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        <title><![CDATA[FINRA Enforcement Actions 2014 - Russell L. Forkey]]></title>
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        <link>https://www.forkeylaw.com/blog/categories/finra-enforcement-actions-2014/</link>
        <description><![CDATA[Russell L. Forkey's Website]]></description>
        <lastBuildDate>Fri, 08 Nov 2024 17:36:57 GMT</lastBuildDate>
        
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                <title><![CDATA[Shawn Peter Bishop – Stockbroker and Account Executive Theft Fort Lauderdale, Florida FINRA Arbitration Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/shawn_peter_bishop_-_stockbroker_and_account_executive_theft_fort_lauderdale_florida_finra_arbitrati/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/shawn_peter_bishop_-_stockbroker_and_account_executive_theft_fort_lauderdale_florida_finra_arbitrati/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Thu, 01 Jan 2015 23:34:29 GMT</pubDate>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[Theft]]></category>
                
                
                
                
                <description><![CDATA[<p>Shawn Peter Bishop – Stockbroker and Account Executive Theft Fort Lauderdale, Florida FINRA Arbitration Attorney: The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to&hellip;</p>
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                <content:encoded><![CDATA[

<h2 class="wp-block-heading">Shawn Peter Bishop – Stockbroker and Account Executive Theft Fort Lauderdale, Florida FINRA Arbitration Attorney:</h2>


<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>


<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>


<p><strong>December 2014 Disciplinary and Other FINRA Actions</strong></p>


<p><strong>Broker Check: </strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noopener noreferrer" target="_blank"><strong><strong><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></strong></strong></a></p>


<p><strong>Shawn Peter Bishop </strong>(CRD #6262968, Crown Point, Indiana) submitted an AWC in which he was barred from association with any FINRA member in any capacity. Without admitting or denying the findings, Bishop consented to the sanction and to the entry of findings that he converted funds totaling $2,000 from his teller drawer at his member firm’s affiliate bank and used the funds for his personal benefit. The findings stated that Bishop returned some of the funds to his teller drawer without the bank’s detection. Bishop did not have permission or authority from the bank to use the teller drawer funds for his personal benefit. (FINRA Case #2014042331701)</p>


<p>Contact Us:</p>


<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>


<p>At the Boca Raton Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>


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            <item>
                <title><![CDATA[Ricky Eugene Bell – Boca Raton, Florida Unapproved Private Security and Unauthorized Loan Transaction FINRA Arbitration Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/ricky_eugene_bell_-_boca_raton_florida_unapproved_private_security_and_unauthorized_loan_transaction/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/ricky_eugene_bell_-_boca_raton_florida_unapproved_private_security_and_unauthorized_loan_transaction/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Thu, 01 Jan 2015 23:19:37 GMT</pubDate>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[Private Securities Transactions]]></category>
                
                    <category><![CDATA[Unauthorized Loan]]></category>
                
                
                
                
                <description><![CDATA[<p>Ricky Eugene Bell – Boca Raton, Florida Unapproved Private Security and Unauthorized Loan Transaction FINRA Arbitration Attorney: The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA&hellip;</p>
]]></description>
                <content:encoded><![CDATA[

<h2 class="wp-block-heading">Ricky Eugene Bell – Boca Raton, Florida Unapproved Private Security and Unauthorized Loan Transaction FINRA Arbitration Attorney:</h2>


<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>


<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>


<p><strong>December 2014 Disciplinary and Other FINRA Actions</strong></p>


<p><strong>Broker Check: </strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noopener noreferrer" target="_blank"><strong><strong><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></strong></strong></a></p>


<p><strong>Ricky Eugene Bell</strong> (CRD #2065556, Fayetteville, North Carolina) was barred from association with any FINRA member in any capacity and ordered to pay a total of $19,650, plus interest, in restitution to customers. The sanctions were based on findings that Bell engaged in private securities transactions through a lending program without providing notice to, or receiving approval from, his member firm. The findings stated that Bell solicited and received personal loans totaling $19,650 from customers without requesting or receiving his firm’s approval to solicit or receive the loans. The firm notified Bell of its policies and procedures against borrowing from customers. The findings also stated that Bell failed to respond to FINRA requests for information and documents and to provide on-the-record testimony. (FINRA Case #2013039439301).</p>


<p>Contact Us:</p>


<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>


<p>At the Boca Raton Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>


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                <title><![CDATA[Matthew King Absher – Boca Raton, Florida Unapproved Outside Business Activity FINRA Arbitration Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/matthew_king_absher_-_boca_raton_florida_unapproved_outside_business_activity_finra_arbitration_atto/</link>
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                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Thu, 01 Jan 2015 23:06:44 GMT</pubDate>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[Unapproved Outside Business Activity]]></category>
                
                
                
                
                <description><![CDATA[<p>Matthew King Absher – Boca Raton, Florida Unapproved Outside Business Activity FINRA Arbitration Attorney: The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute&hellip;</p>
]]></description>
                <content:encoded><![CDATA[

<h2 class="wp-block-heading">Matthew King Absher – Boca Raton, Florida Unapproved Outside Business Activity FINRA Arbitration Attorney:</h2>


<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>


<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>


<p><strong>December 2014 Disciplinary and Other FINRA Actions</strong></p>


<p><strong>Broker Check: </strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noopener noreferrer" target="_blank"><strong><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></strong></a></p>


<p><strong>Matthew King Absher </strong>(CRD #5668975, Austin, Texas) submitted an AWC in which he was assessed a deferred fine of $5,000 and suspended from association with any FINRA member in any capacity for 60 days. Without admitting or denying the findings, Absher consented to the sanctions and to the entry of findings that he engaged in an outside business activity by serving as a director of an inactive, but registered company he incorporated for daytrading without providing written notice to his member firm. The findings stated that Absher inaccurately answered firm questionnaires about that outside business activity.</p>


<p>Additionally, Absher engaged in an outside business activity by serving as president of a company that provided containers for construction sites without providing written notice to his firm. (FINRA Case #2013038446701).</p>


<p>Contact Us:</p>


<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>


<p>At the Boca Raton Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>


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                <title><![CDATA[Bradley Thomas Badger – Boca Raton, Florida Account Executive Unapproved Outside Business Activity FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/bradley_thomas_badger_-_boca_raton_florida_account_executive_unapproved_outside_business_activity_fi/</link>
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                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Sun, 05 Oct 2014 14:45:49 GMT</pubDate>
                
