Civil No. CV-N-93-232-ECR, USDC Nevada] (LR-13704) "
Source:
https://www.sec.gov/news/digest/1993/dig071393.pdf
The following is in support of Fred Schiemann's on going conduct, which puts into question whether he is in violation of his Federal Court Permanent Injunction.
Criminal Indictment That Ties It All Together
Like a jigsaw puzzle this Criminal Indictment in the Eastern District of PA, puts the whole conspiracy in order.
Certified Fraud Report Supporting Violation of Permeant Injunction
DSCR accountant Fred V. Schiemann has recently been barred from OTC Markets as a Service provider.
Source: https://www.otcmarkets.com/learn/prohibited-service-providers
This is due to the fact that Fred Schiemann received a permeant injunction in Federal Court
"The Commission announced that on June 16, 1993 the Honorable Edward C. Reed, U.S. District Judge for the Northern District of Nevada issued a permanent injunction against Fred V. Schiemann (Schiemann) of Reno, Nevada.
The order enjoins Schiemann from aiding and abetting future violations of the antifraud provisions.
Schiemann consented to the issuance of the permanent injunction without admitting or denying the allegations of the Commission's complaint.
The issue of the amount of disgorgement was left open.
The complaint alleged that while acting as a certified public accountant for the company, Pacific Waste Management, Inc. (Pacific Waste),
Schiemann fraudulent inflated assets of the company in two audited financial statements distributed to the public and market makers.
The inflated audited financial statements were relied on by an attorney to issue an opinion that those selling the securities of Pacific Waste need not comply with Rule lSc2-6. Broker-dealers relied on the opinion and did not comply with Rule 15c2-6 when soliciting the securities of Pacific Waste to their retail customers. Schiemann was aware that these audited financial statements would be relied on for this purpose. [SEC v. Pacific Waste Management, Inc .. et al., Civil No. CV-N-93-232-ECR, USDC Nevada] (LR-13704) "
Source:
https://www.sec.gov/news/digest/1993/dig071393.pdf
The following is in support of Fred Schiemann's on going conduct, which puts into question whether he is in violation of his Federal Court Permanent Injunction.
The question now has to be asked how does this effect the minority shareholders of DSCR. The answer to that resides in the reincorporation of DSCR from Nevada to Wyoming in June/July of 2018.
Fred Schiemann Barred OTC Markets Service Providers
If you were thinking that Fred Schiemann was going to be the accountant for the DSCR annual report, think again. He was placed on the OTC Markets prohibited service providers.
Source: https://www.otcmarkets.com/learn/prohibited-service-providers
More interesting information about DSCR accountant here
FRED SCHIEMANN's SEC PERMANENT INJUCTION
Fred Schiemann
The Commission announced that on June 16, 1993 the Honorable Edward C. Reed, U.S. District Judge for the Northern District of Nevada issued a permanent injunction against Fred V. Schiemann (Schiemann) of Reno, Nevada. The order enjoins Schiemann from aiding and abetting future violations of the antifraud provisions. Schiemann consented to the issuance of the permanent injunction without admitting or denying the allegations of the Commission's complaint.
The issue of the amount of disgorgement was left open.
The complaint alleged that while acting as a certified public accountant for the company, Pacific Waste Management, Inc. (Pacific Waste), Schiemann fraudulent inflated assets of the company in two audited financial statements distributed to the public and market makers.
The inflated audited financial statements were relied on by an attorney to issue an opinion that those selling the securities of Pacific Waste need not comply with Rule lSc2-6. Broker-dealers relied on the opinion and did not comply with Rule 15c2-6 when soliciting the securities of Pacific Waste to their retail customers. Schiemann was aware that these audited financial statements would be relied on for this purpose. [SEC v. Pacific Waste Management, Inc .. et al., Civil No. CV-N-93-232-ECR, USDC Nevada] (LR-13704)
Source:
https://www.sec.gov/news/digest/1993/dig071393.pdf
Wellness Builder Inc.
Created 5/25/2010
Wellness Builder, Inc.
Wellness Builder Inc.
Nevada Corporation
5/25/2010
File # 20200496344
Fred V. Schiemann
429 W Plumb Lane
Reno NV 85009
Entity Name:WELLNESS BUILDER, INC.
Entity Number:E0258542010-0
Entity Type:Domestic Corporation (78)
Entity Status:Permanently Revoked
Formation Date:05/25/2010
NV Business ID:NV20101396709
Termination Date:
Perpetual
75,000,000 shares Par Value $0.01
WellnessBuilder
Created 1/22/2013
Entity Name:WELLNESSBUILDER
Entity Number:E0033242013-6
Entity Type:Domestic Corporation (78)
Entity Status:Permanently Revoked
Formation Date:01/22/2013
NV Business ID:NV20131041194
Termination Date:
Perpetual
Annual Report Due Date:2/28/2013
Name of Individual or Legal Entity:FRED SCHIEMANN
Status:ActiveCRA
Agent Entity Type:Registered Agent Type:Non-Commercial Registered Agent
NV Business ID:Office or Position:
Jurisdiction:
Street Address:429 W PLUMB LANE, RENO, NV, 89509, USA
Mailing Address:
Individual with Authority to Act:
Fictitious Website or Domain Name:
Wellness Builder Corp
Created 1/22/2013
Entity Name:WELLNESS BUILDER CORP.
Entity Number:E0216342014-0
Entity Type:Domestic Corporation (78)
Entity Status:Permanently Revoked
Formation Date:04/23/2014
NV Business ID:NV20141279375
Termination Date:
Perpetual
Annual Report Due Date:5/31/2014
Name of Individual or Legal Entity:FRED SCHIEMANN
Status:Active
End Exhibit 3 - 0148
CRA Agent Entity Type:
Registered Agent Type:Non-Commercial Registered Agent
NV Business ID:Office or Position:
Jurisdiction:
Street Address:429 W PLUMB LANE, RENO, NV, 89509, USA
Authorized 75,000,000 0.001000000000
Criminal Indictment That Ties It All Together
Like a jigsaw puzzle this Criminal Indictment in the Eastern District of PA, puts the whole conspiracy in order.
FRED SCHIEMANN's SEC PERMANENT INJUCTION
Fred Schiemann
The Commission announced that on June 16, 1993 the Honorable Edward C. Reed, U.S. District Judge for the Northern District of Nevada issued a permanent injunction against Fred V. Schiemann (Schiemann) of Reno, Nevada. The order enjoins Schiemann from aiding and abetting future violations of the antifraud provisions. Schiemann consented to the issuance of the permanent injunction without admitting or denying the allegations of the Commission's complaint.
