Business
Suspension of Trading
Suspension of Trading.

About this update from Go Solar Usa Inc
[{"type":"text","content":"UNITED STATES OF AMERICA Before the SECURITIES AND EXCHANGE COMMISSION SECURITIES EXCHANGE ACT OF 1934 Release No. 34-64612 / June 7, 2011 The Securities and Exchange Commission (“Commission”) announced the temporary suspension, pursuant to Section 12(k) of the Securities Exchange Act of 1934 (the “Exchange Act”), of trading in the securities of the following issuers, commencing at 9:30 a.m. EDT on June 7, 2011, and terminating at 11:59 p.m. EDT on June 20, 2011: • American Pacific Rim Commerce Group (APRM) • Anywhere MD, Inc. (ANWM) • Calypso Wireless, Inc. (CLYW) • Cascadia Investments, Inc. (CDIV) • CytoGenix, Inc. (CYGX) • Emerging Healthcare Solutions, Inc. (EHSO) • Evolution Solar Corporation (EVSOD) • Global Resource Corporation (GBRC) • Go Solar USA, Inc. (GSLO) • Kore Nutrition, Inc. (KORE) • Laidlaw Energy Group, Inc. (LLEG) • Mind Technologies, Inc. (MTEK) • Montvale Technologies, Inc. (IVVI) • MSGI Technology Solutions, Inc. (f/k/a MSGI Security Solutions, Inc.) (MSGI) • Prime Star Group, Inc. (PSGI) • Solar Park Initiatives, Inc. (SOPV) • United States Oil & Gas Corporation (USOG) The Commission temporarily suspended trading in the securities of the above-listed issuers because of questions regarding the adequacy and accuracy of information about the companies, including their assets, business operations, current financial condition and/or issuances of shares in company stock. The Commission cautions broker-dealers, shareholders, and prospective purchasers that they should carefully consider the foregoing information along with all other currently available information and any information subsequently issued by the companies. Further, brokers and dealers should be alert to the fact that, pursuant to Rule 15c2-11 under the Exchange Act, at the termination of the trading suspensions, no quotation may be entered unless and until they have strictly complied with all of the provisions of the rule. If any broker or dealer has any questions as to whether or not he has complied with the rule, he should not enter ...