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Re: Trum post# 97620

Tuesday, 06/18/2013 8:43:24 PM

Tuesday, June 18, 2013 8:43:24 PM

Post# of 123598
NO WAY IN HECK THE SEC CARES ABOUT A COMPANY LIKE JOHNSON AND JOHNSON'S LET ALONE PYCT'S SIGNIFICANT DEVELOPMENTS IN THEIR PRODUCTS LET ALONE THE LITTLE BITTY BSCS (British of Columbia's Security Commission) WHAT A FRIGGEN JOKE!!!!!!!!!!!!!!!!!!!!!!!!!!!!! ARE YOU SAYING THAT ANY COMPANY WOULD HAVE TO OR IS SUPPOSED TO DISCLOSE HIGHLY CONFIDENTIAL INFORMATION AS TO ANY SIGNIFICANT DEVELOPMENTS IN THEIR PRODUCTS AND DISCLOSE CONFIDENTIAL INFORMATION ABOUT THEIR PRODUCTION?

LMFGDAO!!!!!!!!!!!!!!!!!!!!!!!!


So why should the little bitty British Of Columbia's Security Commission care about all these things?????????????????????????????????????????????????????????????????????????????? GIVE ME A FLIPPIN BREAK!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!

IF YOU CAN FIND ANY STOCK WHERE THE SEC OR BCSC REQUIRED THIS MUCH CONFIDENTIAL INFORMATION THEN I WILL STOP POSTING IF YOU CAN!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!!

Read these questions........IT'S ABSURD

British Columbia Securities Commission - Cease Trade Order

Aug 09, 2011
OTC Disclosure & News Service

Vancouver, BC, Canada -

2011 BCSECCOM 381


Cease Trade Order

PayChest, Inc.

Section 164 of the Securities Act, R.S.B.C. 1996, c. 418


¶ 1 PayChest, Inc. (PayChest) is an Arizona corporation that is an OTC reporting issuer under BC Instrument 51-509 Issuers Quoted on the U.S. Over-the-Counter Markets(BCI 51-509).

¶ 2 PayChest has not filed:

1. interim financial statements for the interim periods ended September 30, 2008, March 31, 2009, June 30, 2009, September 30, 2009, March 31, 2010, June 30, 2010, September 30, 2010, and March 31, 2011, as required under Part 4 of National Instrument 51-102 Continuous Disclosure Obligations(NI 51-102) and section 5(b) of BCI 51-509,

2. comparative annual financial statements for its financial years ended December 31, 2008, December 31, 2009 and December 31, 2010, as required under Part 4 of NI 51-502 and section 5(b) of BCI 51-509,

3. Form 51-102F1 Management's Discussion and Analysisfor the periods ended September 30, 2008, December 31, 2008, March 31, 2009, June 30, 2009, September 30, 2009, December 31, 2009, March 31, 2010, June 30, 2010, September 30, 2010, December 31, 2010, and March 31, 2011, as required under Part 5 of NI 51-102 and section 5(b) of BCI 51-509,

4. Form 51-102F2 Annual Information Formfor the years ended December 31, 2008, December 31, 2009 and December 31, 2010, as required under section 5(c) of BCI 51-509,

5. copies of news releases and related material change reports disclosing material changes in PayChest’s affairs since September 15, 2008, including:

(a) its change in dividend policy and status of dividends,

(b) significant milestones in the development and production of its products,


(c) its change of management,

(d) agreement to settle judgment, and

(e) DTC audit,

as required under Part 7 of NI 51-102 and section 5(b) of BCI 51-509, and

6. BC Form 51-509F2 Notice of Investor Relationsdisclosing its arrangements with Tom Hands and Sandfire Capital Corp., as required under section 8 of NI 51-509,

(the required records).

¶ 3 Under section 164(1) of the Act, the Executive Director orders that trading in the securities of PayChest cease until:

1. PayChest files the required records completed in accordance with the Act and regulations, and

2. the Executive Director makes an order under section 164 of the Act revoking this order.


¶ 4 August 9, 2011





John Porges
Manager, Compliance
Corporate Finance