SEC v. Esos Rings, Inc. and Michelle Silverstein aka Michelle Silverstein Bisnoff (ponzi schemes, 2023)
Judgment entered
Machine-extracted, pending human review. The structured fields on this page were parsed automatically from the regulator's own release, linked below. Read the primary document before relying on any figure here, and tell us if something is wrong.
In 2023, the Securities and Exchange Commission obtained a judgment against Esos Rings, Inc. and Michelle Silverstein aka Michelle Silverstein Bisnoff, alleging conduct this library classifies as ponzi schemes. The release records a civil penalty of $233,229, disgorgement of $566,483, prejudgment interest of $46,836.
The record
| Agency | SEC |
|---|---|
| Release number | LR-25826 |
| Date filed | 2023-09-12 |
| Date resolved | 2023-09-12 |
| Court | U.S. District Court, Central District of California |
| Status | judgment |
| Criminal parallel | No |
| Bars imposed | officer-and-director bar |
| Defendants | Esos Rings, Inc. ; Michelle Silverstein aka Michelle Silverstein Bisnoff |
| Techniques | Ponzi schemes |
What was ordered
- Civil penalty
- $233k
- Disgorgement
- $566k
- Prejudgment interest
- $46.8k
- Total relief
- $847k
- Alleged gain
- —
What is alleged to have happened
the Securities and Exchange Commission announced this matter on September 12, 2023 as release LR-25826. The respondents named are Esos Rings, Inc. and Michelle Silverstein aka Michelle Silverstein Bisnoff (1 individual, 1 entity). The action was brought in the U.S. District Court, Central District of California.
This library tags the matter as ponzi schemes, based on the conduct the regulator describes. Each tag links to a page explaining how that technique works, what statute it engages, and what penalties comparable actions have attracted. The tagging is ours, not the regulator's: agencies charge statutory provisions, not technique names.
The relief recorded in our data is a civil monetary penalty of $233,229, disgorgement of $566,483, prejudgment interest of $46,836. Penalty and disgorgement are distinct: disgorgement returns the gain, while the penalty is punitive. We store them separately so that aggregate figures across the library are not double-counted.
Non-monetary relief recorded: officer-and-director bar.
For the regulator's own account of the facts, read the primary document linked above. This page deliberately summarises the structured record rather than reproducing the release.
What technique is this, and how does it work?
This action is tagged with one technique in our taxonomy. The tagging is ours: regulators charge statutory provisions, not technique names, so the mapping is an editorial judgement described in our editorial policy.
- Ponzi schemes — see how it works, what statute it engages, and every other action tagged the same way.
Timeline
- 2023-09-12 Litigation release published
Primary documents
Everything on this page derives from the documents below. Where our summary and the primary document disagree, the primary document is right.
Related actions
Other actions in the library sharing at least one technique tag with this one.
| Action | Agency | Filed | Technique | Penalty | Status |
|---|---|---|---|---|---|
| SEC v. Mark D. Hanf and Hoai-Nam Chu Phan a/k/a Nam Phan (ponzi schemes, 2026) | SEC | 2026-09-04 | Ponzi Schemes | — | settled |
| SEC v. David T. Gilchrist, Christopher Aaron Novinger, Rebecca Novinger (ponzi schemes, 2026) | SEC | 2026-09-01 | Ponzi Schemes | — | unknown |
| SEC v. Mordechai Haim Ferder and others (ponzi schemes, 2026) | SEC | 2026-09-01 | Ponzi Schemes | — | unknown |
| SEC v. Leor Moshe, Jacob Goldman, Isaac Odes (ponzi schemes, 2026) | SEC | 2026-08-13 | Ponzi Schemes | — | filed |
| CFTC v. Goliath Ventures Inc. and CEO (ponzi schemes, 2026) | CFTC | 2026-08-11 | Ponzi Schemes | — | filed |
| SEC v. Goliath Ventures, Inc. and Christopher A. Delgado (ponzi schemes, 2026) | SEC | 2026-08-11 | Ponzi Schemes | — | settled |