Federal Trade Commission v. Grant Connect, LLC

827 F. Supp. 2d 1199, 2011 U.S. Dist. LEXIS 123792
CourtDistrict Court, D. Nevada
DecidedOctober 25, 2011
Docket2:09-CV-01349-PMP-RJJ
StatusPublished
Cited by6 cases

This text of 827 F. Supp. 2d 1199 (Federal Trade Commission v. Grant Connect, LLC) is published on Counsel Stack Legal Research, covering District Court, D. Nevada primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Federal Trade Commission v. Grant Connect, LLC, 827 F. Supp. 2d 1199, 2011 U.S. Dist. LEXIS 123792 (D. Nev. 2011).

Opinion

ORDER

PHILIP M. PRO, District Judge.

Presently before the Court are the following motions:

• Motion for Summary Judgment and/or to Dismiss by Defendant Kyle Kimoto (Doc. # 155)
• Motion for Summary Judgment by Defendant Global Fulfillment, Inc. (Doc. #266)
• Motion for Summary Judgment by Defendant Dragon Group, Inc. (Doc. # 267)
• Motion for Summary Judgment by Defendant MSC Online, Inc. (Doc. #268)
• Motion for Summary Judgment by Defendant Global Gold Limited (Doc. #269)
• Motion for Summary Judgment by Defendants Acai, Inc.; Healthy Allure, Inc.; and Total Health, Inc. (Doc. # 270)
• Motion for Summary Judgment by Defendants Ahelear Communications, Inc.; Elite Benefits Group, Inc.; Global Gold, Inc.; Steven R. Henriksen; Premier Plus Member, Inc.; and Vcomm, Inc. (Doc. # 272)
• Motion for Summary Judgment by Defendant Paid to Process, Inc. (Doc. #273)
• Motion for Summary Judgment by Plaintiff Federal Trade Commission (Doc. # 275)
• Motion Under Rule 201 by Defendant Kyle Kimoto (Doc. # 314).

The Court held a hearing on these motions on April 11, 2011. (Mins, of Proceedings (Doc. # 323).)

I. BACKGROUND

Defendant Horizon Holdings, LLC is a limited liability company located in Reno, *1205 NV, doing business as Grant Connect and MemberLegalNet. (Pl.’s Mot. for Prelim. Inj. (Doc. # 6) [“Pl.’s Mot.”], Exs. 66-67, 70-71, 81-82.) Horizon Holdings, LLC’s members are Defendants James Gray (“Gray”) and Randy O’Connell (“O’Connell”). (Id., Exs. 66-67.) Defendant Global Gold, Inc. (“Global Gold”) is a Nevada corporation located in Las Vegas, Nevada, which is owned by Defendant Steven Henriksen (“S. Henriksen”). (Id., Exs. 110, 112-113.) Defendant Vantex Group, LLC (“Vantex”) is a limited liability company located in Las Vegas, Nevada. (Id., Ex. 117.) Vantex’s sole member is the Juliette Kimoto Asset Protection Trust, for which Defendant Juliette Kimoto is the investment trustee. (Opp’n to FTC’s Mot. for Prelim. Inj. (Doc. # 62) [“J. Kimoto Opp’n”], Ex. A.) Defendant Vertek Group, LLC (“Vertek”) is a limited liability company located in Las Vegas, Nevada. (PL’s Mot., Ex. 119.) Vertek’s sole member is Defendant Pink LP. (J. Kimoto Opp’n, Ex. A.) Pink’s general partner is Juliette Kimoto. (Id.; PL’s Mot., Ex. 328.) Defendant Rachael Cook (“Cook”), Defendant S. Henriksen’s sister, manages both Vertek and Vantex. (PL’s Mot., Exs. 329-30, 366, 430; Report of Receiver’s Activities (Doc. # 64) [“Receiver’s Report”].) Michael Henriksen (“M. Henriksen”), Defendant S. Henriksen’s brother, was the accountant for Vertek and Vantex. (PL’s Mot., Exs. 189, 430; Receiver’s Report.)

