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loanranger

01/21/14 8:01 AM

#29953 RE: LivingTheDream #29952

That's your explanation? People would be bothering the auditor with phone calls?

Don't people call lawyers? He didn't keep this a secret.....he bragged about it.

"Houston, Texas (Accesswire) November 6, 2013 - Team Nations Holding Corp, (a Nevada Corporation) (OTC: TEMN), today announced that it will sign an engagement letter with Houston law firm Sonfield & Sonfield as stated in the release dated 10/25/2013."
http://ih.advfn.com/p.php?pid=nmona&article=59904270


From the same release:
"The areas being addressed immediately are getting current status filings completed in the State of Nevada and assisting the independent auditors in bringing the company into compliance with the rules and regulations of the Financial Industries Regulatory Authority (FINRA), the Depository Trust Company (DTCC), the Securities and Exchanges Commission (SEC), the stock transfer agent and OTC Markets."

He says he's got them. It's just curious to me that he won't name them. Of course, if they file the financials by the end of the month (as promised), we'll know.

Hopefully that promise will be kept better than this one was:
"Houston, Texas (Accesswire) October 24, 2013 - Team Nations Holding Corp, (a Nevada Corporation) (OTCBB: TEMN), today announced that it has begun the reorganization process for the corporation which will include the appointment of new directors within the next 30 days."


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BigBake1

01/21/14 10:27 AM

#29957 RE: LivingTheDream #29952

He is absolutely correct, any time a shell or company changes auditors it must file within 4 days of agreement an 8K of such an event. TEMN is an SEC filer and therefore is required to file an 8K disclosing who the auditing firm is and the terms.

Companies have four business days to file a Form 8-K for the events specified in the items in Sections 1-6 and 9 above. However, if the issuer is furnishing a Form 8-K solely to satisfy its obligations under Regulation FD, then the due date might be earlier. (Issuers with questions concerning compliance with Regulation FD should consult with counsel or the SEC’s Division of Corporation Finance.)




Section 4 Matters Related to Accountants and Financial Statements

Item 4.01 Changes in Registrant's Certifying Accountant
Item 4.02 Non-Reliance on Previously Issued Financial Statements or a Related Audit Report or Completed Interim Review