The issue of the amount of disgorgement was left open.
The complaint alleged that while acting as a certified public accountant for the company, Pacific Waste Management, Inc. (Pacific Waste), Schiemann fraudulent inflated assets of the company in two audited financial statements distributed to the public and market makers.
The inflated audited financial statements were relied on by an attorney to issue an opinion that those selling the securities of Pacific Waste need not comply with Rule lSc2-6. Broker-dealers relied on the opinion and did not comply with Rule 15c2-6 when soliciting the securities of Pacific Waste to their retail customers. Schiemann was aware that these audited financial statements would be relied on for this purpose. [SEC v. Pacific Waste Management, Inc .. et al., Civil No. CV-N-93-232-ECR, USDC Nevada] (LR-13704)
Source:
https://www.sec.gov/news/digest/1993/dig071393.pdf
Exhibits of Mandatory Filings
Attached Exhibits of Mandatory Filings
A = Discovery Minerals Ltd., Mandatory Reports (DSCR) Source: https://www.otcmarkets.com/stock/dscr/disclosure
B= Interactive Health Network Mandatory Reports (IGRW) Source: https://www.otcmarkets.com/stock/igrw/disclosure
C= Viratech, Corp Mandatory Reports (VIRA) Source: https://www.otcmarkets.com/stock/VIRA/disclosure
D= Creative Edge Nutrition Mandatory Reports (FITX) Source: https://www.otcmarkets.com/stock/FITX/disclosure
E= Wellness Builder Inc.
Created 5/25/2010
F = WellnessBuilder
Created 1/22/2013
G= Exhibit G. Wellness Builder Corp
Created 5/31/2014
Exhibit A. DSCR - Discovery Minerals, Ltd. Reports
From 6/30/2013 to 8/15/2022
1. 08/15/2022 Notification of Late Filing - June 30 Financial Report 06/30/2022
2. 05/23/2022 Attorney Letter with Respect to Current Information - Sept 30 2021 09/30/2021
3. 05/20/2022 Quarterly Report - march 31 2022 03/31/2022
4. 05/13/2022 Notification of Late Filing - march 31 2022 03/31/2022
5. 03/26/2022 Quarterly Report - December 31 Quarterly 12/31/2021
6. 02/28/2022 Annual Report - Sept 30 2021 09/30/2021
7. 08/16/2021 Quarterly Report - June 30 Financial Report 06/30/2021
8. 06/19/2021 Quarterly Report - March 31 2021 03/31/2021
9. 04/05/2021 Attorney Letter with Respect to Current Information - Attorny Letter of Opinion 12/31/2020
10. 03/30/2021 Quarterly Report - December 31 Quarterly 12/31/2020
11. 03/30/2021 Annual Report - sept 30 2020 09/30/2020
12. 08/14/2020 Quarterly Report - June 30 Financial Report 06/30/2020
13. 05/13/2020 Quarterly Report - March Quarterly 03/31/2020
14. 02/13/2020 Quarterly Report - Financial disclosures 12/31/2019
15. 01/27/2020 Attorney Letter with Respect to Current Information - Opinion Letter 09/30/2019
16. 10/17/2019 Annual Report - Sept. 30 2019 09/30/2019
17. 09/11/2019 Quarterly Report - June 30 2019 06/30/2019
18. 05/18/2019 Quarterly Report - Disclosure document 03/31/2019
19. 05/18/2019 Quarterly Report - Quarterly Financials 03/31/2019
20. 05/14/2019 Notification of Late Filing - Late filing 03/31/2019
21. 02/19/2019 Quarterly Report - December 31 Financials 12/31/2018
22. 02/12/2019 Attorney Letter with Respect to Current Information - Opinion Letter 09/30/2018
23. 02/12/2019 Annual Report - September Quarterly 09/30/2018
24. 08/22/2018 Quarterly Report - Quarterly June 2018 06/30/2018
25. 08/22/2018 Annual Report - Annual Report September 2017 09/30/2017
26. 08/13/2018 Quarterly Report - Quarterly June 2018 06/30/2018
27. 07/31/2018 Attorney Letter with Respect to Current Information - Annual Report September 2017 09/30/2017
28. 07/27/2018 Quarterly Report - Quarterly March 2018 03/31/2018
29. 07/27/2018 Quarterly Report - Quarterly December 2017 12/31/2017
30. 07/27/2018 Annual Report - Annual Report September 2017 09/30/2017
31. 07/27/2018 Quarterly Report - Quarterly June 2017 06/30/2017
32. 07/27/2018 Quarterly Report - Quarterly March 2017 03/31/2017
33. 07/27/2018 Quarterly Report - Quarterly December 2016 12/31/2016
34. 07/27/2018 Annual Report - Annual Report September 2016 09/30/2016
35. 07/27/2018 Quarterly Report - Quarterly June 2016 06/30/2016
36. 05/15/2016 Quarterly Report - March Quarterly 03/31/2016
37. 02/05/2016 Quarterly Report - Quarterly Report 12/31/2015
38. 12/11/2015 Annual Report - Sept. 30 2015 Financials 09/30/2015
39. 12/08/2015 Quarterly Report - 2nd quarter Financial Report 06/30/2015
40. 12/08/2015 Quarterly Report - 2nd quarter Financial Report 06/30/2015
41. 12/08/2015 Quarterly Report - 2nd quarter Financial Report 06/30/2015
42. 06/23/2015 Quarterly Report - Account information 03/31/2015
43. 05/13/2015 Notification of Late Filing - Notification of Late Filing 03/31/2015
44. 03/10/2015 Quarterly Report - Quarterly Report 12/31/2014
45. 03/10/2015 Attorney Letter with Respect to Current Information - Attorney Letter with Respect to Current Information 09/30/2014
46. 03/10/2015 Annual Report - Annual Report 09/30/2014
47. 12/29/2014 Notification of Late Filing - Notification of Late Filing 09/30/2014
48. 10/15/2014 Quarterly Report - Quarterly Report 06/30/2014
49. 08/13/2014 Notification of Late Filing - Notification of Late Filing 06/30/2014
50. 06/25/2014 Quarterly Report - Quarterly Report 03/31/2014
51. 05/14/2014 Notification of Late Filing - Notification of Late Filing 03/31/2014
52. 02/20/2014 Interim Financial Report - Financial Statements December 31, 2013 12/31/2013
53. 02/19/2014 Quarterly Report - Quarterly Disclosure Document-December 31, 2013 12/31/2013
54. 02/19/2014 Interim Financial Report - Financial Statements December 31, 2013 09/30/2013
55. 02/14/2014 Notification of Late Filing - Notification of Late Filing 12/31/2013
56. 01/30/2014 Attorney Letter with Respect to Current Information - Annual Legal Opinion 09/30/2013
57. 01/13/2014 Annual Report - Annual Disclosure Document 09/30/2013
58. 01/13/2014 Annual Report - September 30, 2013 Financial Statements 09/30/2013
