[Date Prev][Date Next][Thread Prev][Thread Next][Date Index][Thread Index]

Re: Experience with Trend Reflection?



PureBytes Links

Trading Reference Links

: Anybody care to share experience with Trend Reflection.

http://www.cftc.gov/opa/enf01/opa4544-01.htm

Release 4544-01 (CFTC Docket 01-16)
For Release July 12, 2001

COLORADO MAN SUED FOR FAILING TO TELL CUSTOMERS HIS COMMODITY TRADING SYSTEM
WAS BASED ON HYPOTHETICAL TRADES

Gramalegui Made False Claims that his Mother Profitably Traded with his
System

WASHINGTON - The Commodity Futures Trading Commission (CFTC) announced today
that it filed and settled an action on July 12, 2001, against Vail, Colorado
resident Gregory L. Gramalegui for failing to disclose that the so-called
trading results presented in his advertisements were based on hypothetical,
rather than actual, trading.

As part of the settlement, the CFTC issued an order finding that Gramalegui,
who was doing business as S&P Safe Co., repeatedly used a false
advertisement in marketing his commodity trading system called the Trend
Reflection Trading System.

Specifically, the CFTC order finds that from July 1998 to June 1999,
Gramalegui, through advertisements in futures industry magazines, made false
claims that his mother traded the Trend System, and implied that she had
personally traded profitably. However, as the order notes, his mother did
not personally trade with the system. The order clarified that Gramalegui
made commodity trades in an account in his mother's name, and contrary to
the claims made by Gramalegui, the account had net losses. Gramalegui's
solicitations of the Trend System operated as a fraud or deceit upon
customers, in violation of the Commodity Exchange Act (CEA).

The CFTC order further finds that Gramalegui failed to disclose the fact
that the Trend System's ostensible record of trading results - a record that
he published in magazine advertisements and on his Internet web site -- was
based on hypothetical trading, rather than actual buying and selling. CFTC
regulations require that hypothetical trading results, and the inherent
limitations of hypothetical trading, must be labeled as such in any public
statement that notes results.

Gramalegui, without admitting or denying the factual or legal findings of
the order, consents to its entry. The order requires, among other things,
that Gramalegui comply with undertakings, which include abstention from
making unsubstantiated claims of profits or risk in connection with the use
of a commodity trading system.
Copies of the CFTC order are available at http://www.cftc.gov/

Case Contact
Susan Bovee
Associate Director, CFTC Division of Enforcement
202-418-5409