                    <category><![CDATA[Breach of Fiduciary Duty]]></category>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[Commercial and Business Dispute Litigation]]></category>
                
                    <category><![CDATA[FINRA]]></category>
                
                    <category><![CDATA[FINRA Arbitration]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[FINRA Enforcement Defense]]></category>
                
                    <category><![CDATA[Unapproved Outside Business Activity]]></category>
                
                
                
                
                <description><![CDATA[<p>Bradley Thomas Badger – Boca Raton, Florida Account Executive Unapproved Outside Business Activity FINRA Arbitration and Litigation Attorney The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that&hellip;</p>
]]></description>
                <content:encoded><![CDATA[

<p><strong><strong>Bradley Thomas Badger – Boca Raton, Florida Account Executive Unapproved Outside Business Activity FINRA Arbitration and Litigation Attorney</strong></strong></p>


<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>


<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>


<p><strong>September 2014 Disciplinary and Other FINRA Actions</strong></p>


<p><strong>Broker Check: </strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noopener noreferrer" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>


<p><strong>Bradley Thomas Badger (CRD #5665584, Pleasanton, California) </strong>submitted a Letter of Acceptance, Waiver and Consent in which he was assessed a deferred fine of $10,000 and suspended from association with any FINRA member in any capacity for 30 business days. Without admitting or denying the findings, Badger consented to the sanctions and to the entry of findings that he failed to provide prior written notice of his involvement in an outside business activity to his member firm.  (<strong>FINRA Case #2012034456903</strong>).</p>


<p>Contact Us:</p>


<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>


<p>At the Boca Raton Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>


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                <title><![CDATA[Luciano Andres Battioli – Boca Raton, Florida Account Executive Conversion and Theft FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/bruce_a_lefavi_securities_inc_and_bruce_anthony_lefavi_-_boca_raton_florida_false_andor_misleading_a/</link>
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                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Sun, 05 Oct 2014 13:37:44 GMT</pubDate>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[Commercial and Business Dispute Litigation]]></category>
                
                    <category><![CDATA[Elder Abuse]]></category>
                
                    <category><![CDATA[False and Misleading Sales Material]]></category>
                
                    <category><![CDATA[Federal Litigation]]></category>
                
                    <category><![CDATA[FINRA]]></category>
                
                    <category><![CDATA[FINRA Arbitration]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[FINRA Enforcement Defense]]></category>
                
                    <category><![CDATA[News of Interest to Seniors]]></category>
                
                    <category><![CDATA[Social Media Fraud]]></category>
                
                
                
                
                <description><![CDATA[<p>Luciano Andres Battioli – Boca Raton, Florida Account Executive Conversion and Theft FINRA Arbitration and Litigation Attorney The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA&hellip;</p>
]]></description>
                <content:encoded><![CDATA[
<p><strong>Luciano Andres Battioli – Boca Raton, Florida Account Executive Conversion and Theft FINRA Arbitration and Litigation Attorney</strong></p>



<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>



<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>



<p><strong>September 2014 Disciplinary and Other FINRA Actions</strong></p>



<p><strong>Broker Check:&nbsp;</strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noreferrer noopener" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>



<p><strong>Luciano Andres Battioli (CRD #6229734, Huntington Beach, California) s</strong>ubmitted a Letter of Acceptance, Waiver and Consent in which he was barred from association with any FINRA member in any capacity. Without admitting or denying the findings, Battioli consented to the sanction and to the entry of findings that he converted funds belonging to customers of his member firm’s affiliate bank, and forged and falsified bank documents. (<strong>FINRA Case #2013039521501</strong>)</p>



<p>Contact Us:</p>



<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>



<p>At the Boca Raton Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>



<p></p>
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                <title><![CDATA[CP Capital Securities, Inc. – Hollywood, Florida Improper Markup Corporate Bond FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/cp_capital_securities_inc_-_hollywood_florida_improper_markup_corporate_bond_finra_arbitration_and_l/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/cp_capital_securities_inc_-_hollywood_florida_improper_markup_corporate_bond_finra_arbitration_and_l/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Sun, 03 Aug 2014 01:43:44 GMT</pubDate>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[Commercial and Business Dispute Litigation]]></category>
                
                    <category><![CDATA[Elder Abuse]]></category>
                
                    <category><![CDATA[Federal Litigation]]></category>
                
                    <category><![CDATA[FINRA Arbitration]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[Fraud and Misrepresentation]]></category>
                
                    <category><![CDATA[News of Interest to Seniors]]></category>
                
                    <category><![CDATA[Securities and Securities Fraud]]></category>
                
                    <category><![CDATA[Securities Litigation]]></category>
                
                    <category><![CDATA[State Litigation]]></category>
                
                
                
                
                <description><![CDATA[<p>Hollywood, Dania, Fort Lauderdale, Pompano Beach and Deerfield Beach, Florida Improper Markup Corporate Bond FINRA Arbitration and Litigation Attorney: The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event&hellip;</p>
]]></description>
                <content:encoded><![CDATA[

<h2 class="wp-block-heading">Hollywood, Dania, Fort Lauderdale, Pompano Beach and Deerfield Beach, Florida Improper Markup Corporate Bond FINRA Arbitration and Litigation Attorney:</h2>


<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>


<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>


<p><strong>July 2014 Disciplinary and Other FINRA Actions</strong></p>


<p><strong>Broker Check: </strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noopener noreferrer" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>


<p><strong>CP Capital Securities, Inc. </strong>submitted a Letter of Acceptance, Waiver and Consent in which the firm was censured, fined $5,000 and ordered to pay $1,676.92, plus interest, in restitution to customers.  Without admitting or denying the findings, the firm consented to the sanctions and to the entry of findings that it bought corporate bonds from customers and failed to buy such bonds at a price that was fiar, taking into consideration all relevant circumstances, including market conditions with respect to each bond at the time of the transaction, the expense involved and that the firm was entitled to a profit.  To see a full copy of the release relative to this matter, please follow the above highlighted link. FINRA Case No. 2013035996801.</p>


<p><strong>Contact Us:</strong></p>


<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>


<p>At the Fort Lauderdale Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>


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                <title><![CDATA[Capital Path Securities, LLC and William John Davis – South Florida AML Red Flag FINRA Enforcement Defense Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/capital_path_securities_llc_and_william_john_davis_-_south_florida_aml_red_flag_finra_enforcement_de/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/capital_path_securities_llc_and_william_john_davis_-_south_florida_aml_red_flag_finra_enforcement_de/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Sun, 03 Aug 2014 00:54:08 GMT</pubDate>
                