59. 12/30/2013 Notification of Late Filing - Notification of Late Filing 09/30/2013
60. 08/19/2013 Quarterly Report - Company Information and Disclosure Statement-June 30, 2013
Exhibit B. Interactive Health Network Filings
8/20/2015 to 1/10/2013
1. 08/20/2015 Quarterly Report - Quarterly Fincancial Statements June 30, 2015 06/30/2015
2. 08/19/2015 Quarterly Report - Company Information and Disclosure Statement 06/30/2015
3. 08/14/2015 Notification of Late Filing - Notification of Late Filing 06/30/2015
4. 05/20/2015 Quarterly Report - Interim Financial Statements 03/31/2015
5. 05/20/2015 Quarterly Report - Company Information and Disclosure Statement 03/31/2015
6. 05/19/2015 Notification of Late Filing - Notification of Late Filing 03/31/2015
7. 02/19/2015 Quarterly Report - Quarterly Disclosure Document December 31, 2014 12/31/2014
8. 02/19/2015 Quarterly Report - Quarterly Report 12/31/2014
9. 02/13/2015 Notification of Late Filing - Notification of Late Filing 12/31/2014
10. 01/30/2015 Attorney Letter with Respect to Current Information - Attorney Letter with Respect to Current Information 09/30/2014
11. 01/13/2015 Annual Report - Annual Disclosure Document for September 30, 2014 09/30/2014
12. 01/13/2015 Annual Report - Financial Statements September 30, 2014 09/30/2014
13. 12/31/2014 Quarterly Report - Financial Statements June 30, 2014 06/30/2014
14. 12/29/2014 Notification of Late Filing - Notification of Late Filing 09/30/2014
15. 09/24/2014 Interim Financial Report - Amended Disclosure Document 06/30/2014
16. 08/19/2014 Interim Financial Report - Quarterly Disclosure Document-June 30, 2014 06/30/2014
17. 08/13/2014 Notification of Late Filing - Notification of Late Filing 06/30/2014
18. 05/20/2014 Interim Financial Report - Quarterly Disclosure Document-March 31, 2014 03/31/2014
19. 05/20/2014 Interim Financial Report - March 31, 2014 03/31/2014
20. 05/14/2014 Notification of Late Filing - Notification of Late Filing 03/31/2014
21. 02/19/2014 Quarterly Report - Quarterly Disclosure Document-December 31, 2013 12/31/2013
22. 02/19/2014 Interim Financial Report - Quarterly Disclosure Document-December 31, 2013 12/31/2013
23. 02/14/2014 Notification of Late Filing - Notification of Late Filing 12/31/2013
24. 02/05/2014 Attorney Letter with Respect to Current Information - Attorney Letter for Annual Reports for Year Ended 9/30/2013 09/30/2013
25. 11/04/2013 Annual Report - Annual Financial Statements for the Year Ended September 30, 2013 09/30/2013
26. 11/04/2013 Annual Report - OTC Annual Disclosure Document for the Year Ended September 30, 2013 09/30/2013
27. 11/02/2013 Annual Report - Annual Disclosure Document for the Year Ended September 30, 2013 09/30/2013
28. 11/02/2013 Annual Report - Annual Financial Statements-September 30, 2013 09/30/2013
29. 09/17/2013 Quarterly Report - June 30, 2013 Disclosure Form 06/30/2013
30. 09/17/2013 Quarterly Report - June 30, 2013 Quarterly Report 06/30/2013
31. 09/16/2013 Officer/Director Disclosure - Resignation and Acceptance of Officer and Director 06/30/2013
32. 05/16/2013 Quarterly Report - HPC POS System FS Internal Accounting Report -March 31, 2013 03/31/2013
33. 05/16/2013 Quarterly Report - OTC Pink Basic Disclosure Format -2nd Quarter March 31, 2013 03/31/2013
34. 02/19/2013 Quarterly Report - OTC Pink Basic Disclosure Format -1st Quarter December 31, 2012 12/31/2012
35. 02/19/2013 Quarterly Report - HPC POS System FS Internal Accounting Report -December 31, 2012 12/31/2012
36. 02/14/2013 Notification of Late Filing - Notifcation of Late Filing for Period Ending 12-31-12 12/31/2012
37. 02/06/2013 Attorney Letter with Respect to Current Information - Attorney Letter for Sept 30, 2012 Year End 09/30/2012
38. 01/12/2013 Annual Report - HPC Issuers? Initial Disclosure obligation for September 30, 2012 09/30/2012
39. 01/11/2013 Articles of Incorporation - HPC POS System, Corp. Articles of Incorporation 09/30/2012
40. 01/10/2013 Annual Report - HPC POS System FS Internal Accounting Report -September 30, 2012
Exhibit C. Viratech Filings -
2/31/2011 to 5/18/2022
1. 05/18/2022 Quarterly Report - Disclosure Statement for the Quarter Ended March 31, 2022 03/31/2022
2. 05/18/2022 Quarterly Report - Financial Statements for the Quarter Ended March 31, 2022 03/31/2022
3. 05/12/2022 Notification of Late Filing - Notification of Late Filing for the Quarter Ended March 31, 2022 03/31/2022
4. 04/29/2022 Attorney Letter with Respect to Current Information - Attorney Letter with Respect to Current Information for the Period December 31, 2021 12/31/2021
5. 04/15/2022 Annual Report - Disclosure Statement for the Year Ended December 31, 2021 12/31/2021
6. 04/15/2022 Annual Report - Financial Statements for the Years Ended December 31, 2021 and 2020 12/31/2021
7. 03/29/2022 Notification of Late Filing - Notification of Late Filing for the Quarter Ended December 31, 2021 12/31/2021
8. 11/19/2021 Quarterly Report - Financial Statements for the Quarter Ended September 30, 2021 09/30/2021
9. 11/19/2021 Quarterly Report - Disclosure Statement for the Quarter Ended September 30, 2021 09/30/2021
10. 11/12/2021 Notification of Late Filing - Notification of Late Filing for the Quarter Ended September 30, 2021 09/30/2021
11. 08/31/2021 Quarterly Report - Disclosure Statement for the Quarter Ended June 30, 2021 06/30/2021
12. 08/24/2021 Quarterly Report - Financial Statements for the Quarter Ended June 30, 2021 06/30/2021
13. 08/14/2021 Notification of Late Filing - Notification of Late Filing for the Quarter Ended June 30, 2021 06/30/2021
14. 07/26/2021 Attorney Letter with Respect to Current Information - Annual Attorney Letter for period ending 12/31/2020 12/31/2020
15. 07/12/2021 Quarterly Report - Financial Statements for the Quarter Ended March 31, 2021 03/31/2021
16. 07/12/2021 Quarterly Report - Disclosure Statement for the Quarter Ended March 31, 2021 03/31/2021
