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Re: Ranb2khz post# 16571

Sunday, 04/04/2010 3:57:22 PM

Sunday, April 04, 2010 3:57:22 PM

Post# of 28329
Because John Bordynuik got it wrong, in just another example of his failure to comprehend what he reads.

Yes, he definitiely did.

Now JayBee says, re FaceBook:
John Bordynuik, our CEO, formally extends an invitation to become a friend of his on Facebook.
All invitations are accepted, regardless of shareholder status.
Saturday, April 03, 2010 7:49:14 PM


After saying this -
I am NOT required to give access to disruptive or non-shareholders with an agenda to hurt the company.
Friday, April 02, 2010 1:54:19 PM

Because John Bordynuik got it wrong, in just another example of his failure to comprehend what he reads.

Posted by: zardiw Date: Saturday, April 03, 2010 7:49:14 PM
In reply to: techisbest who wrote msg# 35501 Post # of 35532

JBII: Investor Relations. Overview.
[...]
John Bordynuik, our CEO, formally extends an invitation to become a friend of his on Facebook. All invitations are accepted, regardless of shareholder status. This invitation is John's virtual version of a traditional open-door policy. John's profile can be found at http://www.facebook.com/profile.php?id=659192149&ref=ts.
[...]
------------

[2] In this release the term “company web site” and the use of the term “web site” in the context of companies refer to public (Internet) company sites, as distinguished from private (intranet) sites. A company web site is maintained by or for the company and contains information about the company.

Note 2 P4
http://www.sec.gov/rules/interp/2008/34-58288.pdf


Posted by: mikeo56 Date: Friday, April 02, 2010 1:54:19 PM
In reply to: None Post # of 35467

John Bordynuik JBII: Commission Guidance on the use of company web sites -- very INTERESTING read. Start on page 40 for interactive web sites (ie: facebook). It's nice to see the SEC wants transparency (pg 41): "Similiar to blogs, electronic shareholder forums can serve as a means for investors to communicate with companies and each... other and to provide feedback on various issues in a real-time basis, and we have adopted rules to encourage their use". I am NOT required to give access to disruptive or non-shareholders with an agenda to hurt the company.
http://www.sec.gov/rules/interp/2008/34-58288.pdf
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