                    <category><![CDATA[AML Violations]]></category>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[FINRA Enforcement Defense]]></category>
                
                
                
                
                <description><![CDATA[<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action&hellip;</p>
]]></description>
                <content:encoded><![CDATA[
<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>



<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>



<p><strong>July 2014 Disciplinary and Other FINRA Actions</strong></p>



<p><strong>Broker Check:&nbsp;</strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noreferrer noopener" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>



<p><strong>Capital Path Securities, LLC and William John Davis&nbsp;</strong>submitted an Offer of Settlement in which the firm was censured and fined $175,000 of which $25,000 is joint and several with Davis. Davis was suspended from association with any FINRA member in any principal capacity for three months. Without admitting or denying the allegations, the firm and Davis consented to the sanctions and to the entry of findings that it, acting through Davis, its AML compliance officer and president, demonstrated an ongoing pattern of noncompliance with AML rules. The findings stated that the firm and Davis failed to enforce its written AML program to ensure compliance with the Bank Secrecy Act. Davis failed to identify multiple transactions in customer accounts, which triggered many of the “red flags” identified in the firm’s AML procedures. Among other things, these customers maintained multiple accounts, had securities-related disciplinary histories, engaged in suspicious penny stock trades and conducted qustionable third-party wire activity. To see a full copy of the release relative to this matter, please follow the above highlighted link. FINRA Case No. 2011025869201.</p>



<p><strong>Contact Us:</strong></p>



<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>



<p>At the Fort Lauderdale Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>
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            <item>
                <title><![CDATA[Gilford Securities Incorporated – South Florida False or Negligently Prepared Research Reports FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/gilford_securities_incorporated_-_south_florida_false_or_negligently_prepared_research_reports_finra/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/gilford_securities_incorporated_-_south_florida_false_or_negligently_prepared_research_reports_finra/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Sun, 29 Jun 2014 12:16:06 GMT</pubDate>
                
                    <category><![CDATA[Breach of Fiduciary Duty]]></category>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[Commercial and Business Dispute Litigation]]></category>
                
                    <category><![CDATA[Elder Abuse]]></category>
                
                    <category><![CDATA[False and Misleading Sales Material]]></category>
                
                    <category><![CDATA[Federal Litigation]]></category>
                
                    <category><![CDATA[FINRA Arbitration]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[General Investment News]]></category>
                
                    <category><![CDATA[News of Interest to Seniors]]></category>
                
                    <category><![CDATA[Other Types of Fraudulent Activity]]></category>
                
                    <category><![CDATA[Securities and Securities Fraud]]></category>
                
                    <category><![CDATA[Securities Litigation]]></category>
                
                
                
                
                <description><![CDATA[<p>Miami, Hollywood, Fort Lauderdale and Boca Raton, Florida False and Misleading Research Report FINRA Arbitration and Litigation Attorney: The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that&hellip;</p>
]]></description>
                <content:encoded><![CDATA[
<p><strong>Miami, Hollywood, Fort Lauderdale and Boca Raton, Florida False and Misleading Research Report FINRA Arbitration and Litigation Attorney:</strong></p>



<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>



<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>



<p><strong>June 2014 Disciplinary and Other FINRA Actions</strong></p>



<p><strong>Broker Check:&nbsp;</strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noreferrer noopener" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>



<p><strong>Gilford Securities Incorporated (New York, New York)&nbsp;</strong>submitted a letter of Acceptance, Waiver and Consent in which the firm was censured and fined $125,000. Without admitting or denying the findings, the firm consented to the sanctions and to the entry of findings that it published research reports that failed to disclose that that research analyst received compensation consisting of commissions on transactions by the analyst’s customers in the securities the securities the analyst covered. The findings stated that the front page of the firm’s research reports purported to refer to the page of the report on which the disclosures were found. However, the front page references to disclosures were deficient. The firm authorized a research analyst to post research related information and recommendations from firm research reports on his blog without including either disclosures required by NASD Rule 2711(h) or links to the research reports containing the disclosures. (Case # 2012030416501). To review a copy of the full release, please follow the above highlighted link.</p>



<p><strong>Contact Us:</strong></p>



<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>



<p>At the Fort Lauderdale Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>
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            <item>
                <title><![CDATA[Dawson James Securities, Inc. – Boca Raton, Florida Broker/Dealer Sales Practice Violations FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/dawson_james_securities_inc_-_boca_raton_florida_brokerdealer_sales_practice_violations_finra_arbitr/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/dawson_james_securities_inc_-_boca_raton_florida_brokerdealer_sales_practice_violations_finra_arbitr/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Fri, 27 Jun 2014 00:51:37 GMT</pubDate>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[Churning]]></category>
                
                    <category><![CDATA[Commercial and Business Dispute Litigation]]></category>
                
                    <category><![CDATA[Elder Abuse]]></category>
                
                    <category><![CDATA[Federal Litigation]]></category>
                
                    <category><![CDATA[FINRA Arbitration]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[Negligent Supervision]]></category>
                
                    <category><![CDATA[News of Interest to Seniors]]></category>
                
                    <category><![CDATA[Sales of Unregistered Securities]]></category>
                
                    <category><![CDATA[Securities and Securities Fraud]]></category>
                
                    <category><![CDATA[Securities Litigation]]></category>
                
                    <category><![CDATA[Selling Away]]></category>
                
                    <category><![CDATA[State Litigation]]></category>
                
                    <category><![CDATA[Unapproved Outside Business Activity]]></category>
                
                    <category><![CDATA[Unauthorized Loan]]></category>
                
                    <category><![CDATA[Unauthorized Trading]]></category>
                
                    <category><![CDATA[Unregistered Securities]]></category>
                
                    <category><![CDATA[Unsuitable Investment Recommendations]]></category>
                
                
                
                
                <description><![CDATA[<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action&hellip;</p>
]]></description>
                <content:encoded><![CDATA[
<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>



<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>



<p><strong>June 2014 Disciplinary and Other FINRA Actions</strong></p>



<p><strong>Broker Check:&nbsp;</strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noreferrer noopener" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>



<p><strong>Dawson James Securities, Inc. (Boca Raton, Florida)&nbsp;</strong>submitted a Letter of Acceptance, Waiver and Consent in which the firm was censured, fined $75,000, and required to revise its WSPs. Without admitting or denying the findings, the firm consented to the sanctions and to the entry of findings that the firm’s WSPs failed to provide for one or more of the four minimum requirements for adequate WSPs in several subject areas, including registered representatives’ disclosure of potential conflicts of interests to clients; registered representatives’ trading in the opposite direction of solicited customer transactions, sales practice concerns, including unauthorized trading, suitability, excessive trading and free-riding; concentration of securities in clients’ accounts, sharing of profits or losses in clients’ accounts, wash sales, coordinated trading, marking the open and marking the close; cancel-rebill transactions in clients’ accounts and the review of registered representatives’ electronic communications. (Case # 2008012546802). To review the full release, please follow the above highlighted link.</p>



<p><strong>Contact Us:</strong></p>



<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>



<p>At the Fort Lauderdale Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>
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                <title><![CDATA[Carolina Financial Securities, LLC – South Florida Private Placement Fraud and Mismanagement FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/carolina_financial_securities_llc_-_south_florida_private_placement_fraud_and_mismanagement_finra_ar/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/carolina_financial_securities_llc_-_south_florida_private_placement_fraud_and_mismanagement_finra_ar/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Wed, 25 Jun 2014 01:21:55 GMT</pubDate>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[Commercial and Business Dispute Litigation]]></category>
                
                    <category><![CDATA[Elder Abuse]]></category>
                
                    <category><![CDATA[Federal Litigation]]></category>
                
                    <category><![CDATA[FINRA Arbitration]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[Fraud and Misrepresentation]]></category>
                
                    <category><![CDATA[Private Placements / Direct Investments]]></category>
                
                    <category><![CDATA[Private Securities Transactions]]></category>
                
                    <category><![CDATA[Sales of Unregistered Securities]]></category>
                
                    <category><![CDATA[Securities and Securities Fraud]]></category>
                
                    <category><![CDATA[Securities Litigation]]></category>
                
                    <category><![CDATA[State Litigation]]></category>
                
                
                
                
                <description><![CDATA[<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action&hellip;</p>
]]></description>
                <content:encoded><![CDATA[
<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>



<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>



<p><strong>June 2014 Disciplinary and Other FINRA Actions</strong></p>



<p><strong>Broker Check:&nbsp;</strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noreferrer noopener" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>



<p><strong>Carolina Financial Securities, LLC (Brevard, North Carolina)&nbsp;</strong>submitted a Letter of Acceptance Waiver and Consent in which the firm was censured and fined $50,000. Without admitting or denying the findings, the firm consented to the sanctions and to the entry of findings that is sold a private placement offering that was unregistered pursuant to the exemption provided with Rule 506 of Regulation D to the investors for a total investment of approximately $1.1 million. The findings stated that the firm had procedures in place for the supervision of the sale of private placements, but failed to follow its own procedures for the review and verification of statements made in offering documents. (Case # 2011025755101). To review the full release, please follow the highlighted link.</p>



<p><strong>Contact Us:</strong></p>



<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>



<p>At the Fort Lauderdale Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>
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                <title><![CDATA[World Trade Financial Corporation – Fort Lauderdale, Florida Section 5 and Unregistered Sale of Securities FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/world_trade_financial_corporation_-_fort_lauderdale_florida_section_5_and_unregistered_sale_of_secur/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/world_trade_financial_corporation_-_fort_lauderdale_florida_section_5_and_unregistered_sale_of_secur/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Wed, 25 Jun 2014 01:07:31 GMT</pubDate>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[Commercial and Business Dispute Litigation]]></category>
                
                    <category><![CDATA[Elder Abuse]]></category>
                
                    <category><![CDATA[Federal Litigation]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[Fraud and Misrepresentation]]></category>
                
                    <category><![CDATA[Penny Stock Fraud]]></category>
                
                    <category><![CDATA[Securities and Securities Fraud]]></category>
                
                    <category><![CDATA[Securities Litigation]]></category>
                
                    <category><![CDATA[State Litigation]]></category>
                
                    <category><![CDATA[Unregistered Securities]]></category>
                
                
                
                
                <description><![CDATA[<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action&hellip;</p>
]]></description>
                <content:encoded><![CDATA[
<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>



<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>



<p><strong>June 2014 Disciplinary and Other FINRA Actions</strong></p>



<p><strong>Broker Check:&nbsp;</strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noreferrer noopener" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>



<p><strong>World Trade Financial Corporation (San Diego, California), Jason Troy Adams (La Mesa, California), Frank Edward Brickell (Encinitas, California) and Rodney Preston Michel (San Diego, California).</strong>&nbsp;The firm was fined a total of $45,000 and is prohibited from receiving and selling unregistered securities until it obtains an independent consultant to review its procedures. Adams was fined $20,000 and suspended from association with any FINRA member in any principal capacity for 30 business days. Brickell was fined $15,000 and suspended from association with any FINRA member in any capacity for 30 business days. Michel was fined $30,000 and suspended from association with any FINRA member in any principal capacity for 45 days.</p>



<p>The sanctions were based on findings that the firm and Brickell sold unregistered shares of an entity’s security using interstate means, without a registration statement in effect or filed with the SEC. The findings stated that the firm sold 2.3 million shares of a thinly traded penny stock on behalf of customers who held accounts with the firm. (Case # 2005000075703). To review the full release, please follow the above highlighted link.</p>



<p><strong>Contact Us:</strong></p>



<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>



<p>At the Fort Lauderdale Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>
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                <title><![CDATA[HLM Securities and Terrance Hennessy – Boca Raton, Florida Unapproved Outside Business Activity and Negligent Supervision FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/hlm_securities_and_terrance_hennessy_-_boca_raton_florida_unapproved_outside_business_activity_and_n/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/hlm_securities_and_terrance_hennessy_-_boca_raton_florida_unapproved_outside_business_activity_and_n/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Wed, 25 Jun 2014 00:52:54 GMT</pubDate>
                
                    <category><![CDATA[Breach of Fiduciary Duty]]></category>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[Commercial and Business Dispute Litigation]]></category>
                
                    <category><![CDATA[Elder Abuse]]></category>
                
                    <category><![CDATA[Federal Litigation]]></category>
                
                    <category><![CDATA[FINRA Arbitration]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[Investor Alerts]]></category>
                
                    <category><![CDATA[Negligent Supervision]]></category>
                
                    <category><![CDATA[News of Interest to Seniors]]></category>
                
                    <category><![CDATA[Securities Litigation]]></category>
                
                    <category><![CDATA[Selling Away]]></category>
                
                    <category><![CDATA[Unapproved Outside Business Activity]]></category>
                
                
                
                
                <description><![CDATA[<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action&hellip;</p>
]]></description>
                <content:encoded><![CDATA[
<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>



<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>



<p><strong>June 2014 Disciplinary and Other FINRA Actions</strong></p>



<p><strong>Broker Check:&nbsp;</strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noreferrer noopener" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>



<p><strong>HLM Securities, Inc.&nbsp;</strong>(Chicago, Illinois) and Terrance Richard Hennessy (Valparaiso, Indiana) submitted a Letter of Acceptance, Waiver and Consent in which the firm was fined $100,000 of which $10,000 is joint and several with Hennessy. Hennessy was assessed a deferred fine of $50,000, which includes the $10,000 joint and several fine, and suspended from association with any FINRA member in any capacity for 18 months. Without admitting or denying the findings, the firm and Hennessy consented to the sanctions and to the entry of findings that although the firm was aware, Hennessy failed to provide written notice to the firm prior to or even subsequent to, his participation in the purchase of membership interests in limited-liability companies, as required by the firm’s written supervisory procedures. The findings stated that Hennessy’s failure to provide written notice of his participation in the private securities transactions, as well as the firm’s failure to include those transactions in its books and records, deprived FINRA of its ability to oversee Hennessy’s and the firm’s securities activities, since the firm did not have any record of those activities. (Case #2012034822601). To review the full release, please follow the above highlighted link.</p>



<p><strong>Contact Us:</strong></p>



<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>



<p>At the Fort Lauderdale Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>
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                <title><![CDATA[Daniel Kim – South Florida Broker/Dealer and Investment Advisor Selling Away and Unapproved Outside Business Activity FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/daniel_kim_-_south_florida_brokerdealer_and_investment_advisor_selling_away_and_unapproved_outside_b/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/daniel_kim_-_south_florida_brokerdealer_and_investment_advisor_selling_away_and_unapproved_outside_b/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Sun, 30 Mar 2014 12:50:48 GMT</pubDate>
                
                    <category><![CDATA[Federal Litigation]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[Fraud and Misrepresentation]]></category>
                
                    <category><![CDATA[General Investment News]]></category>
                
                    <category><![CDATA[Negligent Supervision]]></category>
                
                    <category><![CDATA[News of Interest to Seniors]]></category>
                
                    <category><![CDATA[Selling Away]]></category>
                
                    <category><![CDATA[Unapproved Outside Business Activity]]></category>
                
                
                
                
                <description><![CDATA[<p>South Florida Broker/Dealer and Account Executive Elder, Senior and Retirement Financial Abuse and Exploitation, Negligent Supervision, Breach of Fiduciary and Unapproved Outside Business Activity (Selling Away) FINRA Arbitration, Litigation and Probate Attorney: The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate&hellip;</p>
]]></description>
                <content:encoded><![CDATA[

<p><strong>South Florida Broker/Dealer and Account Executive Elder, Senior and Retirement Financial Abuse and Exploitation, Negligent Supervision, Breach of Fiduciary and Unapproved Outside Business Activity (Selling Away) FINRA Arbitration, Litigation and Probate Attorney:</strong></p>


<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>


<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>


<p><strong>January 2014 Disciplinary and Other FINRA Actions</strong></p>


<p><strong>Broker Check: </strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noopener noreferrer" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>


<p><strong>Daniel Kim </strong>(CRD #5372539, Registered Representative, New York, New York) submitted a Letter of Acceptance, Wavier and Consent in which he was fined $5,000 and suspended from association with any FINRA member in any capacity for one month.  The fine must be paid either immediately upon Kim’s reassociation with a FINRA member firm following his suspension, or prior to the filing of any application or request for relief from any statutory disqualification, whichever is earlier.  Without admitting or denying the findings, Kim consented to the described sanctions and to the entry of findings that he engaged in an outside business activity without providing prior written notice of such activity to his firm.  <strong>FINRA Case No. 2011030219601.</strong><strong> </strong>To review the entire FINRA release relative to this matter, please follow one of the above referenced links.</p>


<p><strong>Contact Us:</strong></p>


<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>


<p>At the Fort Lauderdale Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>


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                <title><![CDATA[Hugh Robert Hunsinger, Jr. – South Florida Broker/Dealer and Account Executive Elder Financial Abuse and Exploitation, Theft, Breach of Fiduciary Duty and Negligent Supervision FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/hugh_robert_hunsinger_jr_-_south_florida_brokerdealer_and_account_executive_elder_financial_abuse_an/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/hugh_robert_hunsinger_jr_-_south_florida_brokerdealer_and_account_executive_elder_financial_abuse_an/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Sun, 30 Mar 2014 12:15:39 GMT</pubDate>
                
                    <category><![CDATA[Breach of Fiduciary Duty]]></category>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[Commercial and Business Dispute Litigation]]></category>
                
                    <category><![CDATA[Elder Abuse]]></category>
                
                    <category><![CDATA[Federal Litigation]]></category>
                
                    <category><![CDATA[FINRA]]></category>
                
                    <category><![CDATA[FINRA Arbitration]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[Fraud and Misrepresentation]]></category>
                
                    <category><![CDATA[News of Interest to Seniors]]></category>
                
                    <category><![CDATA[State Litigation]]></category>
                
                    <category><![CDATA[Theft]]></category>
                
                
                
                
                <description><![CDATA[<p>South Florida Broker/Dealer and Account Executive Elder, Senior and Retirement Financial Abuse and Exploitation, Negligent Supervision, Breach of Fiduciary and Theft FINRA Arbitration, Litigation and Probate Attorney: The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and&hellip;</p>
]]></description>
                <content:encoded><![CDATA[

<p><strong>South Florida Broker/Dealer and Account Executive Elder, Senior and Retirement Financial Abuse and Exploitation, Negligent Supervision, Breach of Fiduciary and Theft FINRA Arbitration, Litigation and Probate Attorney:</strong></p>


<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>


<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>


<p><strong>January 2014 Disciplinary and Other FINRA Actions</strong></p>


<p><strong>Broker Check: </strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noopener noreferrer" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>


<p><strong>Hugh Robert Hunsinger, Jr. </strong>(CRD #2179745, Registered Representative, Pinebrook, New Jersey) was barred from association with any FINRA member in any capacity and order to pay $1,452,503.57, plus interest, in restitution to customers.  The sanctions were based on findings that Hunsinger converted funds from the brokerage accounts of customers, his parents.  The findings stated that in total, Hunsinger transferred $1,452,503.57 from his parents’ accounts to bank accounts in his name.  Neither of his parents had an account at the banks he transferred the money to, and neither authorized the transfer of funds from their brokerage accounts to Hunsinger or to accounts at the bank.  <strong>FINRA Case No. 2011030045101.  </strong>To review the entire FINRA release relative to this matter, please follow one of the above referenced links.</p>


<p><strong>Contact Us:</strong></p>


<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>


<p>At the Fort Lauderdale Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>


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            <item>
                <title><![CDATA[Harry Shaw Hammond – South Florida Selling Away and Unapproved Outside Business Activity FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/harry_shaw_hammond_-_south_florida_selling_away_and_unapproved_outside_business_activity_finra_arbit/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/harry_shaw_hammond_-_south_florida_selling_away_and_unapproved_outside_business_activity_finra_arbit/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Sun, 30 Mar 2014 12:01:51 GMT</pubDate>
                
                    <category><![CDATA[Breach of Fiduciary Duty]]></category>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[Commercial and Business Dispute Litigation]]></category>
                
                    <category><![CDATA[Federal Litigation]]></category>
                
                    <category><![CDATA[FINRA]]></category>
                
                    <category><![CDATA[FINRA Arbitration]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[Fraud and Misrepresentation]]></category>
                
                    <category><![CDATA[Negligent Supervision]]></category>
                
                    <category><![CDATA[News of Interest to Seniors]]></category>
                
                    <category><![CDATA[Sales of Unregistered Securities]]></category>
                
                    <category><![CDATA[Securities and Securities Fraud]]></category>
                
                    <category><![CDATA[Securities Litigation]]></category>
                
                    <category><![CDATA[Selling Away]]></category>
                
                    <category><![CDATA[State Litigation]]></category>
                
                    <category><![CDATA[Unapproved Outside Business Activity]]></category>
                
                    <category><![CDATA[Unsuitable Investment Recommendations]]></category>
                
                
                
                
                <description><![CDATA[<p>South Florida Broker/Dealer Negligent Supervision, Breach of Fiduciary, Selling Away and Unapproved Outside Business Activity FINRA Arbitration and Litigation Attorney: The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the&hellip;</p>
]]></description>
                <content:encoded><![CDATA[
<p><strong>South Florida Broker/Dealer Negligent Supervision, Breach of Fiduciary, Selling Away and Unapproved Outside Business Activity FINRA Arbitration and Litigation Attorney:</strong></p>



<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>



<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>



<p><strong>January 2014 Disciplinary and Other FINRA Actions</strong></p>



<p><strong>Broker Check:&nbsp;</strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noreferrer noopener" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>



<p><strong>Harry Shaw Hammond&nbsp;</strong>(CRD #2261856, Registered Principal, Sarasota, Florida) submitted a Letter of Acceptance, Wavier and Consent in which he was fined $10,000 and suspended from associations with any FINRA member in capacity for 12 months. The fine must be paid either immediately upon Hammond’s reassociation with a FINRA member firm following his suspension, or prior to the filing of any application or request for relief from any statutory disqualification, whichever is earlier. Without admitting or denying the findings, Hammond consented to the described sanctions and to the entry of findings that he participated in private securities transactions without his member firm’s approval by referring individuals and entities to invest with private investment company that purportedly specialized in private investment in public equity (PIPE) transactions.&nbsp;<strong>FINRA Case No. 2013035961601.&nbsp;</strong>To review the entire FINRA release relative to this matter, please follow one of the above referenced links.</p>



<p><strong>Contact Us:</strong></p>



<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>



<p>At the Fort Lauderdale Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>
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                <title><![CDATA[Keith Andrew Halsnik – Florida Excessive Activity (Churning), Breach of Fiduciary Duty and Negligent Supervision FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/keith_andrew_halsnik_-_florida_excessive_activity_churning_breach_of_fiduciary_duty_and_negligent_su/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/keith_andrew_halsnik_-_florida_excessive_activity_churning_breach_of_fiduciary_duty_and_negligent_su/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Sun, 30 Mar 2014 00:12:29 GMT</pubDate>
                
                    <category><![CDATA[Breach of Fiduciary Duty]]></category>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[Churning]]></category>
                
                    <category><![CDATA[Commercial and Business Dispute Litigation]]></category>
                
                    <category><![CDATA[Elder Abuse]]></category>
                
                    <category><![CDATA[Federal Litigation]]></category>
                
                    <category><![CDATA[FINRA]]></category>
                
                    <category><![CDATA[FINRA Arbitration]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[Fraud and Misrepresentation]]></category>
                
                    <category><![CDATA[Securities and Securities Fraud]]></category>
                
                    <category><![CDATA[Securities Litigation]]></category>
                
                    <category><![CDATA[Unsuitable Investment Recommendations]]></category>
                
                
                
                
                <description><![CDATA[<p>Florida Securities Excessive Activity (Churning), Breach of Fiduciary Duty and Negligent Supervision FINRA Arbitration and Litigation Attorney: The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA&hellip;</p>
]]></description>
                <content:encoded><![CDATA[
<p><strong>Florida Securities Excessive Activity (Churning), Breach of Fiduciary Duty and Negligent Supervision FINRA Arbitration and Litigation Attorney:</strong></p>



<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>



<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>



<p><strong>January 2014 Disciplinary and Other FINRA Actions</strong></p>



<p><strong>Broker Check:&nbsp;</strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noreferrer noopener" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>



<p><strong>Keith Andrew Halsnik&nbsp;</strong>(CRD #5018189, Registered Representative, Bellefonte, Pennsylvania) was barred from association with any FINRA member in any capacity. The sanction was based on findings that Halsnik failed to timely and fully respond to FINRA’s initial requests for information and documents as part of an inquiry to determine, among other things, whether Halsnik engaged in excessive trading in customer accounts. The findings stated that it was not until FINRA sent Halsnik a notice of suspension pursuant to FINRA Rule 9552 that he responded. The findings also stated that Halsnik failed to respond to additional FINRA requests for information and documents regarding mutual fund transactions in customer accounts. The findings also included that Halsnik failed to respond to a FINRA request for testimony.&nbsp;<strong>FINRA Case No. 2011029300801</strong></p>



<p><strong>Contact Us:</strong></p>



<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>



<p>At the Fort Lauderdale Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>
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                <title><![CDATA[Alejandra Gandara – Florida Unapproved Outside Business Activity and Account Executive Negligent Supervision FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/alejandra_gandara_-_florida_unapproved_outside_business_activity_and_account_executive_negligent_sup/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/alejandra_gandara_-_florida_unapproved_outside_business_activity_and_account_executive_negligent_sup/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Sat, 29 Mar 2014 23:56:34 GMT</pubDate>
                
                    <category><![CDATA[Breach of Fiduciary Duty]]></category>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[Commercial and Business Dispute Litigation]]></category>
                
                    <category><![CDATA[Elder Abuse]]></category>
                
                    <category><![CDATA[FINRA]]></category>
                
                    <category><![CDATA[FINRA Arbitration]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[General Investment News]]></category>
                
                    <category><![CDATA[Negligent Supervision]]></category>
                
                    <category><![CDATA[News of Interest to Seniors]]></category>
                
                    <category><![CDATA[Selling Away]]></category>
                
                    <category><![CDATA[Unapproved Outside Business Activity]]></category>
                
                
                
                
                <description><![CDATA[<p>South Florida Broker/Dealer Negligent Supervision, Breach of Fiduciary and Unapproved Outside Business Activity FINRA Arbitration and Litigation Attorney: The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that&hellip;</p>
]]></description>
                <content:encoded><![CDATA[
<p><strong>South Florida Broker/Dealer Negligent Supervision, Breach of Fiduciary and Unapproved Outside Business Activity FINRA Arbitration and Litigation Attorney:</strong></p>



<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>



<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>



<p><strong>January 2014 Disciplinary and Other FINRA Actions</strong></p>



<p><strong>Broker Check:&nbsp;</strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noreferrer noopener" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>



<p><strong>Alejandra Gandara (CRD #2828142,</strong>&nbsp;Registered Representative, El Paso, Texas) submitted a Letter of Acceptance, Wavier and Consent in which she was barred from association with any FINRA member in any capacity. Without admitting or denying the findings, Gandara consented to the described sanction and to the entry of findings that she informed FINRA that she would not appear to testify at an on-th-record interview concerning her possible undisclosed outside business activities while registered with a member firm, among other possible activities.<strong>&nbsp;FINRA Case No. 2012031460901</strong></p>



<p><strong>Contact Us:</strong></p>



<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>



<p>At the Fort Lauderdale Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>
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                <title><![CDATA[Randall Lee Freeze – South Florida Broker/Dealer Negligent Supervision, Breach of Fiduciary and Forgery FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/randall_lee_freeze_-_south_florida_brokerdealer_negligent_supervision_breach_of_fiduciary_and_forger/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/randall_lee_freeze_-_south_florida_brokerdealer_negligent_supervision_breach_of_fiduciary_and_forger/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Sat, 29 Mar 2014 23:39:30 GMT</pubDate>
                
                    <category><![CDATA[Breach of Fiduciary Duty]]></category>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[Commercial and Business Dispute Litigation]]></category>
                
                    <category><![CDATA[Elder Abuse]]></category>
                
                    <category><![CDATA[FINRA]]></category>
                
                    <category><![CDATA[FINRA Arbitration]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[Forgery]]></category>
                
                    <category><![CDATA[Fraud and Misrepresentation]]></category>
                
                    <category><![CDATA[News of Interest to Seniors]]></category>
                
                    <category><![CDATA[Unsuitable Investment Recommendations]]></category>
                
                
                
                
                <description><![CDATA[<p>South Florida Broker/Dealer Negligent Supervision, Breach of Fiduciary and Forgery FINRA Arbitration and Litigation Attorney: The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to&hellip;</p>
]]></description>
                <content:encoded><![CDATA[
<p><strong>South Florida Broker/Dealer Negligent Supervision, Breach of Fiduciary and Forgery FINRA Arbitration and Litigation Attorney:</strong></p>



<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>



<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>



<p><strong>January 2014 Disciplinary and Other FINRA Actions</strong></p>



<p><strong>Broker Check:&nbsp;</strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noreferrer noopener" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>



<p><strong>Randall Lee Freeze (CRD #3018277,&nbsp;</strong>Registered Representative, Aransas Pass, Texas) submitted a Letter of Acceptance, Wavier and Consent in which he was fined $10,000 and suspended from association with any FINRA member in capacity for six months. The fine must be paid either immediately upon Freeze’s reassociation with a FINRA member firm following his suspension, or prior to the filing of any application or request for relief from any statutory disqualification, whichever is earlier. Without admitting or denying the findings, Freeze consented to the described sanctions and to the entry of findings that he forged customers’ signatures on books and records suitability update (BRSU) forms, without the customers’ knowledge, authorization or consent, and submitted to them to his firm. FINRA Case No. 2012033798101. Tor review the entire FINRA release relative to this matter, please follow one of the above referenced links.</p>



<p><strong>Contact Us:</strong></p>



<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>



<p>At the Fort Lauderdale Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>
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                <title><![CDATA[Lunick Jean Dorleus – Florida Securities Investment Club and Unapproved Outside Business Activity FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/lunick_jean_dorleus_-_florida_securities_investment_club_and_unapproved_outside_business_activity_fi/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/lunick_jean_dorleus_-_florida_securities_investment_club_and_unapproved_outside_business_activity_fi/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Wed, 05 Mar 2014 01:07:14 GMT</pubDate>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[Commercial and Business Dispute Litigation]]></category>
                
                    <category><![CDATA[Elder Abuse]]></category>
                
                    <category><![CDATA[FINRA Arbitration]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[Fraud and Misrepresentation]]></category>
                
                    <category><![CDATA[General Investment News]]></category>
                
                    <category><![CDATA[News of Interest to Seniors]]></category>
                
                    <category><![CDATA[Private Securities Transactions]]></category>
                
                    <category><![CDATA[Promissory Notes]]></category>
                
                    <category><![CDATA[Securities and Securities Fraud]]></category>
                
                    <category><![CDATA[Securities Litigation]]></category>
                
                    <category><![CDATA[Selling Away]]></category>
                
                    <category><![CDATA[State Litigation]]></category>
                
                    <category><![CDATA[Unapproved Outside Business Activity]]></category>
                
                
                
                
                <description><![CDATA[<p>South Florida Broker/Dealer and Account Executive Investment Club and Unapproved Outside Business and Negligent Supervision FINRA Arbitration, Litigation and Probate Estate Attorney. The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives.&hellip;</p>
]]></description>
                <content:encoded><![CDATA[
<p><strong>South Florida Broker/Dealer and Account Executive Investment Club and Unapproved Outside Business and Negligent Supervision FINRA Arbitration, Litigation and Probate Estate Attorney.</strong></p>



<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>



<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>



<p><strong>January 2014 Disciplinary and Other FINRA Actions</strong></p>



<p><strong>Broker Check:&nbsp;</strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noreferrer noopener" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>



<p><strong>Lunick Jean Dorleus</strong>&nbsp;(CRD #5436401, Registered Representative, Greenacres, Florida) submitted a Letter of Acceptance, Wavier and Consent in which he was suspended from association with any FINRA member in any capacity for nine months. In light of Dorleus’ financial status, no monetary sanction has been imposed. Without admitting or denying the findings, Dorleus consented to the described sanction and to the entry of findings that, at the behest of an individual, Dorleus and other individuals formed an investment club whereby investors’ funds would be collected, forwarded to the individual or entities the individual controlled, and ultimately used by the individual for unspecified securities investments. The findings stated that Dorleus participated in private securities transactions of investors.&nbsp;<strong>FINRA Case No. 2011029760701.</strong>&nbsp;To review the entire FINRA release relative to this matter, please follow one of the above referenced links.</p>



<p><strong>Contact Us:</strong></p>



<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>



<p>At the Fort Lauderdale Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>
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            <item>
                <title><![CDATA[Michael Andrew DeRosa – Florida Unregistered and Selling Away Promissory Note FINRA Arbitration and Litigation Attorney]]></title>
                <link>https://www.forkeylaw.com/blog/michael_andrew_derosa_-_florida_unregistered_and_selling_away_promissory_note_finra_arbitration_and/</link>
                <guid isPermaLink="true">https://www.forkeylaw.com/blog/michael_andrew_derosa_-_florida_unregistered_and_selling_away_promissory_note_finra_arbitration_and/</guid>
                <dc:creator><![CDATA[Russell L. Forkey]]></dc:creator>
                <pubDate>Wed, 05 Mar 2014 00:50:05 GMT</pubDate>
                
                    <category><![CDATA[Broker/Dealer]]></category>
                
                    <category><![CDATA[Commercial and Business Dispute Litigation]]></category>
                
                    <category><![CDATA[Elder Abuse]]></category>
                
                    <category><![CDATA[Federal Litigation]]></category>
                
                    <category><![CDATA[FINRA Arbitration]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions]]></category>
                
                    <category><![CDATA[FINRA Enforcement Actions 2014]]></category>
                
                    <category><![CDATA[Private Securities Transactions]]></category>
                
                    <category><![CDATA[Securities and Securities Fraud]]></category>
                
                    <category><![CDATA[Securities Litigation]]></category>
                
                    <category><![CDATA[Selling Away]]></category>
                
                    <category><![CDATA[Unapproved Outside Business Activity]]></category>
                
                
                
                
                <description><![CDATA[<p>South Florida Broker/Dealer and Account Executive Selling Away and Unregistered Promissory Note and Negligent Supervision FINRA Arbitration, Litigation and Probate Estate Attorney. The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives.&hellip;</p>
]]></description>
                <content:encoded><![CDATA[
<p><strong>South Florida Broker/Dealer and Account Executive Selling Away and Unregistered Promissory Note and Negligent Supervision FINRA Arbitration, Litigation and Probate Estate Attorney.</strong></p>



<p>The Financial Industry Regulatory Authority, Inc. (FINRA) is a self-regulatory authority assigned the responsibility, by the Securities and Exchange Commission, to license, regulate and discipline securities broker/dealers and their employees, including account executives. In the event that FINRA elects to institute an enforcement action, firms and licensed individuals have the responsibility to reflect such action on their U-4 and/or U-5 filings, which can be viewed on the FINRA website under the broker-check section of the site or by viewing the monthly disciplinary information also provided on the FINRA site.</p>



<p>The monthly disciplinary information is referenced on the FINRA site generally in alphabetical order. This post relates to the following company or individuals. If the reader would like to review the entire FINRA release or the broker-check information concerning this matter, you can follow these highlighted links:</p>



<p><strong>January 2014 Disciplinary and Other FINRA Actions</strong></p>



<p><strong>Broker Check:&nbsp;</strong><a href="http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/" rel="noreferrer noopener" target="_blank"><strong>http://www.finra.org/Investors/ToolsCalculators/BrokerCheck/</strong></a></p>



<p><strong>Michael Andrew DeRosa&nbsp;</strong>(CRD #2491296, Registered Representative, Bethesda, Maryland) submitted a Letter of Acceptance, Wavier and Consent in which he was barred from association with any FINRA member in any capacity. Without admitting or denying the findings, DeRosa consented to the described sanction and to the entry of findings that he failed to appear and provide testimony regarding his involvement, if any, in a company’s offer and sale of promissory notes. The findings stated that DeRosa, through counsel, informed FINRA that he would not appear and provide on-the-record testimony.<strong>&nbsp;FINRA Case No. 2013035683401</strong></p>



<p><strong>Contact Us:</strong></p>



<p>With extensive courtroom, arbitration and mediation experience and an in-depth understanding of elder abuse, exploitation and securities law, our firm provides all of our clients with the personal service they deserve. Handling cases worth $25,000 or more, we represent clients throughout Florida and across the United States, as well as for foreign individuals that invested in U.S. banks or brokerage firms. Contact us to arrange your free initial consultation.</p>



<p>At the Fort Lauderdale Law Office of Russell L. Forkey, we represent clients throughout South and Central Florida, including Fort Lauderdale, West Palm Beach, Boca Raton, Sunrise, Plantation, Coral Springs, Deerfield Beach, Pompano Beach, Delray, Boynton Beach, Hollywood, Lake Worth, Royal Palm Beach, Manalapan, Jupiter, Gulf Stream, Wellington, Fort Pierce, Stuart, Palm City, Jupiter, Miami, Orlando, Maitland, Winter Park, Altamonte Springs, Lake Mary, Heathrow, Melbourne, Palm Bay, Cocoa Beach, Vero Beach, Daytona Beach, Deland, New Smyrna Beach, Ormand Beach, Broward County, Palm Beach County, Dade County, Orange County, Seminole County, Martin County, Brevard County, Indian River County, Volusia County and Monroe County, Florida. The law office of Russell L. Forkey also represents South American, Canadian and other foreign residents that do business with U.S. financial institutions, investment advisors, brokerage and precious metal firms.</p>
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