Lyoness Field Leader Silvio Spangl Came From Austria To Help Grow Lyoness America Why?

What would cause a Lyoness leader from Austria to come to America to help open the country to a new company and business model? Silvio Spangl saw something in the American opportunity that caused him to leave his exotic sports car shop behind, and take the risk here in the USA.

What makes Sivlio Spangl different than some of the IBRs in Lyoness America is the fact he is also Small Merchant inside the shopping network.

Spangl Car Performance  Lyoness Benefits

 

You can find additional Lyoness America articles below:

July 22nd, 2013Is Lyoness America Violating Pyramid, Ponzi and Business Opportunity & Securities Regulations?

September 12th, 2013 – Lyoness America Responds To Accusations Of Violations To Ponzi, Pyramid, Business Opportunity and Security Regulations: Pt. 1

September 25th, 2013 – Lyoness America Responds To Accusations Of Violations To Ponzi, Pyramid, Business Opportunity and Security Regulations: Pt. 2

October 9th, 2013 – Lyoness America Responds To Accusations Of Violations To Ponzi, Pyramid, Business Opportunity and Security Regulations: Pt. 3

January 9th 2014 – Network Marketing Pro, Glenn Sparks Shares With MLM Helpdesk His Insights Into Lyoness America

January 20th, 2014 – Who is Lyoness USA Top Female IBO Dr. Stephanie Nielsen?

 

Safe Harbor Statement

This article may includes forward-looking statements on our current expectations and projections about future events. In some cases forward-looking statements can be identified by terminology such as “may,” “should,” “potential,” “continue,” “expects,” “anticipates,” “intends,” “plans,” “believes,” “estimates,” and similar expressions. These statements are based upon current beliefs, expectations and assumptions and are subject to a number of risks and uncertainties, many of which are difficult to predict. The information in this article is provided only as of the date of this article, and we undertake no obligation to update any forward-looking statements contained in this article based on new information, future events, or otherwise, except as required by law. The owner of this website is also a paid consultant currently working with the Lyoness America corporate team.

 

Who is Lyoness America’s Top Female IBR, Dr. Stephanie Nielsen?

Late in 2013, I flew to Calfornia to the launch of the 3rd Lyoness USA office and had the opportunity to sit down with Dr. Stephenie Nielsen, to get her take on the Lyoness America business model, and why as a doctor in pharmacy and a board certification in Clinical nutritionist she would be involved in a business where shopping seems to be the focus.

DrStep02

 

Lyoness America Responds To Accusations Of Violations To Ponzi, Pyramid, Business Opportunity and Security Regulations: Pt. 3

This is the third and last installment of the Lyoness America response to the allegations we first published July 22nd, 2013, and the second installment dated September 25th, 2013. In the first two Lyoness America went into detail to show where the writer of the allegations used deceptive tactics to deceive those who might have read his allegations. In today’s response they continue to share facts that seem to dispute all the Ponzi, Pyramid and Securities violation allegations.

6. Lyoness has a Volume Bonus that is paid based on rank achieved by have various quantities of profit centers sold. This should be a blatant pyramid law violation.

Lyoness Cashback - Money Back With Every Purchase - Lyoness US

No Profit Centers exist and therefore cannot be “sold.” No Units are “sold.” The writer either misunderstands or intentionally misrepresents these and many, many other aspects of the Lyoness Compensation Plan and is so careless with terms, amounts, accounting practices, regulatory law, and the well-established, long-understood differences between legitimate direct selling and illegitimate schemes, one wonders whether his/her motive was to investigate or to persecute. As we have previously and repeatedly stated, Units are generated only by shopping. At Lyoness, Members are not selling, but rather shopping. Members are not authorized to sell anything. Members do not even sell Memberships; rather they refer individuals to Lyoness to join as Members for free! If that referred individual joins, then he becomes a Member within the shopping community of the referring Member. But, the activity that generates compensation for Members is not selling, but rather consumers shopping at Loyalty Merchants (retailers that belong to the Lyoness network).

If Members shop, they earn rebates and other benefits. If no shopping occurs, then no compensation is earned. Units are generated in direct ratio to retail shopping. Units are not an abstract accounting practice (like a “profit center” may be) but represent a dollar amount of retail sales. Profit Centers may be likened to a column in an Excel spread sheet, whereas Units represent the dollars accounted for by those columns. So, to refer to “Units” as “Profit Centers” is not only confusing (and it certainly has confused the author) but it is also grossly inaccurate and misleading. Units are generated by retail shopping—online, onsite at SMEs, through Gift Card Orders, etc.

7. Commissions are paid in the binary matrixes based on the balanced sales volumes in the matrix. The company told me these sales were based on retail gift cards and on-line sales. After a couple months of review it became apparent that this is not so in the United States region. A review of Lyoness accounting records will review that the binary commissions are primarily generated by the sale of the profit centers. The required gift card purchases also generate some of these commissions, but less so. A third source of commissions come from the fact that Lyoness pays a portion of commissions earned into a purchase account, which forces distributors to use those funds for purchasing more profit centers, gift card or online shopping. A review of Lyoness America records will demonstrate the vast majority of all purchases are done by distributors to generate commissions. There are very little retail sales outside of the Sales Force. This should be a blatant pyramid law violation.

