Release: #3996-97 (CFTC Docket # 96-5)
For Release: February 27, 1997
CFTC Accepts Settlement Offer from Mark J. Sitzmann, David E.
Sitzmann, and Sitzmann Commodities Inc., In Connection with CFTC Action
Filed in 1996
WASHINGTON--The Commodity Futures Trading Commission (CFTC) announced
today that it has issued an order accepting an offer of settlement from
Mark J. Sitzmann, a former vice-president of commodity management for
Monfort Inc., a ConAgra subsidiary; David E. Sitzmann of LeMars,
Iowa, and Sitzmann Commodities Inc. also of LeMars, Iowa , in
connection with a complaint filed by the CFTC on April 18, 1996. (See CFTC
News Release #3904-96, April 18, 1996.)
The CFTC order finds that Mark Sitzmann cheated, defrauded and deceived
Monfort. Specifically, the order finds that Mark Sitzmann was responsible
for developing and implementing Monfort's hedging strategies. In order to
perform these responsibilities, Monfort, according to the order, entrusted
him with non-public and proprietary information regarding its position in
the cash and futures markets. Although Monfort prohibited all of its
executives from trading commodity futures contracts, Mark Sitzmann opened
an account in his brother David's name at Sitzmann Commodities and traded
based upon the information he had obtained in the course of his employment.
Mark placed orders for his trading account immediately before placing much
larger orders for Monfort on the same side of the market in the same
futures contract. The Monfort orders would move the market, and Mark would
subsequently exit the position at a profit.
The CFTC order also finds that David Sitzmann aided and abetted Mark
Sitzmann's fraudulent activities by allowing Mark to open an account in
David's name at Sitzmann Commodities, placing orders ahead of Monfort's
orders, funneling all of the money to and from Mark's futures account
through one of David's checking accounts and filing a false large trader
report with the Commission representing that he owned and controlled the
account that was actually Mark's. Finally, the order finds that David
Sitzmann, as controlling person of Sitzmann Commodities, is liable for
Sitzmann Commodities' failure to maintain accurate records
Mark Sitzmann, without admitting or denying the findings of the Commission order, consented to the entry of a CFTC order:
David Sitzmann, without admitting or denying the findings of the Commission order, consented to the entry of a CFTC order:
Sitzmann Commodities, without admitting or denying the findings of the Commission order, consented to the entry of a CFTC order: