SEC Issues Trading Suspension of the Securities of PacWest Equities

Securities Lawyer 101 Blog

On September 17, 2013, the Securities and Exchange Commission (“SEC”) issued a trading suspension of the common shares of PacWest Equities (PWEI), a company whose shares were quoted on the OTC Markets with an OTC Pink Current tier. The SEC trading suspension is for a ten day period.

The SEC action was brought because “questions that have been raised about the accuracy and adequacy of publicly disseminated information concerning, among other things, the company’s business operations and assets.”

According to its reports filed with the OTCMarkets, PacWest has effected 5 name changes, domicile changes and  multiple changes of its control.  If the SEC does a proper investigation of this matter, it will undertake a complete review of how control of the  Company was obtained through each of these changes of control.

The review should include all documents submitted to FINRA with its Form 211 as well as all corporate documents and reinstatements from each Secretary of State where the company was at anytime domiciled.

PacWest purports to have developed food systems that “offset deficient worldwide food production for both animals and humans.”  Additionally, Pacwest purports to hold certain tangible and intangible solar technology assets. Pacwest has not generated any revenue from either of its lines of business.

After the SEC’s announcement of its trading suspension,  PWEI issued a press release claiming that it plans to relocate its solar manufacturing line to Parana, Brazil.  The press release stated, PacWest’s “Solar Manufacturing Line, which cost over $100 Million to develop, with $67 Million going to Research and Development, $12 Million to build the prototype line, and $27 Million going to the actual production line … addresses the construction market’s need to replace typical tinted window panes in high-rise buildings with Solar Glass Panels that generate electricity at the same time as functioning as a window, a skylight, or any other type of building cover.”

As of its last OTCMarkets’ report for the period ending June 30, 2013, PacWest had cash on hand of $131.  In the prior 12 months PCWI’s shares have generated over $40 million in in trading volume.

As a result of the SEC ‘s trading suspension, PacWest’s securities were downlisted to the Grey Markets. Grey Market stocks are extremely illiquid, because market makers are not permitted to publish quotes or make markets.  In order to move off the greys, PacWest must locate a sponsoring market maker to file a Form 211 with the Financial Industry Regulatory Authority (“FINRA”), in order for its common shares to trade.  In the case of securities subject to SEC trading suspensions, market makers are rarely willing to take that risk, because by filing the 211, they assume liability for the disclosures contained therein.

Recently the SEC has brought litigation against a a number of aggressive promotional groups.  Many of those enforcement actions have been accompanied by Department of Justice criminal prosecutions.

For further information about SEC trading suspensions, please contact Brenda Hamilton, Securities Attorney at 101 Plaza Real S, Suite 202N, Boca Raton Florida, (561) 416-8956, info@securitieslawyer101.com or visit www.securitieslawyer101.com. This memorandum is provided as a general informational service to clients and friends of Hamilton & Associates Law Group and should not be construed as, and does not constitute, legal and compliance advice on any specific matter, nor does this message create an attorney-client relationship. For more information concerning the rules and regulations affecting the use of Rule 144, Form 8K, FINRA Rule 6490, Rule 506 private placement offerings, Regulation A, Rule 504 offerings, SEC reporting requirements, SEC registration on Form S-1 and Form 10, Pink Sheet listing, OTCBB and OTCMarkets disclosure requirements, DTC Chills, Global Locks, reverse mergers, public shells, go public direct transactions and direct public offerings please contact Hamilton and Associates at (561) 416-8956 or info@securitieslawyer101.com. Please note that the prior results discussed herein do not guarantee similar outcomes.

Hamilton & Associates | Securities Lawyers
Brenda Hamilton, Securities Attorney
101 Plaza Real South, Suite 202 North
Boca Raton, Florida 33432
Telephone: (561) 416-8956
Facsimile: (561) 416-2855
www.SecuritiesLawyer101.com

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