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Compliance Commitment

Last updated: September 27, 2026

JAG Solutions NY LLC’s policy is to conduct its activities in accordance with applicable federal, state, and local requirements. This commitment applies to company personnel and contractors acting on JAG’s behalf.

Jurisdiction-specific activity

Before conducting an activity in a jurisdiction, JAG must determine whether the activity requires licensing, registration, disclosures, notices, or other prerequisites.

Activities requiring unmet authorizations must not proceed. Describing a service as consulting does not remove requirements that apply to the actual conduct.

Clear transaction roles

JAG’s role must be accurately communicated. Where JAG acts as a buyer or assignor, required disclosures must identify that role and the nature of the interest involved.

Statements about ownership, available properties, buyer interest, funding, approvals, and transaction status must be accurate and supported.

Calls, texts, and email

Outreach must comply with applicable consent, identification, do-not-call, calling-time, opt-out, and recordkeeping requirements.

Obtaining a telephone number from public records or a data provider does not automatically authorize all forms of outreach. A website inquiry is not blanket permission for unrelated marketing.

Requests to stop marketing must be recorded and applied across the relevant company systems and personnel. Marketing consent must not be treated as a condition of purchasing property or services where prohibited.

Recording communications

Any recording or transcription process must satisfy applicable notice and consent requirements, including requirements arising from the locations of participants.

Fair treatment

JAG prohibits unlawful discrimination based on race, color, religion, national origin, sex, familial status, disability, or other characteristics protected by applicable federal, state, or local law.

Property research and opportunity evaluation must use lawful, relevant criteria rather than discriminatory preferences or proxies.

Privacy and security

Personal information must be handled consistently with the Privacy Policy and applicable law. Access should be limited to legitimate business needs, and suspected misuse or security incidents must be reported promptly.

Contractor conduct

Contractors must work within their assigned scope and authority. They must not invent credentials, misrepresent relationships, disregard opt-out requests, or make unauthorized promises on JAG’s behalf.

Concerns and requests

Contact support@jagsolutionsny.com with the subject “Compliance Concern.”

Include enough information for us to investigate, but do not send bank credentials or other unnecessary sensitive information. Raising a good-faith concern will not result in retaliation.

Nothing on this page restricts your right to contact an attorney, regulator, or other appropriate authority.