SI
SI
discoversearch

We've detected that you're using an ad content blocking browser plug-in or feature. Ads provide a critical source of revenue to the continued operation of Silicon Investor.  We ask that you disable ad blocking while on Silicon Investor in the best interests of our community.  If you are not using an ad blocker but are still receiving this message, make sure your browser's tracking protection is set to the 'standard' level.
Strategies & Market Trends : Anthony@Pacific & TRUTHSEEKER Expose Crims & Scammers!!!

 Public ReplyPrvt ReplyMark as Last ReadFilePrevious 10Next 10PreviousNext  
To: ravenseye who wrote (387)2/27/2006 8:08:53 PM
From: StockDung  Read Replies (1) of 5673
 
BRENT BAKER IS ALSO OVERSTOCKS ATTORNEY. I TAUGHT HIM ALOT ABOUT USING SEARCH ENGINES AND HOW TO USE THEM TO TRACK DOWN CROOKS. THE OTHER SCAM HE TALKS ABOUT WAS NEW TEL BTW. IMAGINE THAT. CALLING IT A SCAM COMPANY WAS YET NO CHARGES AGAINST NEW TEL, THOMAS HEYSEK OR RAY DIRKS. IF HE WENT AFTER HEYSEK IT WOULD HAVE SAVED INVESTORS MILLIONS. YOU CAN READ ABOUT IT AT junkfax.org
====================================================

24 Q. Sir, let me ask you. Are you familiar with an

25 individual by the name of Floyd SCHNEIDER?

Anthony Frisolone, CRR
Official US District Court Reporter

BAKER - Direct/Burke

5751

1 A. I am.

2 Q. And who's Floyd SCHNEIDER?

3 A. Floyd SCHNEIDER is what I would call a tipster as

4 well. And, I know a little bit more about him just

5 because he has sent me some newspaper articles about

6 himself.

7 He is a mortgage broker in New Jersey.

8 Q. Okay. When did you meet him?

9 A. Some time in 2001.

10 Q. How did you meet him?

11 A. He was providing tips to someone in our office whose

12 name is also, ironically, Floyd and I believe that that

13 person referred me to one of Floyd's e-mails to me and

14 that's how I was initially introduced to Floyd.

15 Q. And, have you been dealing regularly with him since

16 that time?

17 A. Have I been dealing with him?

18 Q. Let me ask you a question --

19 MR. BREEN: Maybe he can answer the question.

20 Q. Go ahead.

21 A. I have to purge my inbox daily from Floyd e-mails.

22 Q. Floyd. Well, you're familiar with his name as

23 Truthseeker.

24 Correct?

25 A. I am now, yes.

Anthony Frisolone, CRR
Official US District Court Reporter

BAKER - Direct/Burke

5752

1 Q. When you talk about articles, you're talking about

2 there's been articles written about him in Business Week

3 and other places, correct?

4 A. Probably multiple articles, I don't recall them all.

5 Q. Did you understand that he is an investor or someone

6 who just investigates these companies?

7 MR. BREEN: Objection, hearsay.

8 THE COURT: Overruled.

9 A. I don't know one way or the other, but my impression

10 is that he is just an Internet sleuth, self-supposed

11 Internet sleuth.

12 Q. When you say "self-supposed" this was something

13 that's self-taught as far as you understand?

14 A. That's how much he represents himself.

15 Q. Now, he sends you e-mails daily, correct? Almost

16 daily.

17 A. Daily or almost daily, I have to clean out my inbox

18 every day. I can be, you know, he may miss a day here or

19 there.

20 Q. You don't tell him not to send you e-mails, do you?

21 A. I don't think so.

22 Q. And, am I right that he has given you tips that have

23 led to investigations?

24 A. Yes.

25 Q. Do you recall some of the investigations that he

Anthony Frisolone, CRR
Official US District Court Reporter

BAKER - Direct/Burke

5753

1 started by his e-mails to you?

2 MR. BREEN: I would object if it doesn't involve

3 investigations in this case.

4 THE COURT: Let's hear it.

5 Do you recall any?

6 THE WITNESS: I don't recall any. I have so

7 many investigations that come from so many different

8 sources I don't recall and Floyd is one of many tipsters

9 who e-mail me on a regular basis.

10 BY MR. BERKE:

11 (Continuing.)

12 Q. Right, but he has -- but he started, it's fair to

13 say, that he started a number of investigations based on

14 things that he discovered through his sleuthing?

15 A. I couldn't tell you that, I honestly don't know.

16 Q. Do you know about investigations he started?

17 A. Do I know about investigations that he started? No,

18 I don't know about any investigations that he started.

19 Q. You know about information that he gave you about

20 companies for which there was later an SEC investigation,

21 correct?

22 A. Not that I -- not investigations that I have.

23 Q. I understand other people at the SEC had?

24 A. No, sorry, no specific examples that I can recall.

25 Q. Let me ask you this. You find some of his e-mail to

Anthony Frisolone, CRR
Official US District Court Reporter

BAKER - Direct/Burke

5754

1 be valuable, correct, valuable information?

2 A. Floyd, yes, has provided me with some good research

3 tools. He first told me about Google before it was

4 popular. That kind of thing.

5 Q. Did he help to you search the Internet to look for

6 specific information on individuals who may be committing

7 frauds as not otherwise obvious?

8 A. It seems like he spends most of his time doing that.

9 Q. Did he teach you of some of those tools?

10 A. He has given me a few tools, yes.

11 Q. Would it be accurate to say that you have been having

12 contact with him for four to five years?

13 A. Boy, again, to the best of my recollection, it would

14 have been around 2001, some time in 2001.

15 Q. I don't know if you recall when you were interviewed

16 previously describing it as four to five years?

17 MR. BREEN: Objection, form.

18 THE COURT: Overruled.

19 A. I may have said four or five years.

20 Q. Are you sure of the exact date that you started

21 dealing with him?

22 A. I'm not sure. Seems like forever.

23 Q. He said he is a very passionate about sleuthing for

24 scam companies, correct?

25 A. Yes, he is very passionate about that.

Anthony Frisolone, CRR
Official US District Court Reporter

BAKER - Direct/Burke

5755

1 Q. Seems as if he is on a mission to try to identify

2 companies that are committing frauds?

3 A. I think he would like to hear that about himself,

4 yes.

5 Q. Have you ever doubted his sincerity?

6 A. I have to doubt the sincerity of everybody who

7 provides me information, that's my job.

8 Q. Have you ever had reason to doubt his sincerity,

9 specifically?

10 A. Apart from the laws that I'm bound by, no specific

11 reason.

12 Q. And your personal experience just as a person dealing

13 with him, am I right, that he does seem to be genuinely

14 passionate; he's looking to uncover frauds in companies?

15 A. That's my personal experience.

16 THE COURT: Let's move there along.

17 Q. Have you met him before?

18 A. Yes, I have met him on one occasion.

19 Q. What was that occasion?

20 A. It was something completely unrelated to the facts of

21 this case. It was another scam.

22 Q. Could you describe those circumstances?

23 MR. BREEN: Objection, 403.

24 THE COURT: Folks, we have to take a very short

25 break. I'm sorry to interrupt. I don't think it will be

Anthony Frisolone, CRR
Official US District Court Reporter
Report TOU ViolationShare This Post
 Public ReplyPrvt ReplyMark as Last ReadFilePrevious 10Next 10PreviousNext