Former SEC Enforcement Attorney · 9 Years, SEC Division of Enforcement
SECFederal court1998

SEC v. Jack Wesley Savage and Princeton Research

No. 98-7175-CIV-DIMITROULEAS (S.D. Fla. 1998)

Matter at a glance

Year
1998
Agency
U.S. Securities and Exchange Commission
Forum
Federal court
Mr. Lehrer's role
Principal litigator
Docket / file
No. 98-7175-CIV-DIMITROULEAS (S.D. Fla. 1998)

What the matter involved

Fraud and illegal touting by a stock newsletter writer.

The matter was brought by the U.S. Securities and Exchange Commission and heard as a federal court. Mr. Lehrer worked the file as a principal litigator, which meant building the record on the government's side — the documents, the testimony, and the theory of the violation — rather than responding to it.

  • Stock touting. Paid promotion of a stock has to be disclosed. Undisclosed compensation for touting is charged under Section 17(b) of the Securities Act.
  • Newsletter fraud. Investment newsletters lose their editorial protection when the writer is paid by the issuer and hides it.

Outcome and public record

This matter was resolved on the public record of the U.S. Securities and Exchange Commission under No. 98-7175-CIV-DIMITROULEAS (S.D. Fla. 1998). Out of respect for the individuals and entities named, this page does not restate penalties, bars, or sentences. The agency's own release for the matter is the authoritative record of its disposition.

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Past results in government enforcement matters do not predict or guarantee the result of any future matter. This page describes work performed on behalf of a government agency before Mr. Lehrer entered private practice in 2000.

Why this matters to issuers today

The staff still builds files the same way: start with the public document, test it against the company's own records, and interview the people who signed. Knowing how that record gets assembled is the reason issuers bring this experience in at the drafting stage — before a filing, an offering, or a promotion creates the paper trail a later investigation would follow.

Questions about a filing, an offering, or a promotion?

Talk directly to a former SEC enforcement attorney — no intake staff, no forms.

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