(a) Business Development
The Company was organized under the laws of the
State of Nevada on September 19, 2009, under its current name. The Company was a development stage company with the goal of becoming
a design, engineer, construct, market and sell high-quality PV SEFs for commercial and utility applications to local markets.
Prior to June 1, 2012, we were engaged in
exploration for commercially recoverable metal-bearing mineral deposits. On June 1, 2012, we entered into an agreement with Xunyang Yongjin
Mining Co., Ltd. to transfer our mining exploration rights for a cash payment. Further, on December 30, 2013, our subsidiary, Shaanxi
Changjiang Mining & New Energy Co., Ltd (“Shaanxi Changjiang”), entered into Equity Transfer Agreements with officers of
the Company, whereby the Company’s subsidiaries were sold off.
Business operations for China Chingjiang Mining
& New Energy Energy Co., Ltd. and its subsidiaries were abandoned by former management and a custodianship action, as described in
the subsequent paragraph, was commenced in 2020. The Company filed its last 10-Q in 2017, this financial report included liabilities and
debts. As of the date of this filing, these liabilities and debts have not been addressed and remain on the Company’s books.
On February 3, 2020, the Eighth District Court
of Clark County, Nevada granted the Application for Appointment of Custodian as a result of the absence of a functioning board of directors
and the revocation of the Company’s charter. The order appointed Small Cap Compliance, LLC (“SCC”) custodian with the
right to appoint officers and directors, negotiate and compromise debt, execute contracts, issue stock, and authorize new classes of stock.
The court awarded custodianship to Small Cap Compliance,
LLC (sole member is Rhonda Keaveney) based on the absence of a functioning board of directors, revocation of the company’s charter,
and abandonment of the business. At this time, Ms. Keaveney was appointed sole officer and director.
Upon appointment as custodian of CHJI and under
its duties stipulated by the Nevada court, SCC took initiative to organize the business of the issuer. As custodian, the duties were to
conduct daily business, hold shareholder meetings, appoint officers and directors, reinstate the company with the Nevada Secretary of
State. SCC also had authority to enter into contracts and find a suitable merger candidate. SCC was compensated for its role as custodian
in the amount of 1,000,000 shares of Convertible Series C Preferred Stock. SCC did not receive any additional compensation, in the form
of cash or stock, for custodian services. The custodianship was discharged on May 18, 2020.
On August 23, 2020, SCC entered into a Stock Purchase
Agreement with Bridgeview Capital Partners, LLC whereby Bridgeview Capital Partners, LLC purchased 1,000,000 shares of Convertible Series
C Preferred Stock. These shares represent the controlling block of stock. Ms. Keaveney resigned his position of sole officer and director
and appointed Dr. Chongyi Yang as CEO, Treasurer, Secretary, and Director of the Company.
Bridgeview Capital Partners, LLC is controlled by Michael Dobbs and
Sean Lanci.
On August 23, 2020, Bridgeview Capital Partners,
LLC entered into a Stock Purchase with Cathay Capital Management Inc. (“Cathay”) whereby Cathay purchased 1,000,000 shares
of Convertible Series C Preferred Stock. Chongyi Yang is the control person for Cathay.
The Company transitioned from mining to clean new energy. Our current
business is focused on the solar photovoltaic, or “PV”.
When the sun shines onto a solar panel, energy from the sunlight
is absorbed by the PV cells in the panel. This energy creates electrical charges that move in response to an internal electrical
field in the cell, causing electricity to flow.
Concentrating solar-thermal power (CSP) systems use mirrors to reflect
and concentrate sunlight onto receivers that collect solar energy and convert it to heat, which can then be used to produce electricity
or stored for later use. It is used primarily in very large power plants.
The Company’s green energy business unit is committed to providing
customers and partners with professional and comprehensive green new energy project solution services.
We build rural revitalization smart new energy photovoltaic. Specifically
we will focus on 5G smart street lamp energy storage and charging, integrated charging stations and rural new energy vehicles, low-carbon
parks, and commercial and household rooftop photovoltaic green power.
Industry overview
Solar photovoltaic energy is an emerging, clean energy industry with
a growing market share. Application of solar energy in developed countries such as Germany and Japan, are relatively comprehensive and
mature. At the present time, the Chinese PV downstream market is still in the initial stages of development, though most of the PV modules
are manufactured in China.
China's solar PV module manufacturers were hit by the European Union
and the United States anti-dumping sanctions. Businesses and governments are trying to find better alternative applications market to
absorb the huge domestic surplus solar PV capacity. The untapped domestic PV downstream market is one of the best ways to absorb the surplus
production capacity.
The Chinese government is encouraging the construction of a large PV
base and the development of distributed photovoltaic. Currently, we mainly focus on the development of distributed photovoltaic power
generation projects.
We believe the next few years will show protracted continued growth
in the PV solar market. Government policies, in the form of both regulation and incentives, have accelerated the adoption of solar technologies
by businesses and consumers and have provided opportunities for developers to construct PV systems as an alternative to more traditional
forms of power generation.
Our Industry and Principal Market
Sales and Marketing
We are establishing a sales and marketing department which is focused
on identifying and establishing relationships with entities that are likely to have a need for our products and services.
Our products and services are expected to be largely represented through
our Company's sales force located in China
Current Business Operations
At the present time, our focus is on serving the local solar PV generation
market.
The following chart illustrates our distributed solar PV business
model.
Solar PV Industry
General
Though we may be a new participant in solar PV industry, we also realized
that the local downstream market of solar PV industry was as new as we are. Experience in some developed countries has shown that there
should be a business opportunity in China's PV downstream market in the near future.
Each of our EPC projects is a strategic long-term investment, with
relatively low risk, a stable cash inflow can be generated and little ongoing maintenance costs would be incurred once the project begins
operations.
Competition
We anticipate that our competitors in the solar PV markets will be
local and regional EPC contractors and developers. Other companies in China that engage in solar PV power generation that we consider
to be likely competitors, include: Xi'an Huanghe Photovoltaic Technology Co., Ltd., Shaanxi Tuori New Energy Technology Limited, and Shaanxi
Changling Electric Co., Ltd., etc. These competitors have more experience in the operation of solar PV energy and have superior financial
resources than we do.
The entire solar industry also faces competition from other power generation
sources, both conventional sources as well as other emerging technologies. Solar power has certain advantages and disadvantages when compared
to other power generating technologies. The advantages include the ability to deploy products in many sizes and configurations, provide
reliable power for many applications, serve as both a power generator and the skin of a building and eliminate air, water and noise emissions.
The disadvantages mainly came from the relatively high cost of power generation.
The cost of electricity generated by PV products currently is very
close to the cost of electricity generated from conventional power such as coal and hydropower in Chinese markets. A significant reduction
in the scope or discontinuation of government incentive programs could cause demand for our products and our revenue to decline, and have
a material adverse effect on our business, financial condition, results of operations and prospects.
As an emerging industry, the rapid growth of the solar PV could reduce
the intensity of competition from alternative products and services.
In the near term, mature government subsidy roadmaps from the government
have led developers to be aggressive with their solar installations so that they can enjoy better economic returns. Cost reductions of
solar installations have proven to be viable and have also led to aggressive solar installation. In the long run, we believe that solar
energy continues to have significant future growth potential and that demand for our products and services will continue to grow significantly
for the following reasons:
|
· |
increasing demand for renewable energies, including solar energy, due to the finiteness of fossil fuels and concerns over nuclear power; |
|
|
|
|
· |
increasing environmental awareness leading to regulations and taxes aimed at limiting emissions from fossil fuels; |
|
|
|
|
· |
continued adoption or maintenance of government incentives for solar energy at all level of Chinese government; |
|
|
|
|
· |
narrowing cost differentials between solar energy and conventional energy sources due to market-wide decreases in the average selling prices for PV products driven by lower raw materials costs and increased production efficiencies; and |
|
|
|
|
· |
continued improvements in the conversion efficiency of PV products leading to lower costs per watt of electricity generated, making solar energy more efficient and cost-effective. |
PV Government Regulation
This section sets forth a summary of the most significant regulations
or requirements that affect our business activities in China.
Regulations issued or implemented by the State Council, China's National
Development and Reform Commission ("NDRC"), and other relevant government authorities cover many aspects of new energy industry,
including, but not limited to the following principal regulations:
Renewable Energy Law
On December 26, 2009, China revised its Renewable Energy Law,
which originally became effective on January 1, 2006. The revised Renewable Energy Law became effective on April 1, 2010 and
has laid the legal foundation for developing renewable energy in China. These laws lay the foundation for future regulation.
