📄 Extracted Text (224 words)
Kellerhals Ferguson Kroblin PLLC
9100 Port of Sale Mall. Suite 15. St. Thomas, VI 00802-3602
340 779 2564 Telephone I 1 886.316 9269 Fax I www.kellrer.com
October 24, 2014
Via Email: [email protected]
Glendina Matthew, Esq.
Office of the Lieutenant Governor
18 Kongens Gade
St. Thomas, VI 00802
Re: Supplement to Application of Financial Strategy Group, Ltd.
Dear Attorney Matthew:
This letter should serve as a supplement to the May 6, 2014 submission made to your office on
behalf of Financial Strategy Group, Ltd. ("FSG"). After reviewing permissible lines of business
codified in 9 V.I.C. section 726, we ask that the following language be included in the business
plan of FSG:
It is anticipated that FSG may engage in money services, money transmission, sale of
instruments or other payment devices, currency exchange, or other financial and
business management services, including, without limitation, providing, discounting,
rediscounting, dealing or otherwise trading in money orders, stored value, bills of
exchange, drafts, or other instruments or payment devices, provided that neither the
purchaser, the payee, nor the beneficiary is a domestic person. It is anticipated that
upon enactment of appropriate legislation, FSG will seek to create and operate a virtual
currency exchange focusing on Bitcoin and other virtual currency markets.
Please contact me if you have any other questions or need additional information.
Very truly yours,
Erika Kellerhals
EFTA01139641
ℹ️ Document Details
SHA-256
02316a7a6efff5e7da46f4d97016e780087e9c9a37b71f44f7d0155008895cf9
Bates Number
EFTA01139641
Dataset
DataSet-9
Document Type
document
Pages
1
Comments 0