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Program Trading Research


Country United States
State Florida
City Palm Beach Gardens
Address 8718 150th Ct N
Phone 561.747.5000
Website http://programtrading.com/

Program Trading Research Reviews

Most Useful Comment
  • Feb 22, 2017

Hank Camp is a total and complete fraud. His team is comprised of his girlfriend Roberta Zerbinato a known financial criminal convicted of theft of over 50,000 from a bank client. Heres is my experience with Hank and his services. Hank is a great con artist he will tell you he is the only key to making money on the market. He will tell you he trains Goldman Sachs and LIME trading. He claims he does seminars for them and that they follow his system. He claims that he is in direct contact with these companies when in reality he is not. He uses a company called Dorman trading to clear his trades, and honestly my confidence in the outfit from Chicago is very low as their compliance allows this man to peddle his services using them to appear legitimate. I spent over 10,000 dollars on his services and learned nothing that wasn't online. Like the 8 and 34 moving averages. His spreads are pretty much crap, his reports give you 25 times a trade could hit that it's like throwing darts 25 times one will hit and then he is a genius. This guy is a complete fraud, a criminal, and a con artist. They will take your money and lie to you. I called Goldman Sachs and LIME Trading and both told me they have no affiliation with him. They both told me that he doesn't train them and they both told me what I already knew I've been scammed. Hank Camp and Programtrading.com are a total ripoff don't waste your time, your money, as time is the most valuable resource and Hank Camp will steal your time. I wasted a whole year on his scam and lost money. His system doesn't work because it's a lie. Call Goldman Sachs and LIME Trading they will tell you he's never met any of them. Buyer beware this is a very expensive mistake both in time and money.

Mark as Useful [1 vote]
  • May 17, 2017

Program Trading Research Reply

IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA

February 20, 2017

Cyberstalking. [Fla. Sat. 784.048 1(d)] Respondent Mosso and/or Respondent’s agents, using Comcast and T-Mobile IP addresses, and using a fake name posted on to this web site for consumers, false statements about Petitioner Camp, a client of HL Camp & Company, and Dorman Trading LLC, in an effort to harm our name, our client’s name, and Dorman Trading LLC, and thereby the business of HL Camp & Company and HL Camp Futures. The statements made are libel and defamation and an effort to Harass [Fla. Sat. 784.048 1(a)] Petitioner Camp, a client of our firm, and Dorman Trading LLC, and harm our firm’s and Dorman Trading LLC’s business and serves no legitimate purpose. In the post on the public web site, Respondent Mosso and/or Respondent’s agents admitted that “I called Goldman Sachs and LIME Trading…” as indicated on the occurrence dated February 15, 2017 and on the occurrence dated February 14, 2017.

In addition, Respondent Mosso's and/or Respondent Mosso's agents, knowing and willful use of the name of a client of HL Camp & Company in violation of HL Camp & Company's Privacy Policy as required by the United States Securities and Exchange Commission [Section 17 CFR Part 248]. Respondent Mosso's and/or Respondent Mosso's agents knowing and willful use of the name of a client of HL Camp Futures and is a violation of HL Camp Futures Privacy Policy as required by the US Commodity Futures Trading Commission [Section 3, 5 U.S.C.Sec.552a(b)].

Respondent Mosso's and/or Respondent's agents use is a criminal violation of the United States Privacy Act [Section 3, 5 U.S.C.Sec.552a(i)] as Respondent Mosso and/or Respondent Mosso's agents, knowingly and willfully disclosed individually identifiable information which is prohibited from such disclosure by the Act or by agency regulations.

Respondent Mosso's and/or Respondent's agents are subjects and persons of interest, currently being investigated by the FBI, for criminal violations.

