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ds_25

04/03/14 10:34 PM

#28078 RE: 420man #28073

No... That did not get approved... Check all the amended communication. The sec stated they had to include previous offers... they finally relented and agreed with the sec on about the 2nd or third amended communication. On mobile.. But you have been thru them in the past because you posted tidbits here and there.

ds_25

04/03/14 10:40 PM

#28080 RE: 420man #28073

Also look at the stamped date on your link... January 2013 and the approval was feb 2014... A lot of amends and corrections occurred

ds_25

04/03/14 10:52 PM

#28081 RE: 420man #28073

I'm at computer finally:

Cover Page
1. We note that you are attempting to register a maximum offering amount of $5,000,000.
However, Rule 251 (b) under Regulation A provides for an exemption from registration of up to
a maximum aggregate offering price of $5,000,000 for all securities sold within twelve-month
period. Inasmuch as Item 5 on page 3 of your offering circular indicates that a total of $1,
527,500 has been raised pursuant to Regulation A since March 18, 2013, it appears that you are
not eligible to offer the full $5,000,000. Please revise or advise.
Response: Please be advised that we are aware of the aggregate sales price limitation and did not intent
to exceed it. In our mind, the $5,000,000 amount on the offering circular cover page was
intended to cover the total of all three offerings. However, we can see how this creates
confusion. In response to this Comment and Comment No. 3, we have revised the cover page
and the rest of the offering circular to make clear that we are selling Units consisting of 100
shares of common stock for $0.01 per Unit up to a total of $3,000,000 in proceeds. See "Cover
Page" and other parts of the offering circular which describe the offering in Amendment 1
.



http://www.sec.gov/Archives/edgar/data/823187/000000000014007426/filename1.pdf