17. 06/23/2021 Annual Report - Financial Statements for the Years Ended December 31, 2020 and 2019 12/31/2020
18. 06/23/2021 Annual Report - Disclosure Statement for the Year Ended December 31, 2020 12/31/2020
19. 06/23/2021 Quarterly Report - Financial Statements for the Quarter Ended September 30, 2020 09/30/2020
20. 06/23/2021 Quarterly Report - Disclosure Statement for the Quarter Ended September 30, 2020 09/30/2020
21. 08/19/2020 Quarterly Report - Disclosure Document for June 30, 2020 06/30/2020
22. 08/19/2020 Quarterly Report - Quarterly financial statements for June 30, 2020 06/30/2020
23. 08/12/2020 Notification of Late Filing - Notification of Late Filing for the Quarter Ended June 30, 2020 06/30/2020
24. 06/25/2020 Quarterly Report - Disclosure Document for March 31, 2020 03/31/2020
25. 06/25/2020 Quarterly Report - Quarterly financial statements for March 31, 2020 03/31/2020
26. 06/14/2020 Attorney Letter with Respect to Current Information - Attorney Letter for the Annual Report dated 12/31/2019 12/31/2019
27. 05/14/2020 Notification of Late Filing - Notification of Late Filing for the Quarter Ended March 31, 2020 03/31/2020
28. 04/27/2020 Annual Report - Amended Disclosure Document for December 31, 2019 12/31/2019
29. 04/20/2020 Annual Report - Annual financial statements for December 31, 2019 12/31/2019
30. 03/30/2020 Notification of Late Filing - Notification of Late Filing for the Year Ended December 31, 2019 12/31/2019
31. 11/19/2019 Quarterly Report - Disclosure Document for September 30, 2019 09/30/2019
32. 11/19/2019 Quarterly Report - Quarterly Financial Statements for September 30, 2019 09/30/2019
33. 11/13/2019 Notification of Late Filing - Notification of Late Filing for the Quarter Ended September 30, 2019 09/30/2019
34. 09/25/2019 Quarterly Report - Disclosure Document for June 30, 2019-Amended 06/30/2019
35. 09/24/2019 Quarterly Report - Disclosure Document for June 30, 2019 06/30/2019
36. 09/24/2019 Quarterly Report - Quarterly Financial Statements for June 30, 2019 06/30/2019
37. 08/14/2019 Notification of Late Filing - Notification of Late Filing 06/30/2019
38. 06/03/2019 Attorney Letter with Respect to Current Information - Amended Letter with Respect to Adequate Current Information for the Issuer 12/31/2018
39. 05/30/2019 Quarterly Report - Amended Disclosure Statement for Quarter Ended March 31, 2019 03/31/2019
40. 05/30/2019 Annual Report - Amended Disclosure Statement for Year Ended December 31, 2018 12/31/2018
41. 05/23/2019 Quarterly Report - Quarterly Financial Statements for March 31, 2019 03/31/2019
42. 05/15/2019 Notification of Late Filing - 3/31/19 Notice of late filing 03/31/2019
43. 04/15/2019 Annual Report - Financial Statement 12-31-18 12/31/2018
44. 03/31/2019 Notification of Late Filing - Notification of Late Filing 12/31/2018
45. 03/01/2019 Quarterly Report - Disclosure September 30, 2018 09/30/2018
46. 03/01/2019 Supplemental Information - Disclosure September 30, 2018 09/30/2018
47. 02/27/2019 Supplemental Information - Disclosure September 30, 2018 09/30/2018
48. 02/27/2019 Quarterly Report - September 30, 2018 Quarterly Report 09/30/2018
49. 11/14/2018 Notification of Late Filing - 9/30/18 Notice of late filing 09/30/2018
50. 08/15/2018 Supplemental Information - Disclosure for June 30, 2018 06/30/2018
51. 08/15/2018 Quarterly Report - June 30, 2018 06/30/2018
52. 08/13/2018 Notification of Late Filing - Late filing 8/13/2018 06/30/2018
53. 06/18/2018 Quarterly Report - Quarterly Report 03/31/2018
54. 06/18/2018 Attorney Letter with Respect to Current Information - Attorney Letter with Respect to Current Information 12/31/2017
55. 06/11/2018 Quarterly Report - Quarterly Company Information and Disclosure Statement 03/31/2018
56. 06/11/2018 Quarterly Report - Quarterly Financial Report for the Quarter ended March 31, 2018 03/31/2018
57. 06/11/2018 Annual Report - Annual Company Information and Disclosure Statement 12/31/2017
58. 06/11/2018 Annual Report - Annual Financial Report for the Year ended December 31, 2017 12/31/2017
59. 05/15/2018 Notification of Late Filing - For the Quarter Ended March 31, 2018 03/31/2018
60. 03/30/2018 Notification of Late Filing - Annual Financial Report for the Year ended December 31, 2017 12/31/2017
61. 01/18/2018 Quarterly Report - Company Information and Disclosure Statement for the Period Ended September 30, 2017 09/30/2017
62. 01/18/2018 Quarterly Report - Quarterly Financial Report for the Quarter ended September 30, 2017 09/30/2017
63. 07/24/2017 Quarterly Report - Company Information and Disclosure Statement for the Period Ended June 30, 2017 06/30/2017
64. 07/24/2017 Quarterly Report - Quarterly Financial Report for the Quarter ended June 30, 2017 06/30/2017
65. 05/17/2017 Quarterly Report - Amended Company Information and Disclosure Statement for the Period Ended March 31, 2017 03/31/2017
66. 05/17/2017 Quarterly Report - Amended Quarterly Financial Report for the Quarter March 31, 2017 03/31/2017
67. 05/17/2017 Attorney Letter with Respect to Current Information - Crawford S. Shaw Attorney Letter dated May 1, 2017 12/31/2016
68. 04/29/2017 Quarterly Report - Disclosure Document for the Quarter Ended March 31, 2017 03/31/2017
69. 04/29/2017 Quarterly Report - For the quarter ended March 31, 2017 03/31/2017
70. 02/15/2017 Annual Report - Company Information and Disclosure Statement December 31, 2016 12/31/2016
71. 02/15/2017 Annual Report - December 31, 2016 12/31/2016
72. 11/18/2016 Quarterly Report - Quarterly Financial Statements September 30, 2016 09/30/2016
73. 11/18/2016 Quarterly Report - Company Information and Disclosure Statement 09/30/2016
74. 11/14/2016 Notification of Late Filing - For the quarter ended September 30, 2016 09/30/2016
75. 08/17/2016 Quarterly Report - Quarterly Financial Statements June 30, 2016 06/30/2016
76. 08/17/2016 Quarterly Report - Company Information and Disclosure Statement 06/30/2016
