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Same with Alphatrade
I don't know
Preferred 1:5,000
It's called effectual posting
Only post selective information to prove your point
EarnestDD
The Sales office is that of a cosmetic surgeon doing breast implants.
LMAO
jmo
http://aventuracosmeticsurgery.com/index.cfm/PageID/3933
msg#1790
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ChromoCure Advisory Team
Jay D. Ellenby
M.D., F.A.C.S., Board Certified Plastic and Cosmetic Surgeon
Team
Jay Ellenby, MD
2954 Aventura Blvd # B
Aventura, Florida 33180
locateadoc
I guess I should talk to Dr. Ellenby there
Thanks for the info
ChromoCure Advisory Team
Jay D. Ellenby, M.D., F.A.C.S., Board Certified Plastic and Cosmetic Surgeon
Team
Jay Ellenby, MD
2954 Aventura Blvd # B
Aventura, Florida 33180
locateadoc
So does it exist or not?
Not today, but recently
Fiscal Year 2010 Defense Appropriations Bill - H.R. 3326
OTHER ITEMS OF INTEREST
Small Business Loans: Allows the Small Business Administration (SBA) to continue two temporary enhancements to its loan guarantee program through February 28, 2010 to make loans more attractive to borrowers and lenders and to free up capital, with one raising the percentage of loan amounts that the SBA can guarantee to 90%; the other allows it to waive or reduce loan fees. Small businesses represent a major engine for the U.S. economy, but many small business owners have had a difficult time securing needed loans in these tight economic times. The extension is fully offset.
Dec 19, 2009: Became Public Law No: 111-118
Summary
Not much out there
The director is interesting though
David B. Harden is coauthor of Continuity Management and a U.S. Air Force officer who understands the intricacies of government interagency contingencies and has expertise in leadership, team building, personnel policy, and continuity management.He earned his BS in electrical engineering at the U.S. Air Force Academy and an MA in organizational management at The George Washington University, Washington, DC.
He pilots the $225 million, technologically advanced C-17, and has over 2,000 flight hours, including combat time in Iraq, Afghanistan, Bosnia and Kosovo.He has also supported a myriad of United Nations peacekeeping, contingency, and humanitarian efforts worldwide, and piloted the first U.S. plane to fly into Sierra Leone in Africa after the fall of Freetown.
Harden has served in Washington, DC, on the Joint Staff as a political-military planner for Baltic Affairs and NATO; at the Pentagon on the Air Force Staff developing personnel policy, including retention, compensation, and readiness for over 20,000 pilots and navigators; and at North American Aerospace Defense Command (NORAD) in Colorado Springs, implementing systems and policy in counterdrug operations, where he was named Company Grade Officer of the Year in 1995.
Harden has led corporate seminars on knowledge continuity, addressed international forums on bilateral relations, developed U.S. Presidential statements on policy to the United Nations and NATO, appeared on CNN, spoken on several national radio stations and was selected as an International Who's Who for Public Service in 2002.
His articles on knowledge continuity and mentoring have appeared in numerous publications including the Journal of Organizational Excellence.Harden is co-founder of the Knowledge Continuity Center, a non-profit organization providing the freshest resource for research, training, and consulting regarding knowledge retention and continually works in assisting public and private organizations in building better ways to work and succeed in the competitive marketplace.
Solicitation Number: SP0600-10-R-0107
Petroleum Fuel Support for various DoD Activities in Japan
Agency: Defense Logistics Agency
Office: DLA Acquisition Locations
Location: Defense Energy Support Center
Posted Date: November 18, 2009
Response Date: -
Synopsis:
This is an acquisition for commercial grade petroleum fuel products under the Japan Post Camps and Stations Fuel Program to provide ongoing ground fuel support for various DoD activities over a four (4) year period. The contract period for all requirements awarded under this solicitation is 1July 2010 through 30 June 2014.
Delivery for all requirements awarded will be accomplished via tank truck (TT) and/or barge (BG). Fuel requirements and estimated quantities for this procurement are as follows:
Fuel Oil, Burner #1 (FJ1); NSN: 9140-01-408-7183 (Qty:115,677,922)
Gasoline, Mid-Grade Unleaded; NSN: 9130-01-272-0983 (Qty: 66,296,999)
Fuel Oil, Burner #3 (FJ3); NSN: 9140-01-408-7198 (Qty: 23,557,750)
Kerosene, 1-K (KJ1); NSN: 9140-01408-7211 (Qty: 602,500)
Please note that the estimated quantities provided above represent the Government's Best Estimate only.