This is entirely untrue. This person is using words and terminology that do not exist in the Lyoness literature or other communications. We do not use or refer to such terms as “matrix” or “binary commissions” or “profit centers.” Again and again our accuser fabricates information he is unable to put into evidence, pretending to know the outcome of “A review of Lyoness accounting records” he has not made so as not to accept the real responsibility of supporting unsupportable charges. Whereas any accounting program may be accused of being “complex,” the fundamentals on which the Lyoness economy is based is quite simple: If a Member shops for items he regularly needs through the Lyoness network of third-party retailers, and that Member refers other Members to join Lyoness who, in turn, shop for their everyday needs within the Lyoness network of third-party retailers, then both Members will earn compensation that derives from their retail shopping activities, namely shopping rebates. Lyoness is basically about the power of shopping in an organized community and solidarity through shopping. Member shopping includes, among other things, paying for manicures, haircuts, and meals at a sushi restaurant at participating Lyoness retailers.

8. Distributors must sponsor a minimum of four (4) distributors to earn their uni-level, matching, Volume Bonuses and the cycle commissions in the binary structures. The rest of their sales force may be built by those they sponsor. This is common and traditional in direct sales. However, distributors are encouraged to purchase $3,000 of profit centers in their home region of USA in order to entitle them to purchase profit centers in the Brazil and Asian markets.

a. As Premium distributors in USA, distributors can purchase up to another $3,000 of profit centers in Brazil, but is also required to purchase another $600 of cards. They are told that the company, Brazilians and the rest of the world will fill the Brazilian binary matrix for them and create a passive income return for their investment. This should be a blatant pyramid law and FTC and state business opportunity violation, as well as a passive income violates the SEC regulations.

b. In USA Premium distributors can purchase up to another $10,800 of profit center in the Asian market, but is also required to purchased another (25%) of cards. That is up to $2,700 for gift cards required. They are told that the company, Asians and the rest of the world will fill the Asian binary matrix for them and create a passive income return for their investment. This should be a blatant pyramid law and FTC and state business opportunity violation, as well as a passive income violates SEC regulations.

c. In addition, USA premium distributors are allowed to make up to $10,800 of profit center purchases (which company claims to be down payments of future shopping that the distributors never do) three (3) times for a total of $32,400 with a total of $8,100 of required gift card purchases. The distributors have been told they will earn a passive income of almost $1,200,000 from doing this from the original profit centers they receive plus more from free future bonus profit cycles. They have been told it will take two to seven years and the faster they invest the faster the return will occur. This will require a large number of participate to accomplish and thus raise the question of a Ponzi scheme in addition to the pyramid, business opportunity and SEC violation.

Lyoness does offer its US Members the opportunity to expand into other international markets in which Lyoness operates. However, as we have evidenced repeatedly in our previous responses to the writer’s inaccurate and mistaken accusations and conclusions the details in (a), (b), and (c) are grossly inaccurate and provide an incomplete and profoundly misleading description of the National and Continental program.

One of the ways Loyalty Benefits may be exercised is to transfer them to programs in other countries. This is akin to “international expansion” permitted by other direct selling companies. Money is earned through retail sales generated through referrals, sponsoring, and supervision of Member networks making retail purchases through the Lyoness Loyalty Merchant Network. Lyoness securities counsel advises that neither our National nor Continental accounting programs violate securities laws because, among other reasons, “to be successful Members must be pro-active and rely substantially on their own efforts by enrolling new members who shop and generate shopping volumes through the Lyoness Loyalty Merchant network, but also by shopping and generating shopping volumes themselves within the Lyoness Loyalty Merchant network.” In fact, if a Member does not first achieve Career Level 1 through the accumulation of sales volume, then he/she is not even eligible to participate in a national or continental accounting program.

9. There are a total of 5 binary matrixes in each market called AC1 through AC5. In each consecutive matrix you earn higher and higher commissions based on a cycle volume requirement. There is a cap on the number of cycles each profit center can earn in each matrix. Once all the cycle commissions are paid;

a. A large buy out bonus is made.

b. You receive a free bonus profit center in the next higher matrix (AC).

c. You receive four (4) more free bonus profit centers (AU’s) in the current matrix (AC) that was paid out. This means that all of your AC1 profit centers will generate 24 more free profit centers. Premium members start with 13 profit centers. That means those will generate hundreds of new profit centers and when those are completed, they will generate thousands of more free profit centers. In addition, distributors are able to purchase two more profit centers for each free bonus center plus can earn even more free profit centers with the 2% cash back program. With tens of thousands of distributors active already, there are probably 100,000’s if not millions of profit centers that will generate in theory billions of more. Of course the growth in the number of distributors joining and purchasing profit centers accelerate this further. This exponential growth In the number of profit centers creates a definite Ponzi scheme scenario.

First the author alleges the Lyoness compensation plan is a “binary.” Then the author describes it as a “uni-level.” Now the author claims it is a “matrix.” Regardless of how the author chooses to mischaracterize the Lyoness plan, our compensation model does not include “buy-outs.” All commissions, bonuses, cash-back, loyalty awards, and units are awarded as a result of retail purchase volume generated by shopping. Therefore, what the author calls a “free bonus center” is in fact a Unit awarded as a result of cumulative retail shopping. This is also true of ALL the Units (what he calls “profit centers”) to which the author refers.

The way the author describes the growth potential of the Lyoness program does not reflect anything we are aware of actually being presented and has no basis in truth or fact.

In reality, there are five (5) different Accounting Categories, which the writer consistently and erroneously calls “profit centers” or “binary matrixes.” At some point an objective reviewer wonders: how is it possible to get so many things wrong and still to be taken seriously.

It is true that the higher Accounting Categories provide higher levels of compensation, because higher sales volumes are required to produce higher Accounting Categories!

