SOAH DOCKET NO SSB DOCKET NO. 08-IC05 CONSENT REVOCATION ORDER

Similar documents
SSB DOCKET NO

DISCIPLINARY ORDER REPRIMANDING AN INVESTMENT ADVISER AND AGENT

AGREED CEASE AND DESIST ORDER AND ORDER ASSESSING AN ADMINISTRATIVE FINE

***FOR BACKGROUND CHECK ONLY***

) ) ) ) ) ) set forth in this Consent Order, except as to the Securities Commissioner's jurisdiction over it

TOM GREEN COUNTY BAIL BOND CORPORATE SURETY LICENSE APPLICATION

BEFORE THE NORTH CAROLINA MEDICAL BOARD. In re: ) ) Cheryl Tan Navarro-McGuinness, D.O., ) AMENDED CONSENT ORDER ) Respondent. )

ALABAMA SECURITIES COMMISSION ADMINISTRATIVE CODE CHAPTER 830-X-6 EXEMPT SECURITIES AND EXEMPT TRANSACTIONS TABLE OF CONTENTS

DOCKET NO AGREED ORDER

WHEREAS, the Securities Division of the Office of the Attorney General of the State of

BEFORE THE DISTRICT 6 GRIEVANCE COMMITTEE EVIDENTIARY PANEL 6-1 STATE BAR OF TEXAS JUDGMENT OF FULLY PROBATED SUSPENSION. Parties and Appearance

FINANCIAL INDUSTRY REGULATORY AUTHORITY LETTER OF ACCEPTANCE, WAIVER AND CONSENT NO

APPLICATION FOR EMPLOYMENT

Bond No. GAS AND OIL DRILLING AND OPERATING BLANKET SURETY BOND KNOW ALL MEN BY THESE PRESENTS, THAT THE UNDERSIGNED. , Name of Corporation Permittee)

APPEAL/INTERPRETATION APPLICATION SUBMITTAL CHECKLIST. Application #: Site Address:

47064 Federal Register / Vol. 63, No. 171 / Thursday, September 3, 1998 / Notices

STATE OF MISSISSIPPI Department of Banking and Consumer Finance Post Office Box Jackson, Mississippi

State of New Jersey Department of Banking and Insurance Third Party Billing Services (TPBS) APPLICATION FOR CERTIFICATION FORM.

INSTRUCTION SHEET FOR APPEAL APPLICATION UNIFORM CONSTRUCTION CODE APPEALS BOARD

Lakewood Village Homeowners Association Page 1 of 8

RESOLUTION DETERMINING PREVAILING WAGE RATES

It is hereby stipulated and agreed by Respondent and the Committee that

CPA LICENSURE APPLICATION BY RECIPROCITY ELECTRONIC APPLICATION FORMS AND INSTRUCTIONS

City of Southfield Evergreen Road P.O. Box 2055 Southfield, MI Dear Applicant,

) ) WHEREAS, in connection with the investigation, the Division has determined that

EXHIBIT 21 U-7 Page 263 FIRST AMENDMENT TO GROUND LEASE THIS FIRST AMENDMENT TO GROUND LEASE ( First Amendment ) is made as of the day of January, 201

South Carolina Department of Labor, Licensing and Regulation South Carolina Board of Medical Examiners

BEFORE THE NORTH CAROLINA BOARD OF PHARMACY. THIS MATTER came on to be considered at a prehearing conference (hereinafter,

READ THIS BEFORE COMPLETING THE FORMS!!! INSTRUCTIONS FOR MOTION TO CONTINUE HEARING

BEFORE THE NORTH CAROLINA MEDICAL BOARD. This matter is before the North Carolina Medical Board STATUTORY AUTHORITY

Form CC-1512 MEMORANDUM FOR MECHANIC S LIEN Form CC-1512 CLAIMED BY GENERAL CONTRACTOR UNDER VIRGINIA CODE 43-5

South Carolina Department of Labor, Licensing and Regulation South Carolina Real Estate Commission

THE COMPANIES ACT 1985 COMPANY LIMITED BY GUARANTEE AND NOT HAVING A CAPITAL DIVIDED INTO SHARES

ORDINANCE NO (b) Authority of Permitting Officer. The permitting officer is hereby authorized to accept or deny applications.

RULES OF TENNESSEE DEPARTMENT OF AGRICULTURE CHAPTER DOG AND CAT DEALERS TABLE OF CONTENTS

GENERAL LICENSE APPLICATION CITY OF FREEPORT, ILLINOIS

BY-LAWS OF THE EMERALD POINTE PROPERTY OWNERS ASSOCIATION, INC.

ofthe State Bar of Texas appeared by attorney and announced ready. Respondent, Bryan P. Cartall,

STATE OF NORTH CAROLINA NORTH CAROLINA BOARD OF PHARMACY. THIS MATTER came on to be considered at a prehearing conference (hereinafter,

INSTRUCTIONS FOR SCHOOL APPLICATION

RAILROAD COMMISSION OF TEXAS

Department of Homeland Security Delegation Number: Issue Date: 06/05/2003 DELEGATION TO THE BUREAU OF CITIZENSHIP AND IMMIGRATION SERVICES

RULES OF DEPARTMENT OF REVENUE VEHICLE SERVICES DIVISION CHAPTER TITLE BONDS TABLE OF CONTENTS

APPLICATION FOR SECOND HAND DEALER LICENSE

ST. MARY'S COUNTY, MARYLAND PUBLIC WORKS AGREEMENT FOR CONTINUED MAINTENANCE AND REPAIR

BYLAWS OF THE HOUSING AUTHORITY OF THE CITY OF SAN BENITO, TEXAS

STATE OF MINNESOTA BOARD OF ACCOUNTANCY

CAUSE NO GINGER WEATHERSPOON, IN THE 44 th -B JUDICIAL. Defendant. DALLAS COUNTY, TEXAS DEFENDANT S PLEA TO THE JURISDICTION

ORDINANCE NO WHEREAS, Chapter 10, Articles II and III of the Town of Silver City Municipal Code contain

APPLICATION FOR INITIAL LICENSE

IN THE MUNICIPAL COURT OF DELAWARE COUNTY, OHIO CRIMINAL/TRAFFIC DIVISION PLEA IN ABSENTIA

STATE OF MINNESOTA BOARD OF ACCOUNTANCY

ACTION FORM BRYAN CITY COUNCIL

STATE OF FLORIDA OFFICE OF FINANCIAL REGULATION FINAL ORDER. The State of Florida, Office of Financial Regulation, ("Office") and Janney

* * * TONY L. SCHAFFER, * Respondent *

BEFORE THE MEDICAL BOARD OF CALIFORNIA DEPARTMENT OF CONSUMER AFFAIRS STATE OF CALIFORNIA. Respondent. PARTIES

STATE OF NORTH CAROLINA NORTH CAROLINA BOARD OF PHARMACY. THIS MATTER came on for consideration at a prehearing conference (hereinafter,

BYLAWS OF SLATER MILL PLANTATION HOMEOWNERS ASSOCIATION, INC.

STATE OF FLORIDA DEPARTMENT OF HEALTH

ORDINANCE NO (b) Authority of Permitting Officer. The permitting officer is hereby authorized to accept or deny applications.

READ THIS BEFORE COMPLETING THE FORMS!!! INSTRUCTIONS FOR MOTION FOR MODIFICATION

This BILL OF SALE, made and entered into on this the day of., 2000, by and between. if one or more individuals, or. a partnership composed of, and

STATE OF MINNESOTA BOARD OF ACCOUNTANCY

Application for a Food Establishment License to Valid Code of Ordinances Chapter

DOCKET NO AGREED ORDER

UNITED STATES SECURITIES AND EXCHANGE COMMISSION Washington, D.C FORM 8-K

APPLICATION FOR CERTIFICATION AS A WELL DRILLER

IBADCC Ethics Disciplinary Procedures

1. Pursuant to sections and , Florida Statutes, the Office is charged

FINANCIAL INDUSTRY REGULATORY AUTHORITY LETTER OF ACCEPTANCE, WAIVER AND CONSENT NO

BY-LAWS THE PHOENIX COMPANIES, INC.

For Preview Only - Please Do Not Copy

NEW YORK STOCK EXCHANGE LLC LETTER OF ACCEPTANCE, WAIVER, AND CONSENT NO

DOCKET NO Based on the March 22, 2000 Order, Respondent's permits were cancelled for cause.

SAMPLE CIGARETTE TAX CREDIT PURCHASE BOND

* * * * * * * * * * * * * * * * *

BY-LAWS LAURELHURST PLACE HOMEOWNERS' ASSOCIATION SPOKANE, WASHINGTON

A document substantially in the following form may be used to create a power of attorney that has the meaning and effect prescribed by this chapter.

