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IT WILL show up right when the market opens
LOL! That's 100% THE FACTS! PYCT is going into a market that is approximately $85 billion.
"increased from $24.2 billion to $26.5 billion between 2010 and 2011"
According to data collected by Euromonitor, the total size of the global sanitary protection market, including pads, pantyliners, tampons and wipes, increased from $24.2 billion to $26.5 billion between 2010 and 2011. Within North America, the category remained flat at just under $3 billion while Western Europe showed some growth, up from $4.7 billion to $5 billion. Not surprisingly, sales grew considerably in Asia-Pacific, the Middle East, Eastern Europe and Latin America, and western companies - See more at: http://www.nonwovens-industry.com/issues/2012-11/view_features/the-feminine-hygiene-market-847209/#sthash.pOWttG4N.dpuf
http://www.nonwovens-industry.com/issues/2012-11/view_features/the-feminine-hygiene-market-847209/
Global Diapers Market Will Reach USD 63.2 Billion by 2017: Transparency Market Research
http://beforeitsnews.com/press-releases/2013/03/global-diapers-market-will-reach-usd-63-2-billion-by-2017-transparency-market-research-2743644.html
.0002 x .0003 then .0003 x .0004 then .0004 x .0005 then .0005 x .0006 then .0006 x .0007 then .0007 x .0008 then .0008 x .0009 then .0009 x .001 and so on............... to .05 x .051 and beyond
MARK THIS POST
Tomorrow will tell the truth! FACT is that the BID/ASK went .0001 x .0002 with as little as 29 million shares bought at .0001
We are talking about a measly 29 million shares? I thought there were billions for sale at .0001? LMGDAO!!!!!
BOY OH BOY THE BCSC REALLY CARES ABOUT A LOT OF THINGS THAT REALLY CANNOT BE TRUE BECAUSE THIS IS SUPPOSED TO BE A "SCAM" right? LMGDAO!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!
NO WAY IN HECK THE SEC CARES ABOUT A COMPANY LIKE JOHNSON AND JOHNSON'S LET ALONE PYCT'S SIGNIFICANT DEVELOPMENTS IN THEIR PRODUCTS LET ALONE THE LITTLE BITTY BSCS (British of Columbia's Security Commission) WHAT A FRIGGEN JOKE!!!!!!!!!!!!!!!!!!!!!!!!!!!!! ARE YOU SAYING THAT ANY COMPANY WOULD HAVE TO OR IS SUPPOSED TO DISCLOSE HIGHLY CONFIDENTIAL INFORMATION AS TO ANY SIGNIFICANT DEVELOPMENTS IN THEIR PRODUCTS AND DISCLOSE CONFIDENTIAL INFORMATION ABOUT THEIR PRODUCTION?
LMFGDAO!!!!!!!!!!!!!!!!!!!!!!!!
So why should the little bitty British Of Columbia's Security Commission care about all these things?????????????????????????????????????????????????????????????????????????????? GIVE ME A FLIPPIN BREAK!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!
IF YOU CAN FIND ANY STOCK WHERE THE SEC OR BCSC REQUIRED THIS MUCH CONFIDENTIAL INFORMATION THEN I WILL STOP POSTING IF YOU CAN!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!
Read these questions........IT'S ABSURD
British Columbia Securities Commission - Cease Trade Order
Aug 09, 2011
OTC Disclosure & News Service
Vancouver, BC, Canada -
2011 BCSECCOM 381
Cease Trade Order
PayChest, Inc.
Section 164 of the Securities Act, R.S.B.C. 1996, c. 418
¶ 1 PayChest, Inc. (PayChest) is an Arizona corporation that is an OTC reporting issuer under BC Instrument 51-509 Issuers Quoted on the U.S. Over-the-Counter Markets(BCI 51-509).
¶ 2 PayChest has not filed:
1. interim financial statements for the interim periods ended September 30, 2008, March 31, 2009, June 30, 2009, September 30, 2009, March 31, 2010, June 30, 2010, September 30, 2010, and March 31, 2011, as required under Part 4 of National Instrument 51-102 Continuous Disclosure Obligations(NI 51-102) and section 5(b) of BCI 51-509,
2. comparative annual financial statements for its financial years ended December 31, 2008, December 31, 2009 and December 31, 2010, as required under Part 4 of NI 51-502 and section 5(b) of BCI 51-509,
3. Form 51-102F1 Management's Discussion and Analysisfor the periods ended September 30, 2008, December 31, 2008, March 31, 2009, June 30, 2009, September 30, 2009, December 31, 2009, March 31, 2010, June 30, 2010, September 30, 2010, December 31, 2010, and March 31, 2011, as required under Part 5 of NI 51-102 and section 5(b) of BCI 51-509,
4. Form 51-102F2 Annual Information Formfor the years ended December 31, 2008, December 31, 2009 and December 31, 2010, as required under section 5(c) of BCI 51-509,
5. copies of news releases and related material change reports disclosing material changes in PayChest’s affairs since September 15, 2008, including:
(a) its change in dividend policy and status of dividends,
(b) significant milestones in the development and production of its products,
(c) its change of management,
(d) agreement to settle judgment, and
(e) DTC audit,
as required under Part 7 of NI 51-102 and section 5(b) of BCI 51-509, and
6. BC Form 51-509F2 Notice of Investor Relationsdisclosing its arrangements with Tom Hands and Sandfire Capital Corp., as required under section 8 of NI 51-509,
(the required records).