Once an Accounting Unit is created, it is booked into the Lyoness Accounting Program. The Accounting Program tabulates and tracks a Member’s Accounting Units, which, in turn, is a way to tabulate and track shopping activity and the Lyoness benefits that the shopping generates. The Lyoness Program calculates Loyalty Cash, Loyalty Credits, Loyalty Commissions, Loyalty Commission Bonuses, Bonus Units, Category Rebooking, Volume Commission and Volume Bonuses, all of which are forms of benefit or compensation available through the Lyoness Compensation Plan. Each Accounting Unit in the Accounting Program may have no more than two (2) other Accounting Units linked to it directly, which is perhaps why the author characterizes it as “binary.” An Accounting Program is organized into five (5) categories. Once a Member completes a category, Accounting Units automatically move up the program to the next Accounting Category. Advancement is based on referring Members and the resulting shopping at Lyoness retailers.

The author charges that a “large buy out bonus is made,” and then claims that someone can “receive a free bonus profit center in the next higher matrix (AC).” This concludes with: “[Y]ou receive four (4) more free bonus profit centers (AU’s) in the current matrix (AC) that was paid out.” This is an inaccurate description on how our program operates. The “Lyoness Benefits” Members can earn are listed and described below:

Summary of Key Lyoness Benefits:

1. Cashback: Members receive a 1% or 2% cash rebate called Cashback credited to their Lyoness cash account on all personal purchases made within the Lyoness Loyalty Merchant network. Upon earning $10 in rebates, the money is then transferred by ACH to the Member’s personal bank account.

2. Friendship Bonus (Cash): Cash money paid to Members earned from the shopping activity of direct or indirect Members that the Member introduced and enrolled in Lyoness. For example, a Member earns a friendship bonus of .5% if any direct or indirect (second level) Member places an order for fully paid Gift Cards or makes any purchase using any other Lyoness shopping method. Members can receive a “Friendship Bonus” of 0.5% when any of the individuals they refer to Lyoness shop within the Lyoness Loyalty Merchant network, or the people they refer to Lyoness shop within the Lyoness Loyalty Merchant network.

3. Loyalty Cash: When a Member’s Loyalty Account accumulates $75 from shopping rebates the member earns an Accounting Unit. The Accounting Unit is booked in the Lyoness Accounting Program. After a Member meets certain milestones and has 70

Accounting Units in the first Accounting Category (35 above and 35 below) following an Accounting Unit created from shopping, then the Lyoness program pays the Member Loyalty Cash. There are five (5) Accounting Categories as described below. Only Accounting Units from shopping can generate Loyalty Cash, and Accounting Units that are generated from down payments once matured cannot generate Loyalty Cash for a Member. The term “mature” or “maturity” means, in the Lyoness terminology, that an Accounting Unit has additional Accounting Units following it down stream, specifically 35 above and 35 below in the first category of the Accounting Program. Loyalty Cash is hard money first deposited into a Member’s Lyoness cash account and then paid or transferred via ACH to a Member’s bank account.

4. Loyalt y Cre d it (“Sh opping Cre d it”): Earned once a unit generated from a partially paid Gift Card order has a certain number of units following it downstream which are generated by the Member and Member’s lifelines (including partially paid Gift Card orders). Specifically, once a total of 70 Accounting Units are created in the first category of the Accounting Program and follow from an initial Accounting Unit generated from a partially paid Gift Card order, then the Member earns Loyalty Credit in the sum of $675.00. This Loyalty Credit is issued to the Member and can be spent by shopping at gift card merchants within the Lyoness network of retailers. It is never a cash payment and can only be enjoyed or used as a shopping credit. Each of the five Lyoness Accounting categories has its own corresponding Loyalty Credit amount that a Member can earn through shopping and enrolling new Members.

Only Independent Business Representatives (“IBR”) are eligible to receive the next six (6) benefits (5 through 10) of the compensation plan:

5. Loyalty Commission (Cash): Earned by an IBR who enrolled four Members in Lyoness who in turn each created an Accounting Unit, which tracks those Members’ shopping volume and rebates accumulated. Once $75 worth of Lyoness Benefits are earned, an Accounting Unit is created. An Accounting Unit is a device that tracks and plots shopping activity. Members qualify to earn Loyalty Commissions once a Member has become an IBR by having enrolled four (4) direct Members in their lifeline and each such Member has accumulated at least one Accounting Unit. Loyalty Commission is paid out to an IBR on a gradual basis based on five (5) Accounting Categories. The amount of Loyalty Commission to be paid to the IBR is determined by the accumulation of Accounting Units (shopping volume). In sum, as Members in a lifeline spend money within the Lyoness network through shopping, the IBR earns a commission. Loyalty Commissions are actual hard currency cash payments that are first deposited into an IBR’s cash account and then paid via ACH into an IBR’s bank account after a certain period of time. An IBR must enroll a minimum of four (4) Members who in turn each created an Accounting Unit by shopping in order to participate in the Loyalty Commission Cash component of the Compensation Plan.

6. Loyalty Commission Bonus (Cash): An IBR earns an 18.75% bonus on a direct IBR’s loyalty commission and earns a 6.25% bonus from an indirect IBR’s loyalty commissions. A requirement to earning this benefit is that a Member must be an IBR who has at least four (4) direct Members (a “lifeline”) who in turn each have one (1) Accounting Unit. An IBR can only earn a Loyalty Commission Bonus if their lifeline Members earns Loyalty Commissions. Loyalty Commission Bonus payments are actual hard currency cash payments that are first deposited into an IBR’s Lyoness cash account and then paid via ACH to an IBR’s bank account after a certain period of time.

