NCLA Calls on 11th Cir. to Vacate District Court’s Judgment in Case SEC Never Should Have Brought

U.S. Securities and Exchange Commission v. Spartan Securities Group, LTD., et al.

Washington, D.C., Jan. 17, 2023 (GLOBE NEWSWIRE) -- The New Civil Liberties Alliance filed an opening brief today on behalf of its clients in U.S. Securities and Exchange Commission v. Spartan Securities Group, LTD., et al. in the U.S. Court of Appeals for the Eleventh Circuit. NCLA contends that the district court committed multiple legal errors and abused its discretion throughout this litigation to the detriment of Appellants Micah Eldred, Carl Dilley, Spartan Securities Group, Island Capital Management, and their legal, procedural, and constitutional rights.

On February 20, 2019, the Securities and Exchange Commission (SEC) brought 14 counts against Appellants, alleging their participation in two schemes to aid and abet the creation of fake publicly traded companies and subsequent issuance of stock between December 2009 and August 2014. After a 12-day trial in July 2021, the jury returned a verdict in favor of Appellants on 13 of the 14 counts charged. The sole remaining count in favor of SEC—that Appellants made materially misleading statements or omissions in connection with the purchase of the issuers’ securities—led the court to award various monetary and equitable remedies, including disgorgement.

However, the district court erred, because Appellants did not make any material misrepresentations or materially misleading omissions in connection with the sale of securities. The alleged statements were made, if at all, to a regulator in a nonpublic process, so they could not have been material to investors who never saw the statements. Nor did they occur at the same time as a securities transaction, which a finding of liability would require. In addition, the only “false statements” the judge could have relied upon were either not material, or else were conclusively rejected by the jury in its verdict or were omissions that Appellants had no duty to disclose. NCLA argues the district court erred when it determined that there was sufficient evidence to support a jury verdict finding that Appellants violated the Exchange Act. The court improperly relied on acquitted conduct in its remedy rulings; given that the jury in this civil case made its findings based on the preponderance of the evidence, the judge could not consider facts implicitly repudiated by the jury in setting the civil penalty. Doing so denied Appellants their Seventh Amendment right to trial by jury on facts necessary to assess liability or civil penalties.