¶ 3 Under section 164(1) of the Act, the Executive Director orders that trading in the securities of PayChest cease until:
1. PayChest files the required records completed in accordance with the Act and regulations, and
2. the Executive Director makes an order under section 164 of the Act revoking this order.
¶ 4 August 9, 2011
John Porges
Manager, Compliance
Corporate Finance
pinksheets quote shows .0001 x .0002
whatever happens after hours is nonsense and does not matter
0.00010.00 (0.00%)
Real-Time Best Bid & Ask
0.0001 / 0.0002
http://www.otcmarkets.com/stock/PYCT/quote
We WILL see .0002's tomorrow
READ WHAT THE BC IS REQUESTING IT'S SILLY!!!!!!!!!
THERE IS NO WAY THEY WOULD CARE ABOUT QUESTION 5. B, NO WAY
the shorts are behind this letter
1 PayChest, Inc. (PayChest) is an Arizona corporation that is an OTC reporting issuer under BC Instrument 51-509 Issuers Quoted on the U.S. Over-the-Counter Markets(BCI 51-509).
¶ 2 PayChest has not filed:
1. interim financial statements for the interim periods ended September 30, 2008, March 31, 2009, June 30, 2009, September 30, 2009, March 31, 2010, June 30, 2010, September 30, 2010, and March 31, 2011, as required under Part 4 of National Instrument 51-102 Continuous Disclosure Obligations(NI 51-102) and section 5(b) of BCI 51-509,
2. comparative annual financial statements for its financial years ended December 31, 2008, December 31, 2009 and December 31, 2010, as required under Part 4 of NI 51-502 and section 5(b) of BCI 51-509,
3. Form 51-102F1 Management's Discussion and Analysisfor the periods ended September 30, 2008, December 31, 2008, March 31, 2009, June 30, 2009, September 30, 2009, December 31, 2009, March 31, 2010, June 30, 2010, September 30, 2010, December 31, 2010, and March 31, 2011, as required under Part 5 of NI 51-102 and section 5(b) of BCI 51-509,
4. Form 51-102F2 Annual Information Formfor the years ended December 31, 2008, December 31, 2009 and December 31, 2010, as required under section 5(c) of BCI 51-509,
5. copies of news releases and related material change reports disclosing material changes in PayChest’s affairs since September 15, 2008, including:
(a) its change in dividend policy and status of dividends,
(b) significant milestones in the development and production of its products,
(c) its change of management,
(d) agreement to settle judgment, and
(e) DTC audit,
as required under Part 7 of NI 51-102 and section 5(b) of BCI 51-509, and
6. BC Form 51-509F2 Notice of Investor Relationsdisclosing its arrangements with Tom Hands and Sandfire Capital Corp., as required under section 8 of NI 51-509,
(the required records).
¶ 3 Under section 164(1) of the Act, the Executive Director orders that trading in the securities of PayChest cease until:
1. PayChest files the required records completed in accordance with the Act and regulations, and
2. the Executive Director makes an order under section 164 of the Act revoking this order.
¶ 4 August 9, 2011
John Porges
Manager, Compliance
Corporate Finance
THere are ONLY 11 shareholders in BC, and if you look at what the BC is asking for the BC is a scam and the SHORTS are behind the letter of items requested by the BC.
READ WHAT THE BC IS REQUESTING IT'S SILLY!!!!!!!!!
1 PayChest, Inc. (PayChest) is an Arizona corporation that is an OTC reporting issuer under BC Instrument 51-509 Issuers Quoted on the U.S. Over-the-Counter Markets(BCI 51-509).
¶ 2 PayChest has not filed:
1. interim financial statements for the interim periods ended September 30, 2008, March 31, 2009, June 30, 2009, September 30, 2009, March 31, 2010, June 30, 2010, September 30, 2010, and March 31, 2011, as required under Part 4 of National Instrument 51-102 Continuous Disclosure Obligations(NI 51-102) and section 5(b) of BCI 51-509,
2. comparative annual financial statements for its financial years ended December 31, 2008, December 31, 2009 and December 31, 2010, as required under Part 4 of NI 51-502 and section 5(b) of BCI 51-509,
3. Form 51-102F1 Management's Discussion and Analysisfor the periods ended September 30, 2008, December 31, 2008, March 31, 2009, June 30, 2009, September 30, 2009, December 31, 2009, March 31, 2010, June 30, 2010, September 30, 2010, December 31, 2010, and March 31, 2011, as required under Part 5 of NI 51-102 and section 5(b) of BCI 51-509,
4. Form 51-102F2 Annual Information Formfor the years ended December 31, 2008, December 31, 2009 and December 31, 2010, as required under section 5(c) of BCI 51-509,
5. copies of news releases and related material change reports disclosing material changes in PayChest’s affairs since September 15, 2008, including:
(a) its change in dividend policy and status of dividends,
(b) significant milestones in the development and production of its products,
(c) its change of management,
(d) agreement to settle judgment, and
(e) DTC audit,
as required under Part 7 of NI 51-102 and section 5(b) of BCI 51-509, and
6. BC Form 51-509F2 Notice of Investor Relationsdisclosing its arrangements with Tom Hands and Sandfire Capital Corp., as required under section 8 of NI 51-509,
(the required records).