7. Bonus Units (Non-Cash): As Accounting Units follow above and below any of the Accounting Units created by an IBR or any of the direct, indirect or “in-in direct” Members in their entire lifeline, Bonus Units are created within the program at certain steps and are booked into a Member’s Accounting Program. Bonus Units do not pay Loyalty Cash or Loyalty Credit. Instead, Bonus Units pay Loyalty Commissions and Loyalty Commission Bonuses on Loyalty Commissions. In addition, Bonus Units are rebooked into the next Accounting Category and, in turn, create more Bonus Units. Bonus units are free or courtesy Accounting Units that Lyoness gives an IBR who has generated a certain number of Accounting Units in his Accounting Program. Bonus Units also help an IBR add up to 70 Accounting Units, but Bonus Units themselves will never pay Loyalty Cash or Loyalty Credit.

8. Category Rebooking (Non-Cash): Upon completion of an Accounting Unit in an accounting category (payment of either Loyalty Cash or Loyalty Credit), an Accounting Unit will be rebooked as an Accounting Unit within the next higher Accounting Category and will become eligible for Loyalty Commission, Loyalty Commission Bonus, Bonus Units, and further Category Rebooking. This is what allows a Member to advance within the five Lyoness Accounting Categories.

9. Volume Commission (Cash): Cash money that Lyoness pays out to an IBR under certain milestones that are met. Volume Commissions are earned by an IBR and is a volume-based program having eight (8) different Career Levels. Each Career Level requires a minimum amount of new shopping volume per month. Once the requirement is fulfilled by the IBR, the IBR is paid a Volume Commission. Failure to reach a Career Level once within six (6) months will result in being dropped down to the lower level that has been reached. A Member can “perfect” a Career Level by locking in a Career Level whereby if he does not meet production requirements he will not drop down to lower levels. Volume Commissions are actual hard currency cash payments that are also first deposited into an IBR’s Lyoness cash account and then paid on a monthly basis via ACH to an IBR Member’s bank account.

10. Volume Bonus (Cash): Hard cash paid at the confirmation of each Career Level once the IBR accumulates the required Career Points required for each Career Level, but only applies to Career Levels 2 and above. Lyoness will pay a Volume Bonus every month that an IBR confirms a Career Level with the required career points.

Lyoness also has non-income producing benefits, which are referred to as Lyoness “Loyalty Benefits.” Loyalty Benefits cannot be considered income because they cannot be used as cash or as shopping credits. Lyoness does not pay out Loyalty Benefits to Members; rather, the Loyalty Benefits can only be used to generate Accounting Units in an Accounting Program. Lyoness Members can acquire Accounting Units by using Loyalty Benefits that they have earned by shopping in the Lyoness shopping community. A Lyoness Member always earns Loyalty Benefits each time he shops at a Lyoness retailer. For example, in addition to earning a 1% to 2% cash rebate and the Friendship Bonus on two levels, shopping will also provide a Member with Loyalty Benefits, the percentage amount of which depends on the rebate amount contracted between Lyoness and the respective Lyoness retailer. In case of a 10% rebate, 2% is paid out as cash back; 1% is paid as Friendship Bonus and 7% (the Loyalty Benefit) will go towards creation of the next unit. The amount of a Loyalty Benefit changes depending on the total rebate, which can be as little as 1%, or as high as 25%.

Lastly, with regard to the accusation below:

The company has been making every attempt to suppress this information. They have threatened me with law suits and TRO’s. The company is based in Austria. Mario Hoffman, Oria, Mario’s wife and assistant, Dr. Silvio, the company top distributor who launch the USA operations are all believed to be from Austria and could be flight risks.

Lyoness encourages open and frank discussions about its program and overall business. Lyoness welcomes questions and scrutiny, which ultimately help to improve and strengthen the company. But, the anonymous author makes unsupportable accusations designed to mischaracterize our business, our Members. Lyoness has been in business for 10 years and currently operates in over 40 countries. Mario Hoffmann, our CEO, openly works in the Miami office, and is an important part of Lyoness’ leadership and its growth plans in the U.S. Who suspects him of being a “flight risk”? No one but, allegedly, the author, who makes this and many other false charges without evidence or reasonable argument. Over and over the author attempts to incite rather than inform, to vilify rather than describe, and finally enlists one of the last false arguments: Cultural intolerance. He would have us believe it is suspicious just to be Austrian! Naming the wife of an officer (or of any family member) is typical of this kind of hate speech and is contemptible.

Because the accuser has not identified himself, we do not have the opportunity to face him openly in the court of public opinion. Nevertheless, we are happy for public opinion to review our explanations and for fair-minded persons to decide for themselves.

 

Editor’s Note: After the first article was published, the parent company of this website Deep South Companies, Inc. was engaged to work with Lyoness USA on some compliance strategies. http://mlmhelpdesk.com/disclosures-surrender-the-booty/

Safe Harbor Statement

This article includes forward-looking statements on our current expectations and projections about future events. In some cases forward-looking statements can be identified by terminology such as “may,” “should,” “potential,” “continue,” “expects,” “anticipates,” “intends,” “plans,” “believes,” “estimates,” and similar expressions. These statements are based upon current beliefs, expectations and assumptions and are subject to a number of risks and uncertainties, many of which are difficult to predict. The information in this article is provided only as of the date of this article, and we undertake no obligation to update any forward-looking statements contained in this article based on new information, future events, or otherwise, except as required by law.