This is an unrestricted procurement with full and open competition. Contracts resulting from this solicitation will be Requirements Type, Fixed-Price with Economic Price Adjustment. All responsible sources are encouraged to provide proposals under the subject solicitation SP0600-10-R-0107. Please note that the Government reserves the right to make contract award(s) based on initial offers submitted.
Contracting Office Address:
8725 John J. Kingman Road
Fort Belvoir, Virginia 22060-6222
Place of Performance:
Various DoD locations in Japan.
Japan
Primary Point of Contact:
Lisa L. Obrien - Senior Contract Specialist
Lisa.OBrien@dla.mil
Phone: 7037679534
Fax: 7037678506
Secondary Point of Contact:
Candy L. Cross - Contract Specialist
candy.cross@dla.mil
Phone: 703-767-8297
Fax: 703-767-8506
https://www.fbo.gov/index?s=opportunity&mode=form&tab=core&id=9dd0bfc02212449117a7eb73d3ff5c29&_cview=0
test
Fish
Market holidays
Combined Holidays
Click the 2009 tab at the bottom
It's a full day trading
They should "cultivate" that...lol
Lift the gag, that costs nothing...
The OTCBB doesn't charge the Company.
The cost is mainly from Section 404 compliance
Sarbanes–Oxley Section 404: Assessment of internal control
The most contentious aspect of SOX is Section 404, which requires management and the external auditor to report on the adequacy of the company's internal control over financial reporting (ICFR). This is the most costly aspect of the legislation for companies to implement, as documenting and testing important financial manual and automated controls requires enormous effort.[28]
http://en.wikipedia.org/wiki/Sarbanes%E2%80%93Oxley_Act
And then maybe never
It reinforces my thought of "going out on a limb." Go for it, do it now, balls to the wall.
Accounting, Auditing Provisions (including Sarbox 404b Exemption) In H.R. 4173, Wall Street Reform and Consumer Protection Act
12/12/2009 - Yesterday, the House of Representatives passed by a 223-202 vote, its version of a comprehensive financial regulatory reform bill, entitled H.R. 4173, the Wall Street Reform and Consumer Protection Act. Separately, the Senate still has to vote on its version of the bill.
Small Co. (Nonaccelerated filers, i.e. less Than $75 million public float) Exemption From Sarbanes-Oxley Section 404(b): The Wall Street Reform Act (H.R. 4173) would amend the Sarbanes-Oxley Act to exempt nonaccelerated filers (generally defined by the SEC as public companies with less than $75 million public float) from the requirement for an external audit of internal control under Sarbanes-Oxley Section 404(b). [NOTE: The Senate has not yet acted on this provision, and may reject this provision, so companies should still rely on the SEC's Oct. 2 statement, in which the SEC said it did not intend to provide a permanent exemption for smaller companies.
Note also that the proposed exemption in H.R. 4173 applies only to Section 404(b)-the external auditors report on internal control; it does not change the requirements in Section 404(a)-management's report on internal control, and it does not change the longstanding requirements for public companies of all sizes to have an external audit of their financial statements.] [Sec. 7606]
http://www.accountingweb.com/blogs/edith-orenstein/fei/accounting-auditing-provisions-including-sarbox-404b-exemption-hr-4173-wal
Not till next year
They wouldn't have to redo the last one
Small Public Companies to Begin Providing Audited Assessment of Internal Controls Over Financial Reporting in Nine Months
Washington, D.C., Oct. 2, 2009 - Under the provisions of Section 404 of the Sarbanes-Oxley Act, public companies and their independent auditors are each required to report to the public on the effectiveness of a company’s internal controls. The smallest public companies with a public float below $75 million have been given extra time to design, implement and document these internal controls before their auditors are required to attest to the effectiveness of these controls.
This extension of time will expire beginning with the annual reports of companies with fiscal years ending on or after June 15, 2010. This expiration date previously had been for fiscal years ending on or after Dec. 15, 2009. The extension was granted so that the SEC’s Office of Economic Analysis could complete a study of whether additional guidance provided to company managers and auditors in 2007 was effective in reducing the costs of compliance. Because the study was published less than three months before the December 15 deadline, the Commission determined that additional time is appropriate and reasonable so that small public companies and their auditors can better plan for the required auditor attestation.
http://www.sec.gov/news/press/2009/2009-213.htm
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Q: What about SOX compliance, what's involved and how much does it cost? When is my company subject to SOX 404 compliance?