Corporation Liquor License Application

West Virginia Board of Optometry

In re: ) ) NOTICE OF CHARGES Cindy H. Sirois, M.D., ) AND ALLEGATIONS ) NOTICE OF HEARING Respondent. )

RECEIVERSHIP APPEAL PROCEDURE

Tennessee Athlete Agent Application for Registration or Renewal

TENNESSEE CODE TITLE 8. PUBLIC OFFICERS AND EMPLOYEES CHAPTER 16. NOTARIES PUBLIC PART 1 QUALIFICATIONS

Individual or Partnership Liquor License Application

For Preview Only - Please Do Not Copy

BYLAWS. For the regulation, except as otherwise provided by statute or its Articles of Incorporation

IC Chapter 11. Operator Certification

STATE OF FLORIDA BOARD OF HEARING AID SPECIALISTS. Petitioner, Case No: vs. License No.: AS 2749 FINAL ORDER

BEFORE THE NORTH CAROLINA BOARD OF PHARMACY. THIS MATTER came on to be considered at a prehearing conference (hereinafter,

Mark Singer vs. Commerce and Insurance

BYLAWS Of THE CROWN POINTE PROPERTY OWNERS ASSOCIATION, INC. A Corporation Not-for-Profit

~/

BEFORE THE NORTH CAROLINA BOARD OF PHARMACY. THIS MATTER came on to be considered at a prehearing conference (hereinafter,

STATE OF FLORIDA BOARD OF PHARMACY

SURETY BOND KNOW ALL MEN BY THESE PRESENTS, THAT THE UNDERSIGNED. (hereafter PRINCIPAL), whose principal place of business is,

STATE OF FLORIDA DEPARTMENT OF HEALTH

RAILROAD COMMISSION OF TEXAS LEGAL DIVISION OIL AND GAS SECTION

STATE OF NEW JERSEY DIVISION OF TAXATION CIGARETTE TAX DISTRIBUTOR / WHOLESALER LICENSE APPLICATION PACKET

Appendix B BY - LAWS OF THE NEW JERSEY COMMISSION ON CAPITAL BUDGETING AND PLANNING

Transcription:

DENISE VOIGT CRAWFORD SECURITIES COMMISSIONER JOHN R. MORGAN DEPUTY SECURITIES COMMISSIONER Mail: PO. BOX 13167 AUSTIN. TEXAS 78711-3167 Phone: (512) 305-8300 Facsimile (512) 305-8310 208 E. 10th Street, 5th Floor Austin, Texas 78701-2407 www.ssb.state.tx.us BETH ANN BLACKWOOD CHAIR BRYAN K. BROWN EDWARD ESCUDERO DERRICK MITCHELL E. WALLY KINNEY SOAH DOCKET NO. 312-09-0557 SSB DOCKET NO. 08-IC05 IN THE MATTER OF THE DEALER REGISTRATION OF FOX & COMPANY INVESTMENTS, INC. Order No. IC08-REV-18 TO: Mary L. Wade, President Fox & Company Investments, Inc. (CRD No. 18517) 5080 North 40 th Street, Suite 103 Phoenix, AZ 85018 CONSENT REVOCATION ORDER Be it remembered that Fox & Company Investments, Inc. ("Respondent"), by and through Mary L. Wade, its President, appeared before the Securities Commissioner of the State of Texas ("Securities Commissioner") and consented to the entry of this Order and the Findings of Fact and Conclusions of Law contained herein. FINDINGS OF FACT 1. Respondent has waived (a) Respondent's right to notice and hearing in this matter; (b) Respondent's right to appear and present evidence in this matter; (c) Respondent's right to appeal this Order; and (d) all other procedural rights granted to the Respondent by The Securities Act, TEX. REV. CIV. STAT. ANN. art. 581-1 et seq. (Vernon 1964 & Supp. 2008)("Texas Securities Act"), and the Administrative Procedure Act, TEX. GOV'T CODE ANN. 2001.001 et seq. (Vernon 2000 & Supp. 2008)("Administrative Procedure Act"). 2. On or about August 13, 1991, Respondent registered with the Securities Commissioner as a securities dealer. This registration is currently effective. Violation of an Undertaking 3. On or about January 28, 1997, and as a condition of the Securities Commissioner approving the registration application of an agent of Respondent (the "Agent"), Respondent entered into an agreement, or "Undertaking", with the Securities Commissioner.