Lyoness America Responds To Accusations Of Violations To Ponzi, Pyramid, Business Opportunity and Security Regulations: Pt. 2

Well so far we have done two posts on Lyoness America and without a doubt the community has added massive value to the conversation. In the first post the question was raised “Lyoness America Violating Pyramid, Ponzi, Business Opportunity & Security Regulations?” This brought not only conversation from critics, and fans alike from across the network marketing community, it also brought with it a phone call from Lyoness America attorneys, asking if I would be willing to fly yo Miami and talk with the executives.

During our meeting I asked if Lyoness executives would like to officially respond to the alligations made in the first article. After several weeks I did receive a very detailed response. The first part of this response can be viewed here “Lyoness America Responds To Accusations of Violations To Ponzi, Pyramid, Business Opportunity and Security Regulations: Pt. 1”

Lyoness Cashback - Money Back With Every Purchase - Lyoness US

Now let’s look at the 3rd, 4th, and 5th allegations made in the original post. Number three may be the most serious of all the alligations, and the Lyoness America attorneys and executives do a great job of refuting the allegations and show where the MLM expert may have their own agenda in making these alligations.

3.   Before a distributor can place a down payment, they are required to make a purchase of at least $300 in gift cards.  This is a total of $525 minimum required to start in Lyoness America and may be in violation of many state and federal Business Opportunity laws.

There is no minimum requirement to start in Lyoness and membership is free of charge. Again, the writer either misunderstands the Lyoness opportunity or is intentionally misrepresenting it.

All business opportunity laws require multiple elements to be met in order for a program to be a “business opportunity.”  One element that is common to all business opportunity laws or regulations is that a participant is required to make a purchase from the company or a related third party that exceeds the threshold set forth in the applicable business opportunity statute or regulation.  Optional purchases are not included in the calculation of “required purchases.”  Since Lyoness does not require any purchases or expenditures of any Member to be eligible to participate in the compensation plan, it is not possible to violate state or federal business opportunity laws.

Lyoness has developed limits on the purchase of partially-paid gift card orders to protect Members.   Lyoness does not permit a Member to place a partially paid Gift Card order unless the Member has evidenced they are actually using their Lyoness Membership by shopping within the Loyalty Merchant Network. Lyoness keeps track of the types and quantity of Gift Cards our Members purchase from us. There is no possible way of keeping track of when the actual use of those Gift Cards takes place.   That said, Merchants have reported that virtually 100% of the Gift Cards purchased from them by Lyoness are redeemed. The reason for the limits requirement is to ensure that all Members who join the Lyoness  network are  actually  committed  to  real  shopping.    The  paramount  activity  of Members is shopping and purchasing real products that they need and use.

The essence of our entire program is shopping within a global Lyoness community wherein Members can benefit from shopping rebates and retailers benefit from increased exposure and sales.  We do not allow Members to simply place partially paid orders because we do not want to mislead Members into thinking that they can earn money passively.   Unless there is shopping, Merchants do not sell product, Members do not save money, and IBRs do not earn commissions. All shopping is voluntary and done at third-party retailers who have elected to participate.

4.   Many distributors are encouraged to start as premium members for a $3,000 and also are required to do a $600 purchase of gift cards.  Distributors are given seven (7) stacked profit centers in Lyoness’s first binary matrix, called Accounting Center a (AC1)., three (3) stacked profit centers in a more expensive second binary matrix (AC2) and three profit centers in an even more expensive third binary matrix (AC3).  This is a total of thirteen (13) profit center purchased.  By making these purchases, a distributor is qualified to additional commissions and benefits including the right to purchase profit centers in different markets.  They are told that as the profit centers earn all of their cycles and are paid off, the $3,000 investment in profit returns will pay a $383,000 returned of investment.  This does not count additional free profit centers given as discussed in point 9.  This may be in violation of both pyramid and business opportunities laws.

Prospective members may become Premium Members by making a $3,000 partially paid gift card order along with a $600 fully paid Gift Card Order.  But, again, this is not a required purchase, either to become a Member or an IBR.  No obligation exists that a prospective Member must purchase the $3,000 partially paid/$600 fully paid Gift Card Order combination.

As importantly, these amounts represent orders for gift cards that will be used by the Member to shop at local, regional, and national retailers that are called Lyoness Loyalty Merchants.  A Member receives cash back when shopping at a local, regional, and national retailers (Lyoness Loyalty Merchants) and receives a friendship bonus when other Members referred to Lyoness by that Member also shop at such retailers.  The $383,000.00 amount is not used in any Lyoness or Lyoness-approved presentation, nor are we aware of any such number being used by any Independent Business Representatives (“IBRs”), nor do we know of how it was arrived at by the accuser. If such presentation exists, we would like to be made  aware  of  it  immediately  so  Lyoness  can  investigate  and  issue  an  appropriate response.

Absolutely nowhere in any Lyoness approved literature, webinars, internet promotional presentations or elsewhere does Lyoness make any assertion, claim, promise or other statement of “profit returns” that a Member may enjoy.  No return of money or profits is guaranteed by Lyoness.  For Members to save money through Lyoness, they must be pro- active in shopping. For Members and IBRs to earn money in Lyoness, they must be pro- active in referring Members who also shop.  The money derives from shopping rebates that are paid by retailers and not by Lyoness directly or from Lyoness’ business.

In describing Gift Card orders as “investments” and alleging a “$383,000 returned [sic] of investment, the writer is attempting to paint the Lyoness opportunity as a security, and in particular as an “investment contract.”  As the writer has consistently done throughout the letter, he or she makes sweeping legal conclusions without any legitimate legal analysis. When an analysis of securities law is made and the Lyoness program is viewed within such a context, it becomes evident that Lyoness is a legitimate cash back shopping community.

