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Thursday, 03/11/2021 6:01:06 PM

Thursday, March 11, 2021 6:01:06 PM

Post# of 28183
SEC's Proof of Service to Cyclone -- Last July!
https://www.sec.gov/litigation/apdocuments/3-19846-2020-09-23-declaration-of-gina-joyce.pdf

UNITED STATES OF AMERICA
Before the
SECURITIES AND EXCHANGE COMMISSION

ADMINISTRATIVE PROCEEDING
File No. 3-19846

In the Matter of
Cyclone Power Technologies, Inc., et al.,
Respondents.

DECLARATION OF GINA JOYCE
TO ASSIST SECRETARY WITH RECORD OF SERVICE

GINA JOYCE, pursuant to 28 U.S.C. § 1746, declares:

1. I am a Senior Counsel with the Division of Enforcement (“Division”) of the Securities and Exchange Commission, and co-counsel for the Division in the captioned administrative proceeding. I am submitting this Declaration to assist the Office of the
Secretary (“Secretary”) in maintaining a record of service on the Respondents in the captioned proceedings pursuant to Securities and Exchange Commission (“Commission”) Rule of Practice 141(a)(3).

2. Among other means, Commission Rule of Practice 141(a)(2)(ii) permits service on a corporation or entity by delivering a copy of an Order Instituting Administrative Proceedings (“OIP”) to an agent authorized by appointment or law to receive such service or, in the case of an issuer with a class of securities registered with the Commission, by sending the OIP via U.S. Postal Service certified, registered, or Express Mail and obtaining a confirmation of attempted delivery on the most recent address shown on the entity’s most recent filing with the Commission. Further, the OIP
in this matter authorizes service of the OIP “by any means permitted by the Commission’s Rules of Practice.” Therefore, the Division asked the Commission’s Secretary to first attempt service on the Respondents via U.S. Priority Mail Express.

3. The Secretary provided me with the U.S. Priority Mail Express tracking numbers for the copies of the OIPs1 that were mailed by the Secretary to the Respondents in these proceedings. I input each of the tracking numbers into the U.S. Postal Service’s (“USPS’s”) package tracking system on its Internet website located at www.usps.com, and printed out the tracking confirmations in order to obtain confirmation of the delivery or attempted delivery of the OIP on each Respondent. A true copy of the tracking confirmations for both Respondents for whom express mail service was attempted is
attached as Exhibit 1, hereto.

4. The Secretary mailed the OIP to Respondent Cyclone Power Technologies, Inc., CIK 1442711 (“CYPW”), via U.S. Priority Mail Express, Tracking No. ER 006 859 438 US, to the address shown on its most recent EDGAR filing at 601 N.E. 26th Court, Pompano Beach, FL 33064. This address is taken from CYPW’s last filing with the commission, which was a Form 10-Q filed with the Commission on August 31, 2018. The USPS tracking system confirms that the package was delivered on July 29, 2020. See Exhibit 1 at pp. 1 – 2.

5. The Secretary mailed the OIP to Respondent Ecolocap Solutions, Inc., CIK 1290506 (“ECOS”), via U.S. Priority Mail Express, Tracking No. ER 006 859 441 US, to the address shown on its most recent EDGAR filing at 6240 Oakton Street, 1Each service package included the OIP, a letter from the Commission’s Secretary, and a letter from the Division offering discovery pursuant to Rule of Practice 230. 3 Morton Grove, IL 60053. This address is taken from ECOS’s last filing with the Commission, which was a Form 8-K filed with the Commission on April 5, 2018. The USPS tracking system confirms that the package was delivered on July 29, 2020. See Exhibit 1 at pp. 3 - 4.

I declare under penalty of perjury that the foregoing is true and correct.
Executed on September 23, 2020.
___________________________________
Gina Joyce

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