A: In reality, the majority of the SOX compliance effort is zero cost, involving a check list approach to managing information which in spirit, if not in practice, the company is expected to embrace. Securities Compliance as part of its program addresses the vast majority of SOX compliance items. The bulk of the expense occurs as a result of addressing one section of the Sarbanes-Oxley Act, Section 404.
Section 404 addresses internal controls over financial reporting which are the processes which provide reasonable assurance regarding the reliability of financial reporting and the preparation of financial statements for external purposes in accordance with generally accepted accounting principles (GAAP). On an ongoing basis, subject to criminal and civil penalty, chief officers of the company must certify as to the effectiveness of the company's internal controls. Companies must be able to demonstrate that they have in place practices which validate this certification, and implementing policies and procedures to comply with this can be very expensive for large scale companies (as is widely reported). Companies are also subject to attestation by the company's auditors as to their compliance with Section 404 and larger companies are currently subject to annual audits as to their Section 404 compliance, both of which can add considerable expense.
Notwithstanding the foregoing, companies which have prudent practices as regards internal controls will largely spend their SOX 404 compliance budgets on documenting internal controls and procedures as opposed to implementing them. No different than an audit of a company whose books and records are kept on computer with back up documentation on file and will be less expensive than an audit of a company whose books are kept in a shoe box and whose records are missing.
With the exception of Section 404, in general a company is subject to SOX compliance at such time as its SEC registration statement becomes effective (note that some aspects of SOX are interpreted to apply to private companies as well). To understand the Section 404 exception available to certain sized issuers, it is instructive to note that the SEC divides filers into multiple categories defined largely upon the size of their 'public float'. A company's public float is measured in terms of the common stock securities held by other than 'insiders' which are defined as officers, directors and 10% holders. Large accelerated filers have public floats of $700 million USD or more, accelerated filers have public floats of at least $75 million USD but less than $700 million USD, and non-accelerated filers have public floats of less than $75 million USD.
http://www.securitiescompliance.com/FAQs.php
Where do you get that number from?
If they have the 1.5M, why would he need to dilute to do it?
That's the part I don't understand. Just start now by lifting the gag and become a little more transparent.
From Tufan's sticky:
Important Benefits
The benefits of uplisting to the OTCBB are almost immediately seen by the company; results can be significant:
>>>>> With the wealth of corporate information available to them, investors are considerably more comfortable buying the company’s
stock.
>>>>> It is estimated that, once uplisted, the market will value the company a minimum of 15% greater.
>>>>>Previously closed doors to banks and other lending institutions start opening up.
The bottom line for the uplisted company IS its bottom line. It gets a fresh – often considerable – infusion of capital necessary for growth, which can mean the difference between years of struggle as an undercapitalized company to being catapulted into the fast lane
I'm glad you're sure
Why not start now and be accountable? At least they could un-gag the TA.
For me, it's really about going out on a limb and putting one's neck on the line. Shareholders do it every time they buy stock.
Being fully reporting makes the Company file on a timely basis, not when they want to.
Look at those gaps, regimes could rise and fall during that time, not to mention shares flooding the market or worse.
Another advantage for the shareholders is all important events are required to be included in detail, no more ambiguity. Forward looking events are relegated to a small section and it's clearly identified.
I think the last PR was better, but it was still a lot of dancing around and no "limb."
Example:
We declared our intent to become "Icon Players" in the revolutionary advancement of the new Green Energy World. To that end, with our bio-diesel plant project, that, in our opinion, is about to be financed, we launched the first of what we expect to be a number of new projects in the State of South Carolina. In July, 2009 the Company brought on our new CFO, Peter Katzburg. He brought with him the projects of "Energy City, South Carolina." We intend to discuss in more detail our involvement with these projects as we enter into the New Year. Energy City fully intends to exploit the deep water ports of S.C., which will be centered in and around Charleston and include 4 primary core projects with dozens of spin-off industries that will flourish around its development.
Come on, at least they could say "We will discuss in more detail our involvement..."
I think he means fully reporting
I think this would be more beneficial than if all the other problems combined were resolved. Just think of it, besides being updated quarterly about events, knowing how many shares are out there, where they come from, and to whom they're going to, it simply boggles the mind.
OK, I'll get serious with it
Sometimes my ADD gets the better of me and I go off on these wild search tangents. Sometimes it helps, sometimes not.
Let's start the new direction with a snippet from the last 10Q:
Corporate Information Our Company , Unity Wireless Corporation, is a Delaware corporation incorporated on October 1, 1998 (formerly Sonic Systems Corporation). We have four wholly-owned subsidiaries , Unity Wireless Systems Corporation, a British Columbia corporation, Unity Wireless Microwave Systems Ltd., an Israel corporation, Celerica Inc., a Delaware corporation, and Celletra Ltd.., an Israel corporation.
Unity Wireless Corp.
P.O Box 106
Tavor Building #1
Yokne'am Ilit 20692 Israel
Phone: 972-73-7374700
http://www.pinksheets.com/pink/quote/quote.jsp?symbol=utyw
Celletra Ltd.
P.O Box 106
Tavor Building #1
Yokne'am Ilit, 20692 Israel
Tel: 972-73-7374700
http://www.celletra.com/
www.celletra.com
Website Last Modified - Jun 07 2009
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Company Name (English): UNITY WIRELESS MICROWAVE SYSTEMS LTD
Company number: 513786632
Status: Active
Type of Corporation: Private Company
Type of corporation: a company not a government type
Limitations: limited
Country: Israel
City: Yokneam Illit
Address: Industrial Park Number: 7
Zip Code: 20692
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Company Name (English): CELLETRA LTD
Company number: 512500356
Status: unload by Court
Type Corporation: Private Company
Type of corporation: a company not a government type
Limitations: limited
Country: Israel
City: Yokneam Illit
Street: Tabor Building Number: 1
Zip Code: 20692
Postal Address: 106
Request Type: Liquidation by court
Request Date: 19/05/2009
Request Number: 09-0075117
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Company Name (English): CELLETRA WIRELESS LTD
Company number: 514237684
Status: Active
Type of Corporation: Private Company
Type of corporation: a company not a government type
Limitations: limited
Country: Israel
City: Yokneam Illit
Street: Tabor Building Number: 1
Zip Code: 20692
By: Yossi Rosenberg
Yossi Rosenberg
Employment History
Vice President of Economics - Tat Technologies Ltd
Financial Consultant To Chief Executive Officer - Tat Technologies Ltd
Board Memberships and Affiliations
Board Member - TAT INDUSTRIES
Yossi Rosenberg Profile
Eyal Hemed
Technical Manager at Celletra-Wireless - Israel
•System Engineer
Unity Wireless
(Public Company; 51-200 employees)
Currently holds this position
•Technical Manager
Celletra-Wireless
(Privately Held)
January 2009 — Present (1 year )
•Team member
Celletra
January 1999 — Present (11 years )
Coordinator, Team member.
http://il.linkedin.com/pub/eyal-hemed/8/92b/3ba
You might be right
Like you said though, who knows...
Unity Wireless
Purchase Order
Phone: 305-962-2631
info@unitywireless.net
Capital Commercial Real Estate Group
Contact Information
Name : ALI AMIRALI
phone : 305-962-2631
www.capitalcomgroup.com
Website last modified
http://www.unitywireless.net/v/vspfiles/images/Order%20Form%20PDF.pdf
Last Modified Sun, 04 Oct 2009 22:26:04
http://www.unitywireless.net/a/i/seal_volusion1.png
Last Modified Wed, 11 Nov 2009 22:52:31
unitywireless.net -
Registrant:
New America
4954 SW 186 Way
Miramar, Florida 33029
United States
Registered through: GoDaddy.com, Inc. (http://www.godaddy.com)
Domain Name: UNITYWIRELESS.NET
Created on: 09-Mar-09
Expires on: 09-Mar-11
Last Updated on: 30-Sep-09
Administrative Contact:
Amirali, Arif amiralia@bellsouth.net
New America
4954 SW 186 Way
Miramar, Florida 33029
United States
(305) 962-2631 Fax -- (954) 272-7046
Technical Contact:
Amirali, Arif amiralia@bellsouth.net
New America
4954 SW 186 Way
Miramar, Florida 33029
United States
(305) 962-2631 Fax -- (954) 272-7046
I added info to the ibox
A better question is what type of loan
FEDERAL LOAN GUARANTEES FOR COMMERCIAL TECHNOLOGY RENEWABLE ENERGY GENERATION PROJECTS UNDER THE FINANCIAL INSTITUTION PARTNERSHIP PROGRAM
Solicitation Number: DE-FOA-0000166
U.S. Department of Energy Loan Guarantee Program Office
Of the approximately three billion nine hundred thirty five million dollars ($3,935,000,000) made available under the Recovery Act, DOE will make available up to seven hundred fifty million dollars ($750,000,000) under this Solicitation to pay the Credit Subsidy Costs of loan guarantees made for Commercial Technology Renewable Energy Generation Projects.