As defined in the Securities Act of 1933, the term “security” means:

any note, stock, treasury stock, security future, security-based swap, bond, debenture, evidence of indebtedness, certificate of interest or participation in any profit-sharing agreement, collateral-trust certificate, preorganization certificate or subscription, transferable share, investment contract, voting-trust certificate, certificate of deposit for a security, fractional undivided interest in oil, gas, or other mineral rights, any put, call, straddle, option, or privilege on any security, certificate of deposit, or group or index of securities (including any interest therein or based on the value thereof), or any put, call, straddle, option, or privilege entered into on a national securities exchange relating to foreign currency, or, in general, any interest or instrument commonly known as a “security,” or any certificate of interest or participation in, temporary or interim certificate for, receipt for, guarantee of, or warrant or right to subscribe to or purchase, any of the foregoing.

The most common instrument with which problematic MLM programs have been prosecuted under securities laws is that of an “investment contract.”   An investment contract has been defined by federal case law as:   (1) an investment of money; (2) in a common enterprise; and (3) with an expectation of profits derived substantially from the efforts  made  by  those  other  than  the  investor  [Member]  which  are  the  undeniably significant ones — those essentially managerial efforts which affect the failure or success of the enterprise. The U.S. Supreme Court has defined a “common enterprise” as:

[an enterprise] in which the fortunes of the investor are interwoven with and dependent upon the efforts and success of those seeking the investment or of third parties.

Fundamentally, for an investment contract or security to exist, there must be a payment of money to a third party with the expectation that the third-party will turn that money into a profit for the payor.   The purchasing of goods is not an investment contract because the individual is acquiring a fungible, consumable good for which the market has established a price.   The Gift Cards Lyoness Members may purchase through Lyoness are fungible, consumable goods and not an investment Lyoness sells with the expectation of turning that money into more profits for the Members.  An investment of money carries with it the possibility of a gain or loss, whereas, the purchase of a product or service is simply a sales transaction with no expectation of gain and no possibility of loss.

The  Lyoness  Compensation  Plan  allows  Members  to  receive  a  1%  or  2%  cash  rebate credited to their Lyoness cash account on all personal purchases made within the Lyoness Loyalty Merchant network.  Upon earning $10 in Cashback rebates, the money is then transferred via ACH to the Member’s personal bank account.

A Lyoness Member is an individual who is referred by an existing Lyoness IBR or Member and registers for free with the Lyoness program with no minimum purchase requirement.

By purchasing consumer goods at participating Lyoness Loyalty Merchants/retailers, a Member can earn supplemental income by receiving cash back on personal purchases made within  the  Lyoness  Loyalty  Merchant  network.    A  Member  is  not  required  to  make purchases, but if a Member makes purchases within the Lyoness network he earns cash back on purchases made.

A Member does not have to pay any money to Lyoness to be eligible to receive cash back. The cash back is earned by shopping at participating Lyoness Merchant stores or on the Lyoness  online  shopping  forum.    The  origin  of  the  cash  back comes directly from the Lyoness retailer who pays a percentage rebate back to Lyoness from the money the Merchant earned from the Member’s shopping.

The ability of a Member to earn cash through the Cashback Program is completely independent of the success of the Lyoness business as a whole.   The individual Member only  earns  cash  back  if  the  Member makes  purchases  within  the  Lyoness  network  at Lyoness Loyalty Merchants.

In order for a Member to earn supplemental income from the shopping activity of direct or indirect Members, no investment of money or any payment occurs on the part of the Member.   A Member’s direct and indirect Members who make personal purchases at Lyoness Loyalty Merchants or place Fully Paid Gift Card orders also earn Cashback.

Similarly, the Lyoness Friendship Bonus Program is not an “investment of money” because it does not carry with it a possibility of gain or loss.  The Member’s direct or indirect Members make purchases and take immediate possession of goods.  When a Member’s direct or indirect Members make these purchases, a Member earns a Friendship Bonus of .05%.

Once a Member begins to participate in the Lyoness program by purchasing goods at participating Lyoness Loyalty Merchants, the Member begins to accumulate Accounting Units.    One Accounting Unit is earned each time a Member earns $75 of Loyalty Credit, “remaining rebates” from shopping.

When an Accounting Unit is created, it is booked in the Lyoness Accounting Program.  Once a Member meets a threshold requirement of 70 Accounting Units in the first Accounting Category following achieving their first Accounting Unit by shopping, the Lyoness program pays the Member Loyalty Cash.

An “Accounting Unit” does not represent an ownership interest in Lyoness or an investment return  that  measures  profits  of  some  kind.    Rather,  an  “Accounting  Unit”  is  merely  a tracking device that allows both Lyoness and a Member to track and plot the volume of shopping done by a Member and a Member’s enrollees or lifeline. The act of shopping by a Member or a Member’s enrollee generates a certain amount of rebates paid by Lyoness retailers, which in turn generate other Lyoness benefits like Loyalty Cash and Loyalty Credit. An Accounting Unit is, therefore, simply a way to track a Member’s shopping activity, which in turn establishes the basis for the benefits that a Member receives.

 Individual “Accounting Units” are not something that a Member can sell in a public or private market.  Similarly, a Member cannot trade individual Accounting Units to other Members as the individual Accounting Units are non-transferrable.  A Member who wishes to leave the Lyoness Program can, however, find another Member in such Member’s upline to reimburse the departing Member’s partial payment on a gift card order and receive the departing Member’s Partially Paid Gift Card Order in exchange for having received his original payment back.  This return of the Accounting Units is not based on any appreciable increase in value of the Units but is simply a dollar-for-dollar reimbursement of what the departing Member had originally paid for such gift card order.