77. 08/15/2016 Notification of Late Filing - Notification of Late Filing 06/30/2016
78. 05/19/2016 Attorney Letter with Respect to Current Information - Attorney Letter with Respect to Current Information 03/31/2016
79. 05/19/2016 Quarterly Report - Company Information and Disclosure Statement 03/31/2016
80. 05/19/2016 Quarterly Report - Quarterly Financial Statements 03/31/2016
81. 05/18/2016 Attorney Letter with Respect to Current Information - Attorney Letter with Respect to Current Information 12/31/2015
82. 05/13/2016 Notification of Late Filing - Notification of Late Filing 03/31/2016
83. 03/30/2016 Annual Report - Annual Financial Statements December 31, 2015 12/31/2015
84. 03/30/2016 Annual Report - Company Information and Disclosure Statement 12/31/2015
85. 11/19/2015 Quarterly Report - Quarterly Fincancial Statements September 30, 2015 09/30/2015
86. 11/19/2015 Quarterly Report - Company Information and Disclosure Statement 09/30/2015
87. 11/16/2015 Notification of Late Filing - Notification of Late Filing 09/30/2015
88. 08/19/2015 Quarterly Report - Quarterly Report 06/30/2015
89. 08/19/2015 Quarterly Report - Quarterly Report 06/30/2015
90. 08/14/2015 Notification of Late Filing - Notification of Late Filing 06/30/2015
91. 05/29/2015 Quarterly Report - Financials 03/31/2015
92. 05/29/2015 Quarterly Report - Disclosure Statement 03/31/2015
93. 05/14/2015 Notification of Late Filing - Notification of Late Filing 03/31/2015
94. 04/24/2015 Attorney Letter with Respect to Current Information - Attorney Letter with Respect to Current Information 12/31/2014
95. 04/13/2015 Annual Report - Disclosure document 12/31/2014
96. 04/13/2015 Annual Report - Financial statements 12/31/2014
97. 03/30/2015 Notification of Late Filing - Notification of Late Filing for December 31 2014 12/31/2014
98. 03/30/2015 Notification of Late Filing - Notification of Late Filing 12/31/2014
99. 12/22/2014 Quarterly Report - Corrected September 20, 2014 Q 09/30/2014
100. 12/22/2014 Quarterly Report - Revised September 30, 2014 09/30/2014
101. 12/19/2014 Quarterly Report - Quarterly Information Statement Sept. 30 2014 09/30/2014
102. 12/09/2014 Quarterly Report - September 20, 2014 Q 09/30/2014
103. 08/19/2014 Supplemental Information - Consolidated Financial Information 06/30/2014
104. 08/19/2014 Quarterly Report - Quarterly Report June 30, 2014 06/30/2014
105. 08/13/2014 Notification of Late Filing - Notice of Late Filing 6 30 14 06/30/2014
106. 06/10/2014 Attorney Letter with Respect to Current Information - Attorney Letter Annual Report Amended 12/31/2013
107. 05/22/2014 Quarterly Report - Quarterly March 31, 2014 Amendment 03/31/2014
108. 05/21/2014 Quarterly Report - March 31 2014 Quarterly Report 03/31/2014
109. 05/15/2014 Notification of Late Filing - Notice of Late Filing 03/31/2014
110. 05/13/2014 Attorney Letter with Respect to Current Information - Attorney Letter 12/31/2013
111. 05/06/2014 Annual Report - Annual Report 2013 12/31/2013
112. 04/03/2014 Notification of Late Filing - Notice of Late Filing Dec 31 2013 12/31/2013
113. 03/27/2014 Quarterly Report - Amended Third Quarter Report 09/30/2013
114. 02/28/2014 Quarterly Report - September 30, 2013 Quarterly Report 09/30/2013
115. 08/20/2013 Quarterly Report - Amended June 30, 2013 Quarterly Report 06/30/2013
116. 08/13/2013 Quarterly Report - June 30, 2013 Quarterly Report 06/30/2013
117. 05/25/2013 Quarterly Report - March 31, 2013 Quarterly Report-Amended 03/31/2013
118. 05/15/2013 Quarterly Report - March 31, 2013 Quarterly Report 03/31/2013
119. 04/04/2013 Attorney Letter with Respect to Current Information - Attorney Letter with Respect to Annual Report 12/31/12 12/31/2012
120. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Capturing and Indexing Individual Knowledge EXTI 12/31/2012
121. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Derivative Expression SNNE EXTI 12/31/2012
122. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Assignement and Recording of Value EXTI 12/31/2012
123. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Critical Mass User Generated Content EXTI 12/31/2012
124. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Manual NAF Cervical Kit HCIP 12/31/2012
125. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Women's Wellness Formula HCIP 12/31/2012
126. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Weight and Metabolism Control Health Formula HCIP 12/31/2012
127. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Method of Treating Breast Cancer HCIP 12/31/2012
128. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Device for Preventing Hemolysis HCIP 12/31/2012
129. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Micro Environment Cellular Therapy HCIP 12/31/2012
130. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Acquiring Capturing Indexing Multiple Derivative Expressions HCIP 12/31/2012
131. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Disease Assessment HCIP 12/31/2012
132. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Algorithms Health Disease Screening HCIP 12/31/2012
133. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Method To Treat Metabolic Syndrome HCIP 12/31/2012
134. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Stable Omegas Formula HCIP 12/31/2012
135. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Metabolic Cart HCIP 12/31/2012
136. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Anti-Cancer Anti-Disease HCIP 12/31/2012
137. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Breast Warmer HCIP 12/31/2012
138. 03/28/2013 Annual Report - Supplemental Information - Intellectual Property License Agreement Viocell HCIP 12/31/2012
139. 03/28/2013 Annual Report - Viratech 2013 Annual Report 12/31/2012
140. 12/03/2012 Attorney Letter with Respect to Current Information - Attorney Letter for September 2012 09/30/2012
