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Re: enthalpy post# 22431

Wednesday, 06/18/2014 7:59:59 PM

Wednesday, June 18, 2014 7:59:59 PM

Post# of 22460
Eugene knew this was coming for years.
He was in violation of Industry Guide 7 and he could not fully answer the sec's comments without implicating Tarun Mendiratta who was already busted by the sec and FBI for other securities violations.
The form 15-12(g) was never coming, he had to be current in his filings up to the date he submits a 15-12(g). That was not going to happen for the above reasons plus the admin order taken against him and his son.

http://www.sec.gov/litigation/admin/2014/34-72417.pdf
http://www.sec.gov/Archives/edgar/data/1130126/000114420411022609/filename1.htm

7. Kentucky Energy, Inc. (“QMIN”) (CIK No. 1130126) is an expired Utah
corporation located in Paterson, New Jersey with a class of securities registered with the
Commission pursuant to Exchange Act Section 12(g). QMIN is delinquent in its periodic filings
3
with the Commission, having not filed any periodic reports since it filed a Form 10-Q for the
period ended March 31, 2011, which reported a net loss of $3,523,572 for the prior three
months. As of June 16, 2014, the common stock of QMIN was quoted on OTC Link, had nine
market makers, and was eligible for the “piggyback” exception of Exchange Act Rule 15c2-
11(f)(3).

B. DELINQUENT PERIODIC FILINGS
8. As discussed in more detail above, all of the Respondents are delinquent in their
periodic filings with the Commission, have repeatedly failed to meet their obligations to file
timely periodic reports, and failed to heed delinquency letters sent to them by the Division of
Corporation Finance requesting compliance with their periodic filing obligations or,
through
their failure to maintain a valid address on file with the Commission as required by Commission
rules, did not receive such letters.
9. Exchange Act Section 13(a) and the rules promulgated thereunder require issuers
of securities registered pursuant to Exchange Act Section 12 to file with the Commission current
and accurate information in periodic reports, even if the registration is voluntary under Section
12(g). Specifically, Rule 13a-1 requires issuers to file annual reports, and Rule 13a-13 requires
issuers to file quarterly reports.
10. As a result of the foregoing, Respondents


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