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By A. J.

Weberman

The latest News this Boutique Lawfirm is that it has changed its website
and removed the false information that this website exposes. Additionally
the Attorney’s Grievance Committee released the info that their exoneration
of the Gusrae Kaplan was based on. You can see it HERE. There is no
evidence that supports its conclusion and no reference to Burt Gusrae
being the Chief of Enforcement in SEC NY Office.

http://gusraekaplan.org
Since its founding by a slimy crook in 1975, Gusrae Kaplan
Nusbaum PLLC has become one of the preeminent boutique
securities law firms in the United States due to its willingness to
engage in shady practices. Located on the very end of Wall Street
in New York’s financial district, the firm’s 21 attorneys and
knowledgeable support staff like Private Investigator Steve
Rombom pretend to provide sophisticated and cutting edge transactional,
regulatory, and litigation services to clients all over the world. Managing
Partner Martin H. Kaplan notes that the firm continues to capitalize on its
growth and the prestige it has achieved over the last 37 years. But a look at
its history tells a different story – Gusrae Kaplan Nusbaum PLLC was built
on a web of deception and fraud. Bert Lee Gusrae, founder of Gusrae
Kaplan, committed fraud when he misrepresented himself as having been
Chief Attorney of the Securities and Exchange Commission New York
office of Enforcement from 1962 -1967. A look at his resume belies this.
Bert just passed the bar in 1962.

Bert Lee Gusrae has been licensed to practice law in NY since 1962.
This is the announcement that he passed the NYS Bar examination:

He could not have gone from passing the bar to becoming Chief of
the NYC SEC Office of Enforcement. Yet his resume clearly states his first
job was “Chief Attorney, Branch of Enforcement, New York Regional Office,
Securities and Exchange Commission, 1962-1967.”

Bert created a fraudulent resume to attract clients. That is how this


prestigious law firm got its start. His clients thought, “Wow this guy knows
all the ins and outs at the SEC. He was top guy. He knows all the attorneys
and agents there. If there is a payoff to be made or influence exerted Bert
is the guy to do it.” If you hired him you were buying influence, at least that
is what his clients mistakenly believed. Gusrae put one over on his crooked
clients and parlayed his earnings into a much bigger law firm then into a
Wall Street giant. The truth of the matter was Bert Lee Gusrae was just
another assistant attorney at the SEC and not even in the Enforcement
Division, but in the Division of Trading and Markets. Look at this 1966
document:

WILL THE REAL CHIEF ENFORCEMENT ATTORNEY, NEW YORK


REGIONAL OFFICE, SECURITY AND EXCHANGE COMMISSION
PLEASE STAND UP!

This document is from 1966. It revealed that Joseph C. Daley was the
real Chief Enforcement Attorney, New York Regional Office, Security and
Exchange Commission. It proves Gusrae forged his resume to the point of
criminal fraudulent misrepresentation. Daley, a Yale graduate, became a
partner in Mudge Rose Guthrie & Alexander, Nixon’s law firm. Gusrae was
a graduate of Brandeis University, BA 1957 Law School: Boston University,
LLB, 1961 two third rated schools. Gusrae tried to elevate himself to
Daley’s stature. What first made me suspicious that something was very
wrong was when the firm was vague about who the former Chief of
Enforcement SAC was and when he was Chief. I checked every
biographical piece of every lawyer in the firm and found nothing. There was
no biographical piece about its late founder, Bert Gusrae. Then I came
across Gusrae’s resume. It was him. So I ran his name through the New
York Times index. There was no mention of his appointment or any
mention of his activities as chief of most important SEC office. NYT INDEX
“Gusrae” search results. When I searched 1962 to 1967 only this came up.
Bert told perspective clients that he was an Allied Member, New
York Stock Exchange, 1968-1969. Member, Panel of Arbitrators, New
York Stock Exchange, Inc. Member, Panel of Arbitrators, American
Arbitration Association. All this is true. Burt was an Allied member from
January 11, 1968 to July 25, 1969 not through his law firm but through the
brokerage firm of Hertz, Neumark and Warner. This firm was composed of
a bunch of sleazebags like Bert Gusrae and Marty Kaplan. The firm ran a
classic pump and dump operation. It also arranged bank loans for its clients
to circumvent margin requirements. This sounds like OC (Organized Crime)
to me. It closed shortly after the indictments came down.
MARTIN H. KAPLAN IS COMMITTING FRAUD BY PERPETUATING THIS
LIE

This is the first thing you once saw on the Gusrae, Kaplan, Nusbaum
website. After I created this website they abandoned this erroneous claim.