¶ 3 Under section 164(1) of the Act, the Executive Director orders that trading in the securities of PayChest cease until:
1. PayChest files the required records completed in accordance with the Act and regulations, and
2. the Executive Director makes an order under section 164 of the Act revoking this order.
¶ 4 August 9, 2011
John Porges
Manager, Compliance
Corporate Finance
.0001's are GONE!! WATCH TOMORROW MORNING IT WILL BE .0001 x .0002
YES 20 MINUTES AFTER THE CLOSE!!!!!!!!!!!! LOL
MARKED & .0001 x .0002 ONLY 29 MILLION SHARES KNOCKED OUT THE .0001's!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!
ME NOT UNTIL .02+, after all that is when the insiders will start selling as per the value they set in the financials.
NOT SO! When the FDA REGISTRATION PR came out only 50 million share were bought at .0002 and it went .0002 x .0003!!!!!!!
GO BACK AND LOOK AT THE TAPE
MORE VOLUME, 21 MILLION
THE TOTAL MARKET SIZE IS $85 BILLION DOLLARS OF WHAT THIS COMPANY IS PRODUCING. ONE OF A KIND BIODEGRADABLE FEMININE HYGIENE PRODUCTS AND A 100% BIODEGRADABLE DIAPER.
THEY WILL CAPTURE AT LEAST 5% of the MARKET WHICH IS $4.2 BILLION DOLLARS.\\
DO THE MATH, EVEN AT 1% IT PUTS THEM WELL OVER .05
I don't care about phone numbers, only the financials and the news releases from the company.
WHO CARES!! I don't!!
According to data collected by Euromonitor, the total size of the global sanitary protection market, including pads, pantyliners, tampons and wipes, increased from $24.2 billion to $26.5 billion between 2010 and 2011. Within North America, the category remained flat at just under $3 billion while Western Europe showed some growth, up from $4.7 billion to $5 billion. Not surprisingly, sales grew considerably in Asia-Pacific, the Middle East, Eastern Europe and Latin America, and western companies - See more at: http://www.nonwovens-industry.com/issues/2012-11/view_features/the-feminine-hygiene-market-847209/#sthash.pOWttG4N.dpuf
http://www.nonwovens-industry.com/issues/2012-11/view_features/the-feminine-hygiene-market-847209/
Global Diapers Market Will Reach USD 63.2 Billion by 2017: Transparency Market Research
http://beforeitsnews.com/press-releases/2013/03/global-diapers-market-will-reach-usd-63-2-billion-by-2017-transparency-market-research-2743644.html
More volume
It's all out there in the company's news releases....sales, contracts, dividend.
It's public info dude
With what I know is coming .05 to .07 will be easy. And with the short covering we could see .15 to .20. Not out of the question.
NEWS MUST BE ON DECK, VOLUME KEEPS COMING
The shares that were converted are not accounted for yet from liani holdings because of the dtc chill. They own more than 5%
Doesn't mean they are using a different company. They have the CUSIP number for the stock. It's coming don't worry.
AND THE NEW SEC APPROVED TA WAS ONLY HIRED TO ASSIST WITH THE DTCC STOCK AUDIT AND HANDLE THE DISTRIBUTION OF THE DIVIDEND WHEN THEY DO IT.
ALSO...SINCE 2009 THE COMPANY NEVER SOLD ANY SHARES ON THE OPEN MARKET TO THE PUBLIC SO THEY TOO NEVER NEEDED A TA!!!!!!!!!!!!
"THEY" (Lawson Pillay & Co.) WERE NOT SELLING SHARES SO NEVER NEEDED A TA!
HAHA! I would wait for the UPDATE PR that is coming out this week before speaking.
You can't find another pinksheet that has done a DTCC stock audit can you?
AND the 2nd STOCK AUDIT was done AFTER hiring them, so the SEC APPROVED Transfer Agent was involved with the audit.
NO WAY THE DTCC WOULD WASTE A SINGLE MINUTE ON PYCT IF ANY OF YOUR CLAIMS WERE TRUE!!
And that is a bad thing? LMAO!!!! And if Transfer Online was in violation of any SEC rule for Transfer Agents they would not be in business and shut down! Man this is HILARIOUS!!!!!!!!!!!
Well that settles it PYCT has made history.
CAN ANYONE FIND ANOTHER PINKSHEET THAT HAS DONE A DTCC STOCK AUDIT?
ANYONE? COME ON THERE HAS TO BE JUST ONE MORE? NO?