Eligible Lender means any person or legal entity formed for the purpose of, or engaged in the business of, lending money, including, but not limited to, commercial banks, savings and loan institutions, insurance companies, factoring companies, investment banks, institutional investors, venture capital investment companies, trusts, or other entities designated as trustees or agents acting on behalf of bondholders or other lenders;
Borrower means any person, firm, corporation, company, partnership, association, society, trust, joint venture, joint stock company, or other business entity or governmental non-Federal entity that is a borrower under the Loan Agreement and is responsible for repaying the Guaranteed Obligation.
http://www.lgprogram.energy.gov/CTRE.pdf
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Business and Industry Guaranteed Loan Program
The Business and Industry Guaranteed Loan Program is administered by USDA’s regional offices. Under this program, loans are made to public or private companies for the purposes of developing business in rural communities, including reducing the reliance on nonrenewable energy resources by encouraging the development of renewable energy resources (including solar and wind). The general purpose of the loan is to improve, develop, or finance business, and industry in rural communities, and the loan may be used to develop land or facilities as well as keep businesses from closing.
Under the Business and Industry Guaranteed Loan Program, a borrower applies for a loan from an eligible lending institution (federal or state chartered banks, Farm Credit Bank, or other Farm Credit institutions with direct lending authority, Bank for Cooperatives, Savings and Loan Associations, Credit Unions, insurance companies, National Rural Utilities Cooperative Finance Corporations, and mortgage companies that are part of a bank holding company). The lending institution then applies to USDA for a guarantee of such loan.
http://www.rurdev.usda.gov/rbs/busp/b&I_gar.htm
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Rural Energy for America Program Guaranteed Loan
The REAP Guaranteed Loan Program encourages the commercial financing of renewable energy (bioenergy, geothermal, hydrogen, solar, wind and hydro power) and energy efficiency projects. Under the program, project developers will work with local lenders, who in turn can apply to USDA Rural Development for a loan guarantee up to 85 percent of the loan amount.
Borrowers must be an agricultural producer or rural small business. Agricultural producers must gain 50% or more of their gross income from their agricultural operations. An entity is considered a small business in accordance with the Small Business Administration’s (SBA) small business size standards NAICS code. Most lenders are eligible, including national and state-chartered banks, Farm Credit System banks and savings and loan associations. Other lenders may be eligible if approved by USDA.
Eligible project costs include: 1) Post-application purchase and installation of equipment, 2)Post-application construction or improvements, 3) Energy audits or assessments, 4) Permit or license fees, 5) Professional service fees, 6) Feasibility studies and technical reports, 7) Business plans, 8) Retrofitting, 9) Construction of a new energy efficient facility only when the facility is used for the same purpose, is approximately the same size, and based on the energy audit will provide more energy savings than improving an existing facility, 10) Working capital, 11) Land acquisition.
http://www.rurdev.usda.gov/rbs/busp/9006loan.htm
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SBA 7A Guaranty Loan Program
7(a) loan proceeds may be used to establish a new business or to assist in the operation, acquisition or expansion of an existing business. These may include (non-exclusive):
• To purchase land or buildings, to cover new construction as well as expansion or conversion of existing facilities;
• To acquire equipment, machinery, furniture, fixtures, supplies, or materials;
• For long term working capital including the payment of accounts payable and/or for the purchase of inventory;
• To refinance existing business indebtedness which is not already structured with reasonable terms and conditions;
• For short term working capital needs including: seasonal financing, contract performance, construction financing, export production, and for financing against existing inventory and receivable under special conditions; or
• To purchase an existing business.
http://www.sba.gov/services/financialassistance/sbaloantopics/7a/
You can add this one
blockshopper
Get ready, they're setting up again
Where this goes nobody knows...
I would expect to see them here soon
Shoe Scanner Detection
I haven't been following this for a while, so I don't know how far along they are with the explosive detection system, but this could be a good thing for them.
Green Power Markets
Green Power Markets
Renewable Energy Certificates (RECs)
Exactly
I tried to warn people too. They'll probably run it again a bit to sucker some newbs in so they can dump more.
Piece of crap recycled land. The gold's worth more still buried because they can keep on doing this. Are they digging the trenches yet?
Whatever it is, I'll take it...