Mark as Useful [3 votes]
  • Apr 6, 2018

I was a client of Mr. Camp from 2017 until I cancelled my service. I attended his PT 101/501 and PT 601 seminars. What the other people have said of Mr. Camp is 100% accurate. I was at his seminar and seminar dinner at Paddy Mac's a restaurant across the street from the Doubletree Hotel where he hosts his seminars. This is the breakdown to save you almost 4,000. 1. He talks about his history lying about his involvement with HL CAMP & COMPANY and Bernard Zelenka. Here's that link sec.gov/litigation/admin/3438178.txt 2. He talks about how data vendors except the ones he recommends are good. 3. He then talks about how Rita is the best trader in the world. Yet through my investigations I can't find a record of her trading account. Or for that matter Hank's. 4. Hank's girlfriend Roberta Zerbinato is a financial criminal privy to all your account information. I'm pretty sure Mr. Camp knows about this as she is an ex convict charged with stealing 50k from a customer at a bank she worked in.

She's also a drunk and was very embarrassing and nasty during the seminar dinner. Here is the article Banker charged with fraud, identity theft - News - Sarasota Herald-Tribune - Sarasota, FL heraldtribune.com/article/LK/20080502/news/605215037/SH/ 5. He doesn't train GSCO, MSCO, NMRA, UBS, or LIME. All that is lies. All that he says in PT Live is lies. His contact on the floor of the exchange is a guy named Danny Riley, which his affiliation with Camp makes me question his judgment. 6. Hank does mask his illegal, fraudulent activities by using the name of Daniel Dorman and Dorman Trading to legitimize him in his seminars. As in, if what I said wasn't accurate why would Dorman clear my trades. 7. If you have no success with his method it is you, not the fact that he is a great snake oil salesman. 8. He abuses his partner or secretary Rita in a very nasty way during his seminars. They argue horribly during them making everyone in the class very uncomfortable. 9. His methods are easily found online the 8 and 34. The PREM, the PRYM, Tiki, to name a few. I feel like I wasted 10 grand and time a lot of time studying a method that didn't work. 10. I want my money back for the seminars, PT Live, and S&P report.

Most Useful Comment
  • Apr 28, 2018

Program Trading Research Reply

IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT, IN AND FOR PALM BEACH COUNTY, FLORIDA

April 16, 2018

Cyberstalking. [Fla. Sat. 784.048 1(d)] Respondent Mosso and/or Respondent’s agents, using Comcast and T-Mobile IP addresses, and using a fake name posted on to this web site for consumers, false statements about Petitioner Camp, a client of HL Camp & Company, and Dorman Trading LLC, in an effort to harm our name, our client’s name, and Dorman Trading LLC, and thereby the business of HL Camp & Company and HL Camp Futures. The statements made are libel and defamation and an effort to Harass [Fla. Sat. 784.048 1(a)] Petitioner Camp, a client of our firm, and Dorman Trading LLC, and harm our firm’s and Dorman Trading LLC’s business and serves no legitimate purpose. In the post on the public web site, Respondent Mosso and/or Respondent’s agents admitted that “I called Goldman Sachs and LIME Trading…” as indicated on the occurrence dated February 15, 2017 and on the occurrence dated February 14, 2017.

In addition, Respondent Mosso's and/or Respondent Mosso's agents, knowing and willful use of the name of a client of HL Camp & Company in violation of HL Camp & Company's Privacy Policy as required by the United States Securities and Exchange Commission [Section 17 CFR Part 248]. Respondent Mosso's and/or Respondent Mosso's agents knowing and willful use of the name of a client of HL Camp Futures and is a violation of HL Camp Futures Privacy Policy as required by the US Commodity Futures Trading Commission [Section 3, 5 U.S.C.Sec.552a(b)].

Respondent Mosso's and/or Respondent's agents use is a criminal violation of the United States Privacy Act [Section 3, 5 U.S.C.Sec.552a(i)] as Respondent Mosso and/or Respondent Mosso's agents, knowingly and willfully disclosed individually identifiable information which is prohibited from such disclosure by the Act or by agency regulations.

Respondent Mosso's and/or Respondent's agents are subjects and persons of interest, currently being investigated by the FBI, for criminal violations.

Mark as Useful [1 vote]

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