Once an Accounting Unit is created, it is booked into the Lyoness Accounting Program.  The Accounting Program tabulates and tracks a Member’s Accounting Units, which, in turn, is a way to tabulate and track a Member’s shopping activity and the Lyoness benefits that the shopping activities generate.  The Program calculates Loyalty Cash, Loyalty Credits, Loyalty Commissions, Loyalty Commission Bonuses, Bonus Units, Category Rebooking, Volume Commission and Volume Bonuses. Each Accounting Unit in the Accounting Program may have no more than two (2) other Accounting Units linked to it directly. An Accounting Program is broken down into five (5) categories. Once a Member completes a category, Accounting Units automatically move up the program to the next Accounting Category. Advancement is based on the shopping volume generated at Lyoness retailers, including the volume generated by the Member and his team.

The Loyalty Cash component of the Lyoness Compensation Plan is also neither a “payment of money” nor an “investment of money” because the Accounting Units are created from the rebates the Member earns while shopping within the Lyoness Loyalty Network.  In fact, no Loyalty Cash can be earned from a Member’s Accounting Unit that was created through the paying of money to Lyoness (in the form of a partially paid Gift Card order). The creation of Accounting Units is done through the purchase of products and is simply a sales transaction with no expectation of gain and no possibility of loss.  The Member controls his or her fate as it relates to earning Loyalty Cash because it is simply a function of how often and how much shopping that Member does.  Lastly, no goods are being sold by Lyoness. The shopping relationship is between the Member and the Lyoness Merchants/retailers.

Another Lyoness compensation benefit is a “Loyalty Credit,” which cannot be considered a return of a profit or investment for Members.   Loyalty Credit is a shopping credit that a Member earns once an Accounting Unit is generated from a partially paid Gift Card order and followed by a certain number of additional Accounting Units. Accounting Units are generated by both the Member and the Member’s lifeline of other Members enrolled directly or indirectly by that Member.

The Loyalty Credit component of the Lyoness Compensation Plan permits a Member to create more “Accounting Units” within his/her Lyoness program in anticipation of future shopping without first having to wait for actual shopping volume that then creates the Accounting Unit.  A Member can pre-order Gift Cards from participating Lyoness Loyalty Merchants by making a down payment to Lyoness.  This pre-order of a Gift Card functions as a Partially Paid Gift Card Order to Lyoness.

The amount of the down payment for the Gift Card order that a Member must pay is determined by the amount of the shopping rebate that Lyoness and the Member earn from the Lyoness retailer, which is a pre-established and negotiated rate agreed upon between Lyoness and the retailer.  The partial payment on a Gift Card is treated by Lyoness as the rebate that it has earned from the retailer from whom the Member went shopping and bought its goods.   As such, the partial payment on a Gift Card is an outright sale of a fungible product – a Gift Card – rather than an investment to Lyoness paid by a Member(s).

Depending on the amount of the partially paid Gift Card order, a certain number of Accounting Units are created.  By making partially paid Gift Card orders a Member can accumulate Accounting Units at a faster rate than if no partially paid Gift Card orders were made, which, in turn, allows a Member to have the potential to earn more Lyoness benefits once those Accounting Units fully mature from the Member’s shopping and from the shopping of referred Members – the more Accounting Units a Member possesses, the more Lyoness benefits such Member is eligible to receive, but the Accounting Units in and of themselves have no value.

To earn Loyalty Credit, the unit must be created by a Member making a partially paid Gift Card Order. The Member can redeem the full value of the Gift Card at any time by paying the Remaining Balance of the Gift Card order or by redeeming sufficient credits within the Loyalty Program to pay off the remainder due on the Gift Cards.

If a Lyoness Member does not shop within the Lyoness Merchant Network, does not enroll other Members who shop, the Member earns no benefits – irrespective of how many Accounting Units that Member has booked.   By making purchases within the Lyoness Merchant Network, a Lyoness Member promotes the growth of a communal shopping community in which all Members benefit.

The bottom line with Lyoness or any other legitimate MLM business is that in order to make money, Members cannot be passive.  To make a small amount of money, a modest amount of effort is required.  To make a substantial amount of money, a Member must work hard. There are no short cuts to success in Lyoness – It takes hard work.

A Member cannot earn cash back unless the Member actively makes purchases within the Lyoness Merchant Network. For Members to earn cash back, they must rely solely on their own efforts of shopping within the Lyoness network and not on the efforts of other Members within the program.

Lyoness Members do not simply find ‘warm bodies that [are] willing to attend’ meetings. Lyoness Members actually have to work to convince others to join the Lyoness program, make purchases and make down payments on partially paid Gift Card orders.    A Lyoness Member has more autonomy in recruiting new Members and his or her efforts are the significant ones to recruit new Members, rather than the efforts of Lyoness corporate.  The recruitment requirements of a Lyoness Member are not merely perfunctory or administrative so as to render it only symbolic and of little consequence.  To the contrary, Lyoness corporate does not recruit but only provides training, educational support, and marketing  materials  to  Members  to  help  Members  with  their  recruitment  efforts. Members decide where, when and how to recruit provided they follow Lyoness guidelines and protocol.

