IF YOU PURCHASED A BUSINESS OPPORTUNITY FROM WEALTH ASSISTANTS, YOU MAY BE ENTITLED TO A PAYMENT FROM CLASS ACTION SETTLEMENTS.
The Settlement Class is defined as “All individuals who (a) purchased services relating to the setup or management of an online store from Yax Ecommerce LLC, Precision Trading Group, LLC, WA Distribution LLC, Providence Oak Properties, LLC, WA Amazon Sellers LLC, and Yax IP and Management Inc. (collectively, “Wealth Assistants”) between June 2021 and November 2023, (b) did not make a profit on their purchase of that business opportunity, and (c) have never been owners, employees, legal representatives, or successors of Wealth Assistants.” (“Class Members”).
Proposed Settlements have been reached with (1) Defendants Max K. Day; Max O. Day; Michael Day; Jared Day; Precision Trading Group, LLC; and Providence Oak Properties LLC (collectively, the “Day Defendants”); (2) Christine Hagar; (3) Total Apps, Inc.; and Reyhan Pasinli (collectively, the “Total Apps Defendants”); and (4) Travis Marker; The Law Office of Travis R. Marker, a Professional Corporation (d.b.a. “Marker Law and Mediation”); and Parlay Law Group, A Professional Corporation (collectively, the “Marker Defendants,” and together with Day Defendants, Christine Hagar, and Total Apps Defendants,” the “Settling Defendants”).
The Settlements provide for Two Hundred and Twenty-Two Thousand Dollars ($222,000) collectively, in cash (the “Settlement Funds”) paid pursuant to the terms of the Settlements entered into between Plaintiffs and Settling Defendants. More specifically, the Day Defendants have agreed to pay $125,000; Christine Hagar has agreed to pay $24,500; the Marker Defendants have agreed to pay $57,500; and the Total Apps Defendants have agreed to pay $15,000. The net proceeds from these Settlements (after deduction of any fees and expenses, all as described in the Notice) will be distributed to Class Members on a pro rata basis pursuant to the plan of allocation described in the Notice.
If you are a Class Member (and do not exclude yourself from the Class), you can object to the Settlements or Class Counsel’s request for an award of attorneys’ fees and expenses. Any objection must be in writing and must include all grounds for the objection. More details about the process for submitting any objection are included in the Notice. The Court will consider your views.
The Fairness Hearing will be held before the Honorable Wesley L. Hsu on June 23, 2026, at 2:30 p.m., in Courtroom 9B of the United States District Court for the Central District of California, First Street U.S. Courthouse, 350 W. First Street, Los Angeles, California 90012. At the Fairness Hearing, the Court will determine:
- whether the Settlements are fair, reasonable, and adequate, and should be finally approved by the Court;
- whether the judgments provided for under the Settlements should be entered, dismissing the claims against Settling Defendants, and whether the releases set forth in the Settlements should be ordered;
- whether Class Counsel’s motion for an award of reasonable attorneys’ fees and reimbursement of litigation expenses should be approved.
Deadlines:
| Submit Claim Form to request distribution from Class Settlement | May 23, 2026 |
| Request Exclusion: | May 23, 2026 |
| File Objection to Settlements: | May 23, 2026 |
| File Objection to Settlement Class Counsel’s request for attorney’s fees and expenses | May 23, 2026 |
| Court Hearing on Fairness of Settlements: | June 23, 2026 |
To File an Online Claim -https://powerforms.docusign.net/4733ff37-822a-41df-8f60-b4f346187643?env=na2&acct=5899a7b6-893e-4671-ba6b-96abf6989d72&accountId=5899a7b6-893e-4671-ba6b-96abf6989d72