4. The Undertaking listed specific restrictions on the Agent's activities, including an agreement by the Respondent that the Agent would "not act in any supervisory capacity". 5. From December 2005 to October 2006, Respondent permitted the Agent to act in a supervisory capacity for Respondent as the Branch Manager at one of Respondent's Texas branch offices. This conduct was in violation of a provision of Respondent's Undertaking with the Securities Commissioner. 6. Pursuant to Section 14.A(11) of the Texas Securities Act, the Securities Commissioner may deny, revoke, or suspend a registration issued under the Texas Securities Act, or reprimand a person registered under the Texas Securities Act if the person has violated any provision of any undertaking or agreement with the Securities Commissioner. Failure to Establish, Maintain, and Enforce a Reasonable Supervisory System 7. From on or about April 28, 2003 to on or about October 22, 2003, Respondent's agents engaged in the sale of notes (the "Notes") to Texas investors on behalf of an entity named Ticker Marketing, Inc. (a/k/a DealUpdate.com or Ticker Technology)("Ticker") 8. The agents that sold the Notes worked at Respondent's branch office located in Carrollton, Texas (the "Branch"). 9. Respondent's written supervisory procedures effective during 2003 stated that "No product may be solicited or sold until the product has been accepted by the Due Diligence Officer and a signed selling agreement has been submitted by [Respondent] to the wholesaler." 1O. Respondent did not enforce this requirement because the agents of Respondent at the Branch began to sell the Notes before Respondent's Due Diligence Officer conducted any due diligence review of Ticker. 11. Respondent relied on the Branch Manager of the Branch to approve the sale of the Notes to Texas investors despite the fact that Respondent's written supervisory procedures effective during 2003 stated that "Registered Principals in branch offices DO NOT have the authority to approve products for sale to the public." (emphasis in original) 12. The Notes were not publicly-traded or otherwise registered securities; therefore, Respondent treated the offering of the Notes as a "private placement". Respondent's written supervisory procedures effective during 2003 did not require that Respondent's agents document the name of each potential investor contacted in connection with a private placement offering. Disciplinary Order/Fox & Company Investments, Inc.lPage 2

13. Section 115.10(b)(1) of the Rules and Regulations of the Texas State Securities Board (the "Board Rules") requires that each dealer shall establish, maintain, and enforce written procedures to supervise the activities of its agents that are reasonably designed to achieve compliance with the Texas Securities Act and Board Rules. 14. The Texas investors who purchased the Notes lost their entire investment, and collectively incurred a loss of at least two hundred forty two thousand dollars ($242,000). On or about December 31, 2004, the President of Respondent sent a memorandum to the investors in Ticker informing them that they should consider the entire investment to be a loss for tax purposes. CONCLUSIONS OF LAW 1. Pursuant to Section 14.A(11) of the Texas Securities Act, Respondent's violation of the terms of Respondent's Undertaking with the Securities Commissioner constitutes a basis for the suspension and revocation of Respondent' registration with the Securities Commissioner. 2. Respondent's failure to enforce its procedural requirement that a product can not be sold until it is first accepted by the Due Diligence Officer constitutes a failure to enforce a written supervisory procedure, and is a violation of 115.10(b)(1) of the Board Rules. 3. Respondent's reliance on the Branch Manager of the Branch to approve the Notes for sale to the public constitutes a failure to enforce a specific written prohibition in Respondent's written procedures, and is a violation of 115.1 O(b)( 1) of the Board Rules. 4. Respondent's failure to require that its agents document the name of each potential investor contacted in connection with a private placement offering constitutes a failure to establish written procedures reasonably designed to achieve compliance with the Texas Securities Act and Board Rules, and is a violation of 115.10(b)(1) of the Board Rules. 5. Respondent's violations of 115.1 0(b)(1) of the Board Rules are bases for the suspension and revocation of Respondent's registration with the Securities Commissioner pursuant to Section 14.A(6) of the Texas Securities Act. ORDER 1. It is therefore ORDERED that Fox & Company Investments, Inc. is hereby SUSPENDED from soliciting, accepting, or opening any new client accounts for a period of one hundred twenty (120) days from the date this Order is signed by the Securities Commissioner. Disciplinary Order/Fox & Company Investments, Inc.lPage 3

2. It is furthermore ORDERED that the dealer registration of Fox & Company Investments, Inc. shall be REVOKED on the first business day after a period of one hundred twenty (120) days from the date this Order is signed by the Securities Commissioner. SIGNED AND ENTERED BY THE SECURITIES COMMISSIONER this day of DENISE Securities Commissioner Disciplinary Order/Fox & Company Investments, Inc.lPage 4

Respondent: Fox & Company Investments, Inc. Wade, President Approved as to Form: Director Inspections and Compliance Division Ronak Attorney Inspections and Compliance Division Disciplinary Order/Fox & Company Investments, Inc.lPage 5

ACKNOWLEDGMENT,I" '/ On the day of, Investments, Inc. ("Respondent"), by and through Mory its personally appeared before me, executed the foregoing Order, and acknowledged that: 1. L. is duly authorized to enter into the foregoing Order on behalf of Respondent; 2. L. W. read the foregoing Order; 3. Respondent has been fully advised of its rights under the Texas Securities Act and the Administrative Procedure Act; 4. Respondent knowingly and voluntarily consents to the entry of the foregoing Order and the Findings of Fact and Conclusions of Law contained therein; and, 5. Respondent, by consenting to the entry of the foregoing Order, has knowingly and voluntarily waived its rights as set forth therein. [affix notary seal here] Notary Public in and for the State of My commission expires on: Disciplinary Order/Fox & Company Investments, Inc.lPage 6