For the reasons stated above, no “profit centers” exist in the Lyoness program and this is a term entirely concocted by the writer.  Based on our description above, Lyoness illustrates how Members are not receiving any “return on investment” or “profit returns” paid from Lyoness.   The benefits to be gained are derived from shopping and recruiting of new Members who in turn actively shop within the Lyoness network.

5. Lyoness has a uni-level structure.   In the uni-level distributors are a paid an amount based on the number of new profit centers are sold. This should be a blatant pyramid law violation.

The author first alleges Lyoness is a binary. Now he alleges it is a uni-level. As stated before, there are no “Profit Centers” in the Lyoness compensation strategy. Units are not sold but generated through shopping including, among other ways, sales of Gift Cards. Gift Cards are sold only to Lyoness Members (retail customers), some of whom are IBRs.  By shopping at participating Lyoness Loyalty merchants, a Member generates rebates and other benefits that can be used to generate Loyalty Credit or Loyalty Cash.   A Member also benefits by introducing new Members who in turn sign up and join Lyoness and also shop actively through the Lyoness shopping community.

For our explanation of why Lyoness complies with regulatory law and does not satisfy the definition of a pyramid, see Number 2, above. (Click Here)

 

Editor’s disclosure… After I published my first report, the parent company of this website “Deep South Companies Inc., was contracted by Lyoness to consult on compliance issues, and how to control the misrepresentation of the Lyoness business model on the internet. You can read our full disclosure report by clicking here. 

Lyoness Worldwide Clarification: The Lyoness America Compensation Structure That Is The Focus On Concern

Lyoness Cashback - Money Back With Every Purchase - Lyoness US

On July 22nd, 2013 I wrote an article on Lyoness America titled “Lyoness America Violating Pyramid, Ponzi, Business Opportunity & Security Regulations?“. In this MLM Perspective I also linked to several articles written on Lyoness Worldwide and cause some confusion as to what my main concern was focused on. This video is to clarify that the focus here at MLM Help Desk in regards to the Lyoness culture is focused at this tine ONLY on Lyoness America.

I also want to thank everyone who has come into the MLM Help Desk community and added value to this conversation. It is through open and straightforward conversation that people are able to find enough information from all sides of the topic, for them to make an informed decision.

Lyoness Cashback - Money Back With Every Purchase - Lyoness US

And if you are reading this post on Lyoness America, then I challenge you to take your time and gather all the info you can. Lyoness America may very well operating well within the rules and regulations of North America. But if there is anywhere in their compensation structure that causes their business model to tip into what looks like a  ponzi or pyramid to regulators, then it could trigger an investigation, and could slow the success of those independent professionals marketing the underlying business of money back discount shopping.

I know firsthand the struggle of building a business when it is under investigation. I was an independent professional with A.L. Williams/Primerica during the early years, and each appointment started off with critical reports my prospects had been given, read or saw on TV.

 

 

 

Lyoness America Violating Pyramid, Ponzi, Business Opportunity & Security Regulations?

I was in Dallas a few months ago, and received an envelope with a document titled “Notification of Lyoness America violation of Pyramid, Ponzi, Business Opportunity and Security Regulations. Even though this two page document came from a very well-known direct sales, MLM, Network Marketing expert, we waited and continued to research the regulations and what regulators have been doing to close down money schemes in the USA.

Editor’s Update: It was pointed out to me by Jack Weinzierl, that I stated Lyoness was based out of Australia. I should have stated Austria.

Currently the Financial Fraud Enforcement Task Force, is moving throughout the USA closing down and getting solid convictions and settlements for the consumers. If  Lyoness is found to be a Pyramid or Ponzi, then you can bet the settlements will be in the multi-millions of dollars. Hopefully, it will not be another Zeek Rewards!

Financial Fraud Enforcement

The Financial Fraud Enforcement Task Force is made up of the senior-level officials from the following federal departments, agencies and offices for Best Tig welder:

This type of collaboration between agencies may be the biggest in history and is driving the activity we are currently seeing. Sadly, short sellers, critics and many in the media have not yet figured out, that agencies like the FTC (Federal Trade Commission) is not going easy on network marketing companies. Instead they are using their resources to truly nail the contrepreneurs — (marketers who use hyped-up promises to sell business opportunities to people eager to be their own boss.) That term was first used by Lesley Fair in the article titled: Cracking down on contrepreneurs.

So, back to Lyoness…

Lyoness

 

So even though Lyoness International have been around for 10 years, that doesn’t make it legal in the USA, and they may have to defend their compensation model if the alligations below are found to be true. This same issue has happened to US based companies who have gone into Great Britain, Austraila, China, and other counties.

Lyoness Cashback - Money Back With Every Purchase - Lyoness US

The following are links to other investigative editorials which seems to strengthen the purported alligations I received. I pulled from BehindMLM, not because I always agree with Oz, but because I trust him to report the facts… And a little subjective opinion from time to time 🙂

BehindMLM

May 2012: Lyoness US Review: Cashback and investment returns?

April 2013: Lyoness lawsuits and investigation in Austria

May 2013: Lyoness CEO: “It’s all about positions!”

May 2013: Lyoness 2012 Income Disclosure Statement analysis

June 2013:  Lyoness corporate webinar spells out Ponzi scheme

Complaint Centre Lyoness

The above website is dedicated 100% to covering the Lyoness Company worldwide!

Here is the one article I have written over the last couple of years on Lyoness:

May 2012: MLM News Update: Lyoness Hires MLM Law Firm Grimes & Reese To Represent Them In The USA

You can review the alligations below! We will continue to follow Lyoness and update this community as more info on Best Tig welder is published.

Lyoness America

Lyoness America