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  • Report:  #1125982

Complaint Review: Leland National Gold Exchange - Beverly Hills California

Reported By:
Anonymous - Any City, Alabama,
Submitted:
Updated:

Leland National Gold Exchange
261 S. Robertson Boulevard, Suite 200 Beverly Hills, 90211 California, USA
Web:
www.lelandgold.com; www.lelandenergy.com; asceginc.com
Categories:
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The following tells the story of how these guys and their admin person (K. Palandri) conducts business:  STATE OF CALIFORNIA BUSINESS, TRANSPORTATION AND HOUSING AGENCY DEPARTMENT OF CORPORATIONS TO: Douglas Mears, President Stephen Thompson, Managing Director and Founder Paul Lewakowski, Sales Manager Leland National Gold Exchange, Inc. 11812 San Vicente Blvd., Suite 125 Los Angeles, CA 90049 and 261 S. Robertson Blvd., Suite 200 Beverly Hills, CA 90211 and www.lelandgold.com DESIST AND REFRAIN ORDER (For violations of section 29536 of the Corporations Code)

The California Corporations Commissioner finds that: 1. Leland National Gold Exchange, Inc. (“Leland”) was incorporated under the laws of Nevada on March 18, 2009. At all relevant times, it maintained a principal place of business at 11812 San Vicente Blvd., Suite 125, Los Angeles, CA 90049, or 261 S. Robertson Blvd., Suite 200, Beverly Hills, CA 90211. It maintains a website at www.lelandgold.com.

) was the president and a control person of Leland.

3. At all relevant times, Stephen Thompson (“Thompson”) was a managing director, founder, and control person of Leland.

4. At all relevant times, Paul Lewakowski (“Lewakowski”) was a sales manager of Leland. -1- DESIST AND REFRAIN ORDER

5. Beginning in 2009 or earlier, Leland, Mears, Thompson, and Lewakowski offered and sold commodities and commodity contracts for the purchase of precious metals, including but not limited to gold, silver, platinum, and palladium bullion and coins.

6. Leland, Mears, Thompson, and Lewakowski offered and sold these commodities and commodity contracts to residents of California and elsewhere.

7. Leland, Mears, Thompson, and Lewakowski offered and sold commodity contracts that would put the customer in a “leveraged position,” meaning the customer’s total purchase would be two to four times the amount of the customer’s cash investment.

8. In connection with the offer and sale of these commodities and commodity contracts, Leland, Mears, Thompson, and Lewakowski willfully misinformed customers regarding the amount of commission that Leland and its representatives would be receiving. Leland, Mears, Thompson, and Lewakowski falsely told customers that they would be charged a commission based on a percentage of the amount of the customer’s cash investment. Leland, Mears, Thompson, and Lewakowski omitted to tell customers that they would actually be charged a commission based on a percentage of the leveraged amount.

9. In connection with the offer and sale of these commodities and commodity contracts, Leland, Mears, Thompson, and Lewakowski willfully told customers that there was almost no risk of losing their principal investment. In fact, these commodities and commodity contracts carry a high degree of risk of loss.

10. In connection with the offer and sale of these commodities, and commodity contracts, Lewakowki omitted to tell customers that he had been convicted of a felony, misapplication of contractor funds, in 2010 in the state of Louisiana.

11. Leland, Mears, Thompson, and Lewakowski each performed the above acts either directly or through their agents. Based on the foregoing findings, the California Corporations Commissioner is of the opinion that Leland National Gold Exchange, Inc.; Douglas Mears; Stephen Thompson; and Paul Lewakowki have, directly or indirectly, in connection with the purchase or sale of, the offer to sell, the offer to -2- DESIST AND REFRAIN ORDER purchase, the offer to enter into, or the entry into, a commodity or commodity contract, willfully made untrue statements of material fact, or omitted to state a material fact necessary in order to make the statements made, in the light of the circumstances under which they were made, not misleading. Pursuant to Section 29542 of the Corporations Code, Leland National Gold Exchange, Inc.; Douglas Mears; Stephen Thompson; and Paul Lewakowki are hereby ordered to desist and refrain, in connection with the offer and sale of commodities and commodity options, from willfully making any untrue statement of a material fact, or omitting to state a material fact necessary in order to make the statements made, in the light of the circumstances under which they were made, not misleading.

This Order is necessary, in the public interest, for the protection of investors and consistent with the purposes, policies, and provisions of the California Commodity Law of 1990. Dated: August 28, 2012 Sacramento, California JAN LYNN OWEN California Corporations Commissioner By: MARY ANN SMITH Deputy Commissioner Enforcement Division



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