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SK3 Group Inc. SKTO
Posted On: 03/26/2014 5:32:23 PM
Post# of 36729
Posted By: bellsandwhistles
Re: Agent 0001 #29338
That might be a tall order even for a slippery character like R.H. The SEC order was based on an offer submitted to the SEC by R.H. and accepted by the SEC. It doesn't seem to allow any loopholes.

"In connection with these proceedings, Respondent Hipple has submitted an Offer of Settlement (the “Offer”) which the Commission has determined to accept."

E.  The Division of Enforcement ("Division") may, at any time following the entry of  this Order, petition the Commission to: (1) reopen this matter to consider whether Respondent  provided accurate and complete financial information at the time such representations were
made; and (2) seek an order directing payment of the maximum civil penalty allowable under the  law.  No other issue shall be considered in connection with this petition other than whether the financial information provided by Respondent was fraudulent, misleading, inaccurate, or
incomplete in any material respect.

Respondent may not, by way of defense to any such petition: (1) contest the findings in this Order; (2) assert that payment of a penalty should not be ordered;  (3) contest the imposition of the maximum penalty allowable under the law; or (4) assert any defense to liability or remedy, including, but not limited to, any statute of limitations defense; and

F. Any reapplication for association by the Respondent will be subject to the  applicable laws and regulations governing the reentry process, and reentry may be conditioned  upon a number of factors, including, but not limited to, the satisfaction of any or all of the  following:  (a) any disgorgement ordered against the Respondent, whether or not the  Commission has fully or partially waived payment of such disgorgement; (b) any arbitration  award related to the conduct that served as the basis for the Commission order; (c) any self-regulatory organization arbitration award to a customer, whether or not related to the conduct  that served as the basis for the Commission order; and (d) any restitution order by a self-regulatory organization, whether or not related to the conduct that served as the basis for the Commission order.














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