141. 11/29/2012 Quarterly Report - September 30, 2012 Quarterly Report 09/30/2012
142. 11/02/2012 Quarterly Report - June 30, 2012 Quarterly Report Amended 06/30/2012
143. 09/16/2012 Attorney Letter with Respect to Current Information - Attorney Letter 30 6 12 06/30/2012
144. 09/16/2012 Quarterly Report - June 30, 2012 Quarterly Report 06/30/2012
145. 05/03/2012 Attorney Letter with Respect to Current Information - Attorney Letter 3 31 12 Q 03/31/2012
146. 05/03/2012 Quarterly Report - March 31, 2012 Q 03/31/2012
147. 04/09/2012 Attorney Letter with Respect to Current Information - Attorney Letter for 2011 12/31/2011
148. 04/09/2012 Annual Report - 2011 Annual Report 12/31/2011
Exhibit D. Creative Edge Nutrition
3/3/2016 to 12/31/2011
1. 03/03/2016 Quarterly Report - Financials Ending December 31, 2015 revised 12/31/2015
2. 03/01/2016 Supplemental Information - Disclosure statement 12/31/2015 12/31/2015
3. 03/01/2016 Attorney Letter with Respect to Current Information - attorney letter 09/30/2015
4. 03/01/2016 Annual Report - Financials Ending September 30, 2015 09/30/2015
5. 02/16/2016 Notification of Late Filing - Notice of late filing 12/31/2015 12/31/2015
6. 01/13/2016 Annual Report - Disclosure statement 09/30/2015 09/30/2015
7. 01/13/2016 Annual Report - Financials Ending September 30, 2015 09/30/2015
8. 12/29/2015 Notification of Late Filing - Notice of late filing 09/30/2015 09/30/2015
9/ 08/21/2015 Quarterly Report - Financials Ending June 30, 2015 06/30/2015
10. 08/19/2015 Quarterly Report - Disclosure statement 06/30/2015 06/30/2015
11. 08/14/2015 Notification of Late Filing - Notice of late filing 06/30/2015 06/30/2015
12. 05/27/2015 Quarterly Report - Financials Ending March 31, 2015 03/31/2015
13. 05/20/2015 Supplemental Information - Disclosure statement 03/1/2015 03/31/2015
14. 05/15/2015 Notification of Late Filing - Notice of late filing 03/31/2015 03/31/2015
15. 02/20/2015 Supplemental Information - Disclosure statement 12/31/2014 12/31/2014
16. 02/19/2015 Quarterly Report - Financials Ending December 31, 2014 12/31/2014
17. 02/14/2015 Notification of Late Filing - Notice of late filing 12/31/2014 12/31/2014
18. 02/02/2015 Attorney Letter with Respect to Current Information - Attorney -- period end date 9/30/2014 09/30/2014
19. 01/13/2015 Annual Report - Financials Ending September 30, 2014 09/30/2014
20. 01/13/2015 Annual Report - Ending September 30, 2014 Disclosure financials to follow. 09/30/2014
21. 12/29/2014 Notification of Late Filing - Notice of late filing 9/30/2014 09/30/2014
22. 09/30/2014 Quarterly Report - Ending June 30, 2014 3 Q 06/30/2014
23. 08/26/2014 Interim Financial Report - Revised 3rd QT with retirement of 75,000,000 shares accounted for 06/30/2014
24. 08/19/2014 Supplemental Information - Ending June 30, 2014 Disclosure 06/30/2014
25. 08/14/2014 Notification of Late Filing - Notice of late filing 6/30/2014 06/30/2014
26. 05/20/2014 Quarterly Report - March 31, 2014 Financial Statement 03/31/2014
27. 05/20/2014 Supplemental Information - March 31, 2014 Disclosure Statement 03/31/2014
28. 05/15/2014 Notification of Late Filing - Notice of late filing 3/31/2014 03/31/2014
29. 02/20/2014 Supplemental Information - Disclosure statement 1st Quarter 12/31/2013
30. 02/20/2014 Notification of Late Filing - Notice of late filing 12/31/2013
31. 02/19/2014 Quarterly Report - 1st quarter Report 12/31/2013
32. 01/30/2014 Attorney Letter with Respect to Current Information - Attorney letter with respect to Current Information 09/30/2013
33. 01/13/2014 Annual Report - Anual Disclosure September 30, 2013 09/30/2013
34. 01/13/2014 Annual Report - September 30, 2013 Annual Report 09/30/2013
35. 12/29/2013 Notification of Late Filing - Notice of late filing 09/30/2013
36. 08/22/2013 Quarterly Report - disclosure form 06/30/2013
37. 08/20/2013 Quarterly Report - financials 06/30/2013
38. 08/14/2013 Notification of Late Filing - Notice of Late Filing 6/30/2013 06/30/2013
39. 07/16/2013 Supplemental Information - BODYBUILDING.COM CONTRACT 06/30/2013
40. 06/28/2013 Supplemental Information - AMAZON.COM CONTRACT 03/31/2013
41. 05/20/2013 Quarterly Report - March 31 2013 03/31/2013
42. 05/20/2013 Supplemental Information - As of March 31, 2013 03/31/2013
43. 05/13/2013 Notification of Late Filing - Notice of Late filing 3/31/2013 03/31/2013
44. 02/19/2013 Quarterly Report - Disclosure form 12/31/2012
45. 02/19/2013 Quarterly Report - 1st Q December 31, 2012 12/31/2012
46. 02/14/2013 Notification of Late Filing - Notice Of Late Filing 12/31/2012
47. 02/08/2013 Attorney Letter with Respect to Current Information - Attorney Letter for Current infomation 09/30/2012
48. 01/14/2013 Supplemental Information - Initial Disclosure for the period year ending 9/30/2012 09/30/2012
49. 01/14/2013 Annual Report - Supplemental Information - Supplemental / Articles / By Laws / Contracts / 09/30/2012
50. 01/14/2013 Annual Report - September 30, 2012 09/30/2012
51. 12/30/2012 Notification of Late Filing - Late Filing corrected date 09/30/2012
52. 12/28/2012 Notification of Late Filing - Notice of Late Filing 09/30/2012
53. 11/16/2012 Quarterly Report - REVISED On previous June 30 heading was mislabeled with 2nd Quarter and should have been 3rd Quarter 06/30/2012
54. 09/14/2012 Attorney Letter with Respect to Current Information - Quarterly Report -- period end date 6/30/2012 06/30/2012
55. 08/20/2012 Quarterly Report - Quarterly Report 6/30/2012 06/30/2012
56. 08/14/2012 Notification of Late Filing - Notice of Late Filing 06/30/2012
57. 06/25/2012 Attorney Letter with Respect to Current Information - Period end date 3/31/2012 03/31/2012
58. 06/20/2012 Quarterly Report - 3/31/2012 03/31/2012
59. 04/05/2012 Attorney Letter with Respect to Current Information - Attorney Letter with Respect to Current Information 12/31/2011
60. 04/04/2012 Quarterly Report - December 31, 2011 12/31/2011
Exhibit E. Wellness Builder Inc.
Created 5/25/2010
Wellness Builder, Inc.
Wellness Builder Inc.
Nevada Corporation
5/25/2010
File # 20200496344
Fred V. Schiemann
429 W Plumb Lane
Reno NV 85009
Entity Name:WELLNESS BUILDER, INC.
Entity Number:E0258542010-0
Entity Type:Domestic Corporation (78)
Entity Status:Permanently Revoked
Formation Date:05/25/2010
NV Business ID:NV20101396709
Termination Date:
Perpetual
75,000,000 shares Par Value $0.01
Exhibit F. WellnessBuilder
Created 1/22/2013
Entity Name:WELLNESSBUILDER
Entity Number:E0033242013-6
Entity Type:Domestic Corporation (78)
Entity Status:Permanently Revoked
Formation Date:01/22/2013
NV Business ID:NV20131041194
Termination Date:
Perpetual
Annual Report Due Date:2/28/2013
Name of Individual or Legal Entity:FRED SCHIEMANN
Status:ActiveCRA
Agent Entity Type:Registered Agent Type:Non-Commercial Registered Agent
NV Business ID:Office or Position:
Jurisdiction:
Street Address:429 W PLUMB LANE, RENO, NV, 89509, USA
Mailing Address:
Individual with Authority to Act:
Fictitious Website or Domain Name:
Exhibit G. Wellness Builder Corp
Created 1/22/2013
Entity Name:WELLNESS BUILDER CORP.
Entity Number:E0216342014-0
Entity Type:Domestic Corporation (78)
Entity Status:Permanently Revoked
Formation Date:04/23/2014
NV Business ID:NV20141279375
Termination Date:
Perpetual
Annual Report Due Date:5/31/2014
Name of Individual or Legal Entity:FRED SCHIEMANN
Status:Active
End Exhibit 3 - 0148
CRA Agent Entity Type:
Registered Agent Type:Non-Commercial Registered Agent
NV Business ID:Office or Position:
Jurisdiction:
Street Address:429 W PLUMB LANE, RENO, NV, 89509, USA
Authorized 75,000,000 0.001000000000
The Ongoing Criminal Conspiracy
Now onto to the Wellness Bulider, WellnessBuilder, Wellnes Builder Corp. Report.
A question for Fred Schiemann, whatever happened to the 135,000,000 shares of IGRW that was due to the minority shareholders of Viratech, from the Wellness Builders acquisition?
Instead of issuing the 135,000,000 shares, Fred Schiemann as (CFO of Viratech, and CEO of Interactive Health Network), created a string of companies with similar names (WellnessBuilder & Wellness Builder Corp.).
Shares never benefited the minority shareholders of Viratech. Instead they went to Fred Schiemann directly.
Lets follow the trail of how this conspiracy unfolded, concluding with the DSCR dumpster fire.
Care to comment on this Fred Schiemann, don't worry we got all the evidence. Enjoy the show!
DSCR Management will wake up one day
to a bunch of blue and yellow windbreakers telling them they have the right to remain silent.
Coming soon to a stock scam near you.
Who do you have to call to trade DSCR
I would like to make an appointment to trade DSCR, (operator) hold on we have an appointment available to trade your DSCR shares in February 2025, shall I make a reservation.
0 shares at 0.000001 per share
The fraud is dead, never going to be pink again.
You hear that FRED
Now onto VIRA and the Wellness Builder embezzlement.
Stand by
Biggest Red Flag in Trading
When the company lies on their website that they are OTCQB
Source: https://discoveryminerals.com
When they are actually a Caveat Emptor Shell Risk designation
Source: https://www.otcmarkets.com/stock/DSCR/news
Thanks for playing
DSCR is an Ongoing Criminal Conspiracy
What does DSCR have in common with:
1. Fred Schiemann;
2. Henry Manayan;
3. Frank Petronis Sr.;
4. Frank Petronis Jr.;
5. Scott Watkins;
6. Joel Stoelman;
7. Justine Blankenship;
8. Morgan Petitti;
9. ;
10. VIRA;
11. IGRW;
12. FITX;
13. NHEL;
14. AIDC;
15. Wellness Builder (NV)
16. WellnessBuilder
17. Wellness Builder Corp.
Never received coin refund
Over a year ago this company in their OTC filings stated that the had an "escrow" established to refund the DSC Coin. In their latest filings they disclose that they have $74 in the bank.
This was IMHO a delay tactic to buy time with BS, something that this company has been getting away with for over 5 years.
I have had 11 DSC coin buyers reach out to me about buying the coin and not getting their refund. Please PM if you would like to take legal action, making these conspirators accountable.
Last looking at the outrageous claim of the DSC coin being backed by more than $100,000,000 in assets (BTC, ETH, Gold & Silver), I look at the previous conduct of advisors and management and see patterns emerging showing the depth of this conspiracy to defraud the mnority investor of $DSCR.
