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Saturday, 12/26/2009 4:50:46 PM

Saturday, December 26, 2009 4:50:46 PM

Post# of 729832
If y'all want the scoop on Bonderman, please don't sit here and pass around rumor. David Bonderman is a publicly reporting entity, he was a director at Wamu, and holds above 10% of the common stock, thus he is bound by SEC rules section 16. Here are the links to Bondermans filings at the SEC, and to his "insider" transactions. If you just look, you'll see ALL of his transactions in Washington Mutual, are him ACQUIRING the stock, there are no sells listed as yet. As a 10% owner, he would HAVE to report it, even if the bankruptcy court, didn't have it's own restrictions.

And in any case, it doesn't really truly matter how much stock Bonderman owns, any more than it matters how much I own, justice is justice, the cat is waaaaaay outta the bag now, Dimon is in the hot seat, the Trustee is asking for an EC, the Justice department is involved, Moody's is being investigated, it's ALL going to come out now. Next year is a mid-term election year, why do you think all of a sudden the government is investigating all this? And now a commission in January that's going to drag Dimon and Lloyd Blankfein in and force them to testify about their role in the meltdown? Does the term "scapegoats" or "whipping boy" mean anything to ya? LOL!

Bonderman's filings

http://www.sec.gov/cgi-bin/browse-edgar?action=getcompany&CIK=0000860866

http://www.sec.gov/cgi-bin/own-disp?action=getowner&CIK=0000860866



http://www.sec.gov/rules/final/34-46421.htm


Section 169 applies to every person who is the beneficial owner of more than 10% of any class of equity security registered under Section 12 of the Exchange Act,10 and each officer and director (collectively, "reporting persons" or "insiders") of the issuer of such security. Upon becoming a reporting person, or upon the Section 12 registration of that security, Section 16(a) 11 requires a reporting person to file an initial report with the Commission disclosing his or her beneficial ownership of all equity securities of the issuer.12 To keep this information current, Section 16(a) also requires reporting persons to report changes in such ownership, or the purchase or sale of a security-based swap agreement13 involving such equity security. Previously, Section 16(a) provided for such transactions to be reported on a monthly basis within 10 days after the close of each calendar month in which such a change in ownership or purchase or sale of a security-based swap agreement occurs.
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