In late 2006 or early 2007, Defendant Kyle Kimoto (“Kimoto”) contacted O’Connell and Gray on behalf of Global Gold to express Global Gold’s interest in creating an online store through which members could purchase merchandise by applying a portion of the price to a credit line. (PL’s Mot., Exs. 565-66.) Global Gold needed software to accept transactions over the Internet. (Id.) O’Connell and Gray agreed to provide services to Global Gold through use of their program, AWARE. (Id.)

In June 2007, Gray and O’Connell’s company, OS Marketing, LLC, entered into a contract with Global Gold to provide the requested services. (Id.) OS Marketing, LLC had no employees, and thus Gray and O’Connell provided the services through Defendant O’Connell Gray, LLC, of which Gray and O’Connell are both members. (Id.) In mid 2007 or early 2008, O’Connell and Gray attended a meeting at the Global Gold offices regarding the project. (Id.) The meeting took place at the Vertek offices in Las Vegas, Nevada. (Id.) At the time, Global Gold and Vertek shared an office suite at this location, although Global Gold later moved to a nearby location. (Id., Ex. 565.)

Some time thereafter, Kimoto introduced O’Connell and Gray to a “grant opportunity.” (Id., Exs. 565-66.) Kimoto, O’Connell, and Gray “agreed to work together on a project, which became known as Grant Connect, to advertise grants.” (Id., Ex. 566.) Under the parties’ arrangement, O’Connell and Gray were to find and secure content for a website and arrange for intake and processing of customer information. (Id., Exs. 565-66.) Vertek was to create and design marketing, and to secure affiliate marketing relationships. (Id.) Global Gold was to sell Grant Connect as an “upsell” on Global Gold’s own offers of credit lines. (Id.) The parties agreed to split-profits, with Vertek receiving 55%, and Grant Connect receiving 45%. (Id.) Additionally, Global Gold received 50% of revenue generated from the sale of Grant Connect through upsales off of Global Gold’s sites. (Id.)

O’Connell and Gray purchased the Grant Connect content from Quantum Particle and Khaled Azar based on content already on the Internet at a website called www. grantsearchlink.com. (Id., Exs. 566, 568-69.) The website material included testimonials from individuals claiming they re *1206 ceived hundreds of thousands of dollars in government grant funds quickly and easily through the website. (Id., Exs. 1, 2, 11, 16, 30-32, 566, 570.) The testimonials “were from individuals Khaled Azar claimed to have helped to get grants through the use of www.grantsearehlink. com. None of the individuals used in the testimonials used www.grantconnect.com to secure a grant.” (Id., Ex. 566; see also id. Ex. 570.) Even though none of the individuals giving testimonials ever used the websites related to Grant Connect, Vertek used the testimonials in designing the inaugural Grant Connect website, www.grantconnectoffer.com, and Vertek and/or Vantex 1 used the testimonials in later iterations of the same content at other web addresses, including grantsourceamericaoffer.com, and grantsourceamerica.com. (Id., Exs. 1, 2, 5, 11, 30-32, 443, 447, 565-66.)

The Grant Connect websites’ landing pages typically used pictures of President Barack Obama and Vice President Joe Biden or pictures of a woman holding cash. (Id., Exs. 1, 2; Compl. (Doc. # 1), Ex. 2.) The websites touted the availability of billions of dollars in government grants, and included quotes from news sources such as Fox, NBC, and CBS. (Pl.’s Mot., Exs. 1, 2, 16.) The websites advertised an easy-to-use program to “[ijnstantly find the Grant that’s right for you!” (Id., Ex. 1.) The websites suggested individual consumers could obtain grants for their personal financial needs by stating things such as: “Grants are FREE MONEY given by foundations or the government to help you with your financial situation.” (Id.,

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Cite This Page — Counsel Stack

Bluebook (online)
827 F. Supp. 2d 1199, 2011 U.S. Dist. LEXIS 123792, Counsel Stack Legal Research, https://law.counselstack.com/opinion/federal-trade-commission-v-grant-connect-llc-nvd-2011.