Renewable Energy Law clearly stipulates the following principles for
the development of new energy:
|
· |
To encourage and support the use of solar and other renewable energy and the use of on-grid generation. |
|
|
|
|
· |
To encourage the installation and use of solar energy water-heating systems, solar energy heating and cooling systems, solar PV systems and other solar energy utilization systems. |
|
|
|
|
· |
To authorize the relevant pricing authorities to set favorable prices for the purchase of electricity generated by solar and other renewable power generation systems. |
|
|
|
|
· |
To provide financial incentives, such as national funding, preferential loans and tax preferences for the development of renewable energy projects. |
Historical Government Directives
In January 2006, the NDRC promulgated two implementation directives
of the Renewable Energy Law. These directives set forth specific measures in setting prices for electricity generated by solar and other
renewal power generation systems and in sharing additional expenses occurred. The directives further allocate the administrative and supervisory
authorities among different government agencies at the national and provincial levels and stipulate responsibilities of electricity grid
companies and power generation companies with respect to the implementation of the Renewable Energy Law.
China's Ministry of Construction issued a directive in June of
2005, which seeks to expand the use of solar energy in residential and commercial buildings and encourages the increased application of
solar energy in townships. In addition, China's State Council promulgated a directive in June of 2005, which sets forth specific
measures to conserve energy resources and encourage exploration, development and use of solar energy in China's western areas, which are
not fully connected to electricity transmission grids, and other rural areas.
In July 2007, the PRC State Electricity Regulatory Commission
issued the Supervision Regulations on the Purchase of All Renewable Energy by Power Grid Enterprises which became effective on September 1,
2007. To promote the use of renewable energy for power generation, the regulations require that electricity grid enterprises must in a
timely manner set up connections between the grids and renewable power generation systems and purchase all the electricity generated by
renewable power generation systems. The regulations also provide that power dispatch institutions shall give priority to renewable power
generation companies in respect of power dispatch services provision.
On September 4, 2006, China's Ministry of Finance and Ministry
of Construction jointly promulgated the Interim Measures for Administration of Special Funds for Application of Renewable Energy in Building
Construction, which provides that the Ministry of Finance will arrange special funds to support the application of renewable energy in
building construction in order to enhance building energy efficiency, protect the ecological environment and reduce the consumption of
fossil energy. These special funds provide significant support for the application of solar energy in hot water supply, refrigeration
and heating, PV technology and lighting integrated into building construction materials.
On October 28, 2007, the Standing Committee of the National People's
Congress adopted amendments to the PRC Energy-saving Law, which sets forth policies to encourage the conservation of energy in manufacturing,
civic buildings, transportation, government agents and utilities sectors. The amendments also seek to expand the use of the solar energy
in construction areas.
In March 2009, China's Ministry of Finance promulgated the Interim
Measures for Administration of Government Subsidy Funds for Application of Solar Photovoltaic Technology in Building Construction, or
the Interim Measures, to support the demonstration and the promotion of solar PV applications in China. Local governments are encouraged
to issue and implement supporting policies for the development of solar PV technology. These Interim Measures set forth subsidy funds
set at RMB 20 per watt for 2009 to cover solar PV systems integrated into building construction that have a minimum capacity of 50 kilowatt
peak.
In April 2009, the Ministry of Finance and the Ministry of Housing
and Urban-Rural Development jointly issued the "Guidelines for Declaration of Demonstration Project of Solar Photovoltaic Building
Applications." These guidelines created a subsidy of up to RMB 20 per watt for building integrated PV or BIPV projects using solar-integrated
building materials and components and up to RMB 15 per watt for BIPV projects using solar-integrated materials for rooftops or walls.
In July 2010, the Ministry of Housing and Urban-Rural Development
issued the "City Illumination Administration Provisions" or the Illumination Provision. The Illumination Provisions encourage
the installation and use of renewable energy system such as PV systems in the process of construction and re-construction of city illumination
projects.
On March 8, 2011, the Ministry of Finance and the Ministry of
Housing and Urban-Rural Development jointly promulgated the Notice on Further Application of Renewable Energy in Building Construction,
which aims to raise the percentage of renewable energy used in buildings.
On March 27, 2011, the NDRC promulgated the revised Guideline Catalogue
for Industrial Restructuring which categorizes the solar power industry as an encouraged item.
On March 14, 2012, the Ministry of Finance, the NDRC and the National
Energy Bureau jointly issued the interim measures for the management of additional subsidies for renewable-energy power prices, according
to which relevant renewable-energy power generation enterprises are entitled to apply for subsidies for their renewable power generation
projects that satisfy relevant requirements set forth in the measures.
On March 1, 2013, China's State Council issued the "Twelfth
Five Year Plan." The plan supports the promotion and development of renewable energy, including the solar energy. The plan also encourages
the development of solar PV power stations in the areas with abundant solar power resource.
On November 18, 2013, the National Energy Bureau issued "The Interim
Measures for the management of distributed photovoltaic power generation projects". The regulation contributes to promote the application
of distributed photovoltaic power and regulate the projects management.
