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09/14/16 12:47 PM

#37990 RE: EarnestDD #37976

EAPH verified as being accurate with all information and NOT being misleading what-so-ever.
Fact not fiction listed below.

?Allen C. Tucci
1650 Market Street | One Liberty Place, Suite 1800 | Philadelphia, PA 19103-7395 Direct 215.864.6352 | Fax 215.789.7622
tuccia@whiteandwilliams.com | whiteandwilliams.com
May 6, 2016
OTC Markets, Inc. 304 Hudson Street Second Floor
New York, NY 10013
RE: Easton Pharmaceuticals, Inc. (EAPH) Dear Sir or Madam:
I have been asked by Easton Pharmaceuticals, Inc. (the “Issuer”) to provide OTC Markets, Inc. a letter with respect to the information publicly disclosed by the Issuer and published in the OTC Disclosure and News Service. I understand that this letter will be posted by the Issuer and will be published, accompanying the Issuer’s disclosure, in the OTC Disclosure and News Service. OTC Markets, Inc. is entitled to rely on such letter in determining whether the Issuer has made adequate current information publicly available within the meaning of Rule 144(c)(2) under the Securities Act of 1933.
I am a U.S. resident and have been retained by the Issuer for the purpose of rendering this letter and related matters. I am serving as disclosure counsel for the Issuer and have been retained also for the purpose of reviewing the current information supplied by the Issuer. I have examined such corporate records and other documents and such questions of law as I have considered necessary or appropriate for the purpose of rendering this letter.
I am licensed to practice law in the states of PA, DE and NY. I am allowed to practice before the SEC and am not prohibited from practicing before it. This letter applies to the laws of the United States of America. As to matters of fact, I have relied on information obtained from public officials, officers of the Issuer and other sources and all such sources are believed to be reliable.
I have reviewed all the documents provided to OTC Markets, Inc. by the Issuer in connection with its unaudited Financial Statements for the periods: annual report for year 2015 and quarterly reports for the first three quarters of 2015. The information referred to herein (i) constitutes “adequate current public information” concerning the Securities and the Issuer and “is available” within the meaning of Rule 144(c)(2) under the Securities Exchange Act; (ii) includes all of the information that a broker-dealer would be required to obtain from the Issuer to publish a
Delaware | Massachusetts | New Jersey | New York | Pennsylvania | Rhode Island
May 6, 2016 Page 2
quotation for the securities under Ruler 15c2-11 under the Securities Exchange Act of 1934; (iii) complies as to form with the Sheets Guidelines for Providing Adequate Current Information, which are located on the internet at www.otcmarkets.com; and (iv) will be posted in the OTC Disclosure and News Service.
The persons responsible for preparing the financial statement contained in the disclosure by the Issuer was Carla Pepe, who is qualified to prepare such financial statements by virtue of professional experience and education. The financial statements have not been audited.
The Issuer’s transfer agent is Corporate Stock Transfer, Denver, Colorado (the “Agent”). The Agent is registered with the SEC. I have used the transfer agent’s records to confirm the number of issued and outstanding shares of the Issuer as set forth in the Financial Statements filed April 21, 2016.
I have also reviewed the information published by Issuer on the OTC Disclosure and News Service and have discussed the information with management and a majority of the directors of the Issuer.
To the best of my knowledge, after inquiry of management and directors of the Issuer, neither the Issuer, any 5% shareholder, or any counsel is currently under investigation by any federal or state regulatory authority for any violation of federal or state securities laws.
No person other than OTC Markets, Inc. is entitled to rely on this letter, however, OTC Markets, Inc. has full and completed permission and right to publish the letter in the OTC Disclosure and News Service for viewing by the public.
Sincerely,
WHITE AND WILLIAMS LLP
Allen C. Tucci