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Re: harr449 post# 32660

Tuesday, 02/14/2012 5:41:21 PM

Tuesday, February 14, 2012 5:41:21 PM

Post# of 35924
FYI,

PRFree is affiliated with EWorldWire. However, PRFree is no longer free for business. In fact, it was less expensive to use EWorldWire.

Besides a regular distribution, we utilized EWorldWire's "Pink Sheets Disclosure distribution"


Meet Reg FD. A news release distribution especially designed for those companies listed on Pink Sheets, (Pink Sheets) taking the individual company's needs and requirements into account.


Includes Small Cap Wire

Small Cap Wire pushes your news out to thousands of Institutional and Analyst workstations and terminals. Specifically tailored to meet the needs of Small, OTC and emerging companies, it allows you to rub elbows with Fortune and Blue Chip companies and get the attention only previously afforded to the Fortune and Blue Chip companies. An Eworldwire Exclusive. http://www.sec.gov/rules/final/33-7881.htm "Public Disclosure" Required by Regulation FD Rule 101(e) defines the type of "public disclosure" that will satisfy the requirements of Regulation FD. As proposed, Rule 101(e) gave issuers considerable flexibility in determining how to make required public disclosure. The proposal stated that issuers could meet Regulation FD's "public disclosure" requirement by filing a Form 8-K, by distributing a press release through a widely disseminated news or wire service, or by any other non-exclusionary method of disclosure that is reasonably designed to provide broad public access -- such as announcement at a conference of which the public had notice and to which the public was granted access, either by personal attendance, or telephonic or electronic access. This definition was designed to permit issuers to make use of current technologies, such as webcasting of conference calls, that provide broad public access to issuer disclosure events. From Section 4b ……………..We emphasize, however, that while Rule 101(e) gives an issuer considerable flexibility in choosing appropriate methods of public disclosure, it also places a responsibility on the issuer to choose methods that are, in fact, "reasonably designed" to effect a broad and non-exclusionary distribution of information to the public. In determining whether an issuer's method of making a particular disclosure was reasonable, we will consider all the relevant facts and circumstances, recognizing that methods of disclosure that may be effective for some issuers may not be effective for others. If, for example, an issuer knows that its press releases are routinely not carried by major business wire services, it may not be sufficient for that issuer to make public disclosure solely by submitting its press release to one of these wire services; the issuer in these circumstances should use other or additional methods of dissemination, such as distribution of the information to local media, furnishing or filing a Form 8-K with the Commission, posting the information on its website, or using a service that distributes the press release to a variety of media outlets and/or retains the press release.



Dino A. Sawyer
Investor_Relations@michelex.com

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