On November 26, 2013, the Ministry of Finance announced that the power
generated by its own distributed PV power generation project could be exempted from imposing government fee, such as renewable energy
surcharges, fee for major national water conservancy construction, etc.
In January, 2014, the National Energy Administration of China
announced the PV installation target for 2014 to be 14GW, which includes 8GW for distributed PV systems and 6GW for large scale PV power
plants.
In the same month, the National Energy Administration of China
released a list of 81 "New Energy Demonstration Cities" and eight "industrial demonstration parks" in 28
and 8 provinces respectively. These cities and zones are required to achieve their respective mandatory targets in terms of solar
PV installations and the percentage of installed renewable energy power generation capacities by the end of 2015, or the end of the 12th
Five-Year-Plan.
In February 2014, the Certification and Accreditation Administration
and the National Energy Administration jointly issued the "Implementation Opinions on Strengthening the Testing and Certification
of PV Products." The implementation opinions provide that only certified PV products may be connected to the public grid or receive
government subsidies. The institutions that certify PV products must be approved by the Certification and Accreditation Administration.
According to the implementation opinions, PV products that are subject to certification include PV battery parts, inverters, control devices,
confluence devices, energy storage devices and independent PV systems.
In December, 2014, the National Energy Administration of China
released a list of 30 "distributed solar photovoltaic industrial application demonstration zone" to encourage the development
of distributed solar PV industry.
On January 28, 2015, the NEA of China announced the target for
national solar installations in 2015 to be 15GW, 8GW of which would be targeted for utility scale, 7GW for distributed generation.
On December 24, 2015, the National Development and Reform Commission
promulgated the Notice on the improvement of photovoltaic electricity price, which announced a new standard on-grid price implemented
from January 1, 2016 for solar PV electricity.
On December 15, 2015, the National Energy Bureau announced the annual
plan for the development of solar PV. The solar power installed capacity will reach 160GW, and total annual investment will reach 200
billion RMB for 2016, in the light of the plan.
Effect of Existing Securities and Exchange Commission Regulations
on the Business
We were subject to the Exchange Act and the Sarbanes-Oxley Act of 2002.
Under the Exchange Act, we are required to file with the SEC annual reports on Form 10-K, quarterly reports on Form 10-Q and current reports
on Form 8-K. The Sarbanes-Oxley Act creates a strong and independent accounting oversight board to oversee the conduct of auditors of
public companies and to strengthen auditor independence. It also (1) requires steps be taken to enhance the direct responsibility of senior
members of management for financial reporting and for the quality of financial disclosures made by public companies; (2) establishes clear
statutory rules to limit, and to expose to public view, possible conflicts of interest affecting securities analysts; (3) creates guidelines
for audit committee members’ appointment, and compensation and oversight of the work of public companies’ auditors; (4) prohibits
certain insider trading during pension fund blackout periods; and (5) establishes a federal crime of securities fraud, among other provisions.
We are also subject to Section 14(a) of the Exchange Act, which requires
all companies with securities registered pursuant to Section 12(g) of the Exchange Act to comply with the rules and regulations of the
SEC regarding proxy solicitations, as outlined in Regulation 14A. Matters submitted to our stockholders at a special or annual meeting
thereof or pursuant to a written consent requires us to provide our stockholders with the information outlined in Schedules 14A or 14C
of Regulation 14A. Preliminary copies of this information must be submitted to the SEC at least 10 days prior to the date that definitive
copies of this information are provided to our stockholders.
Employees
The Company currently has two executive officers Dr. Chongyi Yang serves
as Chief Executive Officer, Treasurer, and Secretary. Chunsheng Qin services as President.
Management of the Company expects to use consultants, attorneys and
accountants as necessary, and it is not expected that the Company will have any full-time or other employees, except as may be the result
of completing a transaction.
Intellectual Property
As of the date of this report, we do not own any
patents, trademarks, licenses, franchises, concessions, and royalty agreements, or other intellectual property contracts.
Available Information
Our Periodic Reports including Quarterly Reports
on Form 10-Q, Current Reports on Form 8-K and other reports, and amendments to those reports, and other forms that we file with or furnish
to the Securities and Exchange Commission (SEC) are available to review on the SEC’s EDGAR website.
Corporate Governance
In accordance with and pursuant to relevant related
rules and regulations of the SEC, the Board of Directors of the Company has established and periodically update our corporate governance
guide, which is applicable to all directors, officers and employees of the Company. We have not yet established an audit committee of
our board of directors.