Case in Point
FRED SCHIEMANN's SEC PERMANENT INJUCTION
Fred Schiemann
The Commission announced that on June 16, 1993 the Honorable Edward C. Reed, U.S. District Judge for the Northern District of Nevada issued a permanent injunction against Fred V. Schiemann (Schiemann) of Reno, Nevada. The order enjoins Schiemann from aiding and abetting future violations of the antifraud provisions. Schiemann consented to the issuance of the permanent injunction without admitting or denying the allegations of the Commission's complaint. The issue of the amount of disgorgement was left open. The complaint alleged that while acting as a certified public accountant for the company, Pacific Waste Management, Inc. (Pacific Waste), Schiemann fraudulent inflated assets of the company in two audited financial statements distributed to the public and market makers. The inflated audited financial statements were relied on by an attorney to issue an opinion that those selling the securities of Pacific Waste need not comply with Rule lSc2-6. Broker-dealers relied on the opinion and did not comply with Rule 15c2-6 when soliciting the securities of Pacific Waste to their retail customers. Schiemann was aware that these audited financial statements would be relied on for this purpose. [SEC v. Pacific Waste Management, Inc .. et al., Civil No. CV-N-93-232-ECR, USDC Nevada] (LR-13704)
Source:
https://www.sec.gov/news/digest/1993/dig071393.p
FRED SCHIEMANN's SEC PERMANENT INJUCTION
Fred Schiemann
The Commission announced that on June 16, 1993 the Honorable Edward C. Reed, U.S. District Judge for the Northern District of Nevada issued a permanent injunction against Fred V. Schiemann (Schiemann) of Reno, Nevada. The order enjoins Schiemann from aiding and abetting future violations of the antifraud provisions. Schiemann consented to the issuance of the permanent injunction without admitting or denying the allegations of the Commission's complaint. The issue of the amount of disgorgement was left open. The complaint alleged that while acting as a certified public accountant for the company, Pacific Waste Management, Inc. (Pacific Waste), Schiemann fraudulent inflated assets of the company in two audited financial statements distributed to the public and market makers. The inflated audited financial statements were relied on by an attorney to issue an opinion that those selling the securities of Pacific Waste need not comply with Rule lSc2-6. Broker-dealers relied on the opinion and did not comply with Rule 15c2-6 when soliciting the securities of Pacific Waste to their retail customers. Schiemann was aware that these audited financial statements would be relied on for this purpose. [SEC v. Pacific Waste Management, Inc .. et al., Civil No. CV-N-93-232-ECR, USDC Nevada] (LR-13704)
Source:
https://www.sec.gov/news/digest/1993/dig071393.pdf
FRED SCHIEMANN's SEC PERMANENT INJUCTION
Wonder which CPA is going to sign his name to this dumpster fire. The one with a Permanent Injunction, or the one who is retired and out of good standing as a CPA.
Got the popcorn waiting, look forward to how they are going to explain the DSC Coin and how they didn't report the revenue received, or rebate the DSC Coin buyers money back. 800 pound gorilla in the filing.
Fred Schiemann
The Commission announced that on June 16, 1993 the Honorable Edward C. Reed, U.S. District Judge for the Northern District of Nevada issued a permanent injunction against Fred V. Schiemann (Schiemann) of Reno, Nevada. The order enjoins Schiemann from aiding and abetting future violations of the antifraud provisions. Schiemann consented to the issuance of the permanent injunction without admitting or denying the allegations of the Commission's complaint. The issue of the amount of disgorgement was left open. The complaint alleged that while acting as a certified public accountant for the company, Pacific Waste Management, Inc. (Pacific Waste), Schiemann fraudulent inflated assets of the company in two audited financial statements distributed to the public and market makers. The inflated audited financial statements were relied on by an attorney to issue an opinion that those selling the securities of Pacific Waste need not comply with Rule lSc2-6. Broker-dealers relied on the opinion and did not comply with Rule 15c2-6 when soliciting the securities of Pacific Waste to their retail customers. Schiemann was aware that these audited financial statements would be relied on for this purpose. [SEC v. Pacific Waste Management, Inc .. et al., Civil No. CV-N-93-232-ECR, USDC Nevada] (LR-13704)
Source:
https://www.sec.gov/news/digest/1993/dig071393.pdf
I wonder what Fred Schiemann's handle is?
Any suggestions JB
Fred Schiemann
The Commission announced that on June 16, 1993 the Honorable Edward C. Reed, U.S. District Judge for the Northern District of Nevada issued a permanent injunction against Fred V. Schiemann (Schiemann) of Reno, Nevada. The order enjoins Schiemann from aiding and abetting future violations of the antifraud provisions. Schiemann consented to the issuance of the permanent injunction without admitting or denying the allegations of the Commission's complaint. The issue of the amount of disgorgement was left open. The complaint alleged that while acting as a certified public accountant for the company, Pacific Waste Management, Inc. (Pacific Waste), Schiemann fraudulent inflated assets of the company in two audited financial statements distributed to the public and market makers. The inflated audited financial statements were relied on by an attorney to issue an opinion that those selling the securities of Pacific Waste need not comply with Rule lSc2-6. Broker-dealers relied on the opinion and did not comply with Rule 15c2-6 when soliciting the securities of Pacific Waste to their retail customers. Schiemann was aware that these audited financial statements would be relied on for this purpose. [SEC v. Pacific Waste Management, Inc .. et al., Civil No. CV-N-93-232-ECR, USDC Nevada] (LR-13704)
Source:
https://www.sec.gov/news/digest/1993/dig071393.pdf
Permanent Injunctions:
There is a balancing test that courts typically employ in determining whether to issue an injunction. To seek a permanent injunction, the plaintiff must pass the four-step test: (1) that the plaintiff has suffered an irreparable injury; (2) that remedies available at law, such as monetary damages, are inadequate to compensate for the injury; (3) that the remedy in equity is warranted upon consideration of the balance of hardships between the plaintiff and defendant; and (4) that the permanent injunction being sought would not hurt public interest. See, e.g., Weinberger v. Romero—Barcelo, 456 U.S. 305, 311–313, 102 S.Ct. 1798, 72 L.Ed.2d 91 (1982); Amoco Production Co. v. Gambell, 480 U.S. 531, 542, 107 S.Ct. 1396, 94 L.Ed.2d 542 (1987). The decision to grant or deny permanent injunctive relief is an act of equitable discretion by the district court, reviewable on appeal for abuse of discretion. See eBay Inc. v. MercExchange, L.L.C., 547 U.S. 388, 391, 126 S. Ct. 1837, 1839, 164 L. Ed. 2d 641 (2006)
In balancing the damages to the plaintiff and the defendant and the public interest, the courts balance the relative harm and benefit to both the defendant and the plaintiff if the injunction is granted. A leading decision, Boomer v. Atlantic Cement Co., ruled against a permanent injunction against the cement company in a nuisance claim by the homeowners in the neighborhood. In reaching the decision, the court factored in the factory’s apparent inability to develop improved abatement methods, and the defendant’s 45 million dollar capital investment in the factory, both of which are factors by which the defendant would be hurt significantly hurt by the injunction. See 26 N.Y.2d 219 (2nd Cir., 1970).
Also, in some jurisdictions, courts take into consideration good faith of the parties. If it seems that the defendant is acting in good faith, by doing all that it can to abate the nuisance, the court may reflect those efforts in the terms of its order. In contrast, if the court believes the defendant is acting in bad faith, the court will show little sympathy and rule in favor of permanent injunction. See, e.g., Penland v. Redwood Sanitary Sewer Serv. Dist., 965 P.2d 433, 440 (Or. Ct. App.1998); Holubec v. Brandenburger, 58 S.W.3d 201, 213-14 (Tex. App. 2001), rev'd on other grounds, 111 S.W.3d 32 (Tex. 2003).