IN THE CIRCUIT COURT OF THE SECOND JUDICIAL CIRCUIT IN AND FOR LEON COUNTY, FLORIDA COMPLAINT

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IN THE CIRCUIT COURT OF THE SECOND JUDICIAL CIRCUIT IN AND FOR LEON COUNTY, FLORIDA STATE OF FLORIDA, OFFICE OF THE ATTORNEY GENERAL, Plaintiff, v. Case No. FLORIDA CORPORATE FILING SERVICES, LLC and MICHAEL JACOBS. Defendants. / COMPLAINT Plaintiff STATE OF FLORIDA, OFFICE OF THE ATTORNEY GENERAL, ("the Attorney General") sues Defendants FLORIDA CORPORATE FILING SERVICES, LLC and MICHAEL JACOBS, and alleges: 1. This is an action for civil penalties, restitution on behalf of consumers, injunctive relief, attorney's fees and costs and other relief pursuant to the Florida Deceptive and Unfair Trade Practices Act, Chapter 501, Part II, Florida Statutes (2013), and Florida's Misleading Solicitations statute, Section 817.061, Florida Statutes (2013). PARTIES AND JURISDICTION 2. The Attorney General is an enforcing authority of the Florida Deceptive and Unfair Trade Practices Act. 3. The Attorney General has determined that an enforcement action serves the public interest as required by Section 501.207(2). 4. This Court has jurisdiction pursuant to Section 501.207(3).

5. FLORIDA CORPORATE FILING SERVICES, LLC is a limited liability company located at 5810 N. Monroe Street, Suite 210A, Tallahassee, FL 32303. 6. MICHAEL JACOBS is the owner and operator of FLORIDA CORPORATE FILING SERVICES, LLC and resides at 8101 Biscayne Blvd., Apt. 612, Miami, FL 33138. 7. The injurious actions of the Defendants affect consumers in judicial circuits throughout Florida, including the Second Judicial Circuit. The Defendants Course of Conduct 8. MICHAEL JACOBS owns and operates FLORIDA CORPORATE FILING SERVICES, LLC, which sends solicitations, disguised as official-looking documents, to the newly approved Florida corporations and limited liability companies (LLCs) posted to the Florida Division of Corporations website each day. 9. The Division of Corporations, which is part of the Florida Department of State, is authorized by statute to grant corporate or LLC status to businesses. Each day on its publicly available website, the Division posts the names and contact information of hundreds of newly approved Florida corporations and LLCs. 10. The Defendants use this information to send official-looking documents to these new Florida businesses, soliciting payments for "Certificates of Status." The Defendants solicitations give new Florida businesses the impression that they originate from the state of Florida, and that the Division of Corporations requires the recipients to send payments to complete the process of becoming a corporation or LLC. In actuality, certificates of status are entirely optional decorative pieces of paper which have no bearing on a corporation or LLC s official status. 2

11. The Defendants charge recipients of the mailings $47.99 for these certificates of status, which are sold by the Division of Corporations at the much lower prices of $8.45 for a corporation and $5.00 for a LLC. 12. Numerous corporations and LLCs have responded to the solicitations by sending funds to the Defendants. The corporations and LLCs who paid the Defendants received certificates of status that were purchased by a Miles Austin, using a pre-paid credit card. The Attorney General has been unable to locate anyone by that name and it is highly likely that Miles Austin is merely a fictitious name used by Defendant JACOBS. As of December 9, 2014, Miles Austin had purchased 19,401 certificates of status from the Division of Corporations. Since Defendants charge recipients $47.99 for certificates of status, this equals $931,053.99 in revenue that the Defendants have taken as the result of the deceptive solicitations. 13. As part of the Attorney General s investigation into the Defendants activities, Financial Investigator Stephen Roberts, posed as a corporation and registered with the Florida Division of Corporations. The following week, Investigator Roberts received a solicitation from Defendant, FLORIDA CORPORATE FILING SERVICES, LLC, requesting that check, credit card, or money order payments be sent to a private post office box located at: 5810 N. Monroe St., Suite 210A, Tallahassee, FL 32302, with checks made payable to FLORIDA CORPORATE FILING SERVICES. Investigator Roberts sent payment to the address listed on the solicitation and received confirmation that the check was cashed. Several weeks later Investigator Roberts received a certificate of status that was paid for by Miles Austin. 3

14. The Defendants deceptive scheme is ongoing as of the filing date of this Complaint. Each day, the Attorney General receives complaints from new Florida businesses who have received solicitations from the Defendants. Recipients of the Defendants mailings send money because the mailings lead them to believe that certificates of status are required and that the mailings come from a government entity. Defendants Deceptive Mailings 15. Defendants mailings are deceptive on their face and employ a variety of devices to give recipients the impression that the documents are official and that certificates of status are necessary. These devices include but are not limited to: (a) (b) a star-studded seal depicting a map of Florida, the official numbers that were given to the recipients of the mailings by the Division of Corporations when they applied for corporate status, (c) a document number giving the impression that the solicitation is an official government document, (d) the words "2014 CERTIFICATE OF STATUS REQUEST FORM" stamped on the upper right corner of the document, (e) (f) the format of a "FORM," official-sounding language such as "IMPORTANT! FOLLOW INSTRUCTIONS EXACTLY WHEN COMPLETING THIS FORM. PLEASE PRINT," (g) failure to disclose clearly and conspicuously that the documents are merely solicitations as required by Section 817.061, Florida Statutes. 4

16. Recipients of the Defendants mailings send money because the mailings lead them to believe that certificates of status are required and that the mailings come from a government entity. COUNT ONE FLORIDA DECEPTIVE AND UNFAIR TRADE PRACTICES ACT CHAPTER 501, PART II, FLORIDA STATUTES 17. The Attorney General re-alleges Paragraphs 1 to 21. 18. Section 501.204(1) of the Florida Unfair and Deceptive Trade Practices Act, Chapter 501, Part II, states that "unfair or deceptive acts or practices in the conduct of any trade or commerce are herby declared unlawful." 19. Any entity that willfully engages in a deceptive or unfair act or practice is liable for a civil penalty of $10,000 for each such violation; willful violations occur when the entity knew or should have known that the conduct in question was deceptive or unfair or prohibited by rule. Fla. Stat. 501.2075. 20. At all times material hereto, Defendants FLORIDA CORPORATE FILING SERVICES, LLC and MICHAEL JACOBS, have engaged in "trade or commerce" as defined by Section 501.203(8), Florida Statutes. 21. Defendant MICHAEL JACOBS directs or controls, or has the authority to direct or control, the deceptive and unfair acts or practices engaged in by FLORIDA CORPORATE FILING SERVICES, LLC. 22. Defendants FLORIDA CORPORATE FILING SERVICES, LLC and MICHAEL JACOBS, know or should know that their conduct was deceptive and unfair. 5

23. Defendants FLORIDA CORPORATE FILING SERVICES, LLC and MICHAEL JACOBS, engaged in deceptive, unfair and unconscionable acts that include but are not limited to creating, preparing, mailing and seeking payment in connection with documents that appear to be official documents. 24. Defendants FLORIDA CORPORATE FILING SERVICES, LLC and MICHAEL JACOBS, engaged in deceptive, unfair and unconscionable acts that include but are not limited to representing to businesses and seeking payment in connection with representations that the businesses need to obtain additional documents in order to achieve legal corporate status. COUNT TWO MISLEADING SOLICITATIONS STATUTE, SECTION 817.061, FLORIDA STATUTES 25. The Attorney General re-alleges Paragraphs 1 to 15. 26. The Misleading Solicitations Statute, Section 817.061, states: It is unlawful for any person, company, corporation, agency, association, partnership, institution, or charitable entity to solicit payment of money by another by means of a statement or invoice, or any writing that would reasonably be interpreted as a statement or invoice, for goods not yet ordered or for services not yet performed and not yet ordered, unless there appears on the face of the statement or invoice or writing in 30-point boldfaced type the following warning: "This is a solicitation for the order of goods or services, and you are under no obligation to make payment unless you 6

accept the offer contained herein." Fla. Stat. 817.061(1) (emphasis and 30-point boldface type supplied). 27. At all times material hereto, Defendant MICHAEL JACOBS directed or controlled, or had the authority to direct or control, the acts or practices engaged in by FLORIDA CORPORATE FILING SERVICES, LLC. 28. Defendants FLORIDA CORPORATE FILING SERVICES, LLC and MICHAEL JACOBS violated the Misleading Solicitations Statute, Section 817.061, Florida Statutes, by failing to include the statutorily required 30-point boldface warning in their solicitations for goods or services not yet ordered. PRAYER FOR RELIEF WHEREFORE, Plaintiff, State of Florida, Department of Legal Affairs, Office of the Attorney General respectfully requests that this Court: (a) Temporarily and permanently enjoin Defendants FLORIDA CORPORATE FILING SERVICES, LLC and MICHAEL JACOBS, from violating the Florida Unfair and Deceptive Trade Practices Act, Chapter 501, Part II, Florida Statutes, and the Misleading Solicitations Statute, Section 817.061, Florida Statutes; (b) Order Defendants FLORIDA CORPORATE FILING SERVICES, LLC and MICHAEL JACOBS, to fully reimburse every consumer who paid them money in response to their deceptive, unfair, unconscionable and unlawful business practices; 7

(c) Order Defendants FLORIDA CORPORATE FILING SERVICES, LLC and MICHAEL JACOBS to pay civil penalties pursuant to Sections 501.2075 and 501.2077, Florida Statutes; (d) Award the Attorney General reasonable attorney's fees and costs pursuant to Section 501.207(6); and (e) Grant such other relief as this Court deems just and proper. Dated: March 4, 2015 Respectfully submitted, PAMELA JO BONDI ATTORNEY GENERAL /s/ Sean T. Garvey Sean T. Garvey, Esq. FBN# 0094652 Assistant Attorney General Consumer Protection Division Office of the Attorney General The Capital, PL-01 Tallahassee, Florida 32399-1050 Phone: (850) 414-3300 Fax: (850) 488-4483 sean.garvey@myfloridalegal.com oag.ec.tlh@myfloridalegal.com 8