Martin H. Kaplan knows Gusrae lied about his background


because he was in on the deception. Once I get the official
records his law firm will be discredited and lose clients and
revenue, not because its founder was a crook but because he
perpetuated the deception. I filed an FOIA request with the
SEC for Gusrae’s SEC employment records. I filed a complaint with the
NYS Attorney General’s Office regarding the perpetuation of this fraud.

So aside from criminally misrepresenting himself


Gusrae worked at Hertz, Neumark and Warner, a
crooked brokerage house 15 of whose brokers were
indicted by the Feds. Bert was cheap Russian
Jewish hustler whose parents shortened their name
to hide the fact they were Russian Jews of peasant ancestry. Bert got
involved with money laundering for the Russian mob. He was a sleaze bag
and liar and the firm he started carries on his tradition. Burt Lee Gusrae
was born May 24, 1939 died January 15, 2012 at age 75.

GUSRAE, KAPLAN ROMBOM

None of this would have come to light if not for Gusrae Kaplan's
employee, Steve Rombom, a discredited PI who is trying to destroy the
Jewish Defense Organization.

Gusrae Kaplan boasts of its ability to conduct investigations:


In addition to market leaders in the financial
services arena, corporate entities in a broad range
of industries call upon Gusrae Kaplan to conduct
comprehensive internal investigations in response
to both suspicions and allegations of misconduct.
We regularly lead these examinations on behalf of
businesses, their investors and various governance
bodies such as boards of directors and audit
committees.

Rombom was hired to conduct these investigations despite the fact


he plead guilty to numerous violations concerning his PI License.

Read about the Russian Mob Connection at http://gusraekaplan.org


Google Search.

MARTY “THE MAGGOT” KAPLAN


AND HIS CREW OF WALL STREET PARASITES
WHO IS THIS MAN WHO IS TRYING TO DESTROY THE JEWISH
DEFENSE ORGANIZATION?

IDENTIFYING DATA

Martin H Kaplan
Male | 75 years old
Birthday October 1937
175 W 12th St, Apt 16H
N.Y, N.Y. 10014
153-87-9970

FAMILY BACKGROUND

KAPLAN-Marilyn. (mother’s maiden name Marilyn Quartner). Died September 15, 1998
after a long, courageous battle. Much loved wife for 50 years of Bernard, cherished
mother of Martin and Helene Kaplan and Shirley Kaplan and Hillel Marans. Adoring
grandmother of Tamar, Aaron, Joshua, Ariella, Benjamin, Zachary and Elie. Funeral will
be held Wednesday, September 16 at 9:30 AM, Boulevard Chapel, 1450 Broadway,
Hewlett, NY. Charitable donations in lieu of flowers.

KAPLAN-Marilyn. Congregation Beth Sholom records the passing of our esteemed


member, Marilyn Kaplan. May the family be comforted among the mourners of Zion.
Rabbi Kenneth Hain Rabbi Dr. Gilbert Klaperman, Rabbi Emeritus Daniel Hiller,
President Steven Wolinsky, Chairman of the Board

KAPLAN-Marilyn. The law firm of Gusrae, Kaplan and Bruno deeply mourn the passing
of Marilyn Kaplan, beloved mother of Martin H. Kaplan and Shirley Kaplan-Marans. We
send our sympathy to the family.

Why would a crooked attorney from a nice Jewish family go after a Jewish organization with a
long history of fighting for the Jews? Because he is schtick drek like his partner Gusrae.

http://www.nytimes.com/2011/10/06/business/court-rules-against-finra-on-enforcement-actions.html?_r=0

http://www.finra.org/industry/regulation/guidance/interpretiveletters/p002584

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