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68 public court filings with full text and structured metadata

Data license: Public court records

2 rows where doc_type = "OA" and phase = "Phase 2" sorted by date descending

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party 2

  • Kassab 1
  • Pohl 1

phase 1

  • Phase 2 · 2 ✖

outcome 1

  • N/A 2

doc_type 1

  • OA · 2 ✖
filing_id date ▲ doc_type party description doc_type_detail procedural_posture chain outcome phase filename relief_requested full_text
21 2021-10-18 OA Pohl Pohl’s response and special exceptions Plaintiffs-Counter Defendants Pohl's Verified Original Answer and Special Exceptions to Kassab's Fourth Amended Answer, Counterclaim, and Designation of Responsible Third Parties Pohl's responsive pleading to Kassab's Fourth Amended Answer and Counterclaim filed on October 13, 2021. Filed October 18, 2021, five days after Kassab's amended pleading. Challenges Kassab's legal capacity to assert assigned barratry claims through verified denials and seeks clarification of the counterclaim through special exceptions. Attorney: Jean C. Frizzell of Reynolds Frizzell LLP. PLEAD-1 N/A Phase 2 2021-10-18_OA_Pohl-Response-and-Special-Exceptions_FILED.pdf That the Court render judgment that Kassab take nothing; dismiss Kassab's counterclaim for barratry on its merits; and grant such other and further or alternative relief (legal and equitable) to which Pohl may be entitled 10/18/2021 5:07 PM Marilyn Burgess - District Clerk Harris County Envelope No. 58297712 By: Deandra Mosley Filed: 10/18/2021 5:07 PM CAUSE NO. 2018-58419 MICHAEL A. POHL AND LAW OFFICE OF § IN THE DISTRICT COURT OF MICHAEL A. POHL, PLLC, § Plaintiffs, § V. § k § e SCOTT FAVRE and SCOTT M. FAVRE PA, § C l LLC; PRECISION MARKETING GROUP, § HARRIS COUNTY, TEXAS LLC; LANCE CHRISTOPHER KASSAB and § c LANCE CHRISTOPHER KASSAB, P.C. d/b/a § r THE KASSAB LAW FIRM; TINA § s NICHOLSON and BAKER NICHOLSON, § LLP d/b/a BAKER NICHOLSON LAW § s FIRM; and DOUGLAS MONTAGUE III and § s MONTAGUE PITTMAN & VARNADO, P.A., § Defendants. § r189TH JUDICIAL DISTRICT PLAINTIFFS–COUNTER DEFENDANTS MICHAEL POHL AND LAW OFFICE OF MICHAEL A. POHL, PLLC’S VERIFIED ORIGINAL ANSWERl AND SPECIAL EXCEPTIONS Plaintiffs–Counter Defendants MichMael Pohl and Law Office of Michael A. Pohl, PLLC (collectively “Pohl”), file this Verified Original Answer and Special Exceptions to Defendants, Lance Christopher Kassab and Lance Christopher Kassab, P.C. d/b/a The Kassab Law Firm’s Fourth Amended Answer, Affirmative Defenses and Counterclaim, and Designation of Responsible Third Parties, filed October 13, 2021 (the “Counterclaim”), and would show as follows:  I. Verified Denials Pursuant tco Rules 93(1) and 93(2) of the Texas Rules of Civil Procedure, Pohl denies that Lance Christopher Kassab and Lance Christopher Kassab, P.C. d/b/a The Kassab Law Firm (collectively “Kassab”) has legal capacity to sue or recover in the capacity in which he sued. Kassab purports to assert barratry claims assigned to him by his clients. Such assignments of barratry claims (whether complete or partial) are void, and Kassab both lacks legal capacity to sue and to recover. Pohl’s Verification is attached as Exhibit A. II. Answer Pursuant to Rule 92, Pohl generally denies each and every, all and singular, of the allegations made in Kassab’s Counterclaim, and demands strict proof thereof. Pohl hereby pleads the following affirmative defