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Re: None

Friday, 04/23/2021 9:11:34 AM

Friday, April 23, 2021 9:11:34 AM

Post# of 81764
From yesterday's Attorney's opinion letter. Are these things appropriate?
"Our firm, as a U.S. resident, serves as special disclosure and corporate securities counsel to ISW Holdings, Inc. (the “Issuer”) and has been asked to render this opinion with respect to the adequacy of the current information contained in the Issuer’s disclosure statement (“Disclosure Statement”) posted on the OTC Disclosure & News Service on the 15th day of April 2021, and compiled, unaudited financial statements for the fiscal years ended December 31, 2020 posted on the OTC Disclosure & News Service on the 15th day of April 2021 (collectively, the “Disclosures”)."
Those aren't active statements. The Attorney Letter needs to be amended. He's vouching for expired documents.

"The Issuer’s counsel is not currently, and has not in the past five years, been the subject of an investigation, hearing, or proceeding by the SEC, the U.S Commodity Futures Trading Commission (CFTC), the Financial Industry Regulatory Authority (FINRA), or any other federal, state, or foreign regulatory agency."
What about this?
"Nevada Attorney Penalized for Role in Unregistered Securities Offerings
Litigation Release No. 24034 / January 25, 2018
Securities and Exchange Commission v. Robert L. Sonfield, Jason Landess, et al., No. 08-cv-2351 (S.D. Tex. Filed July 29, 2008)

https://www.otcmarkets.com/stock/ISWH/disclosure
https://www.sec.gov/litigation/litreleases/2018/lr24034.htm

I'm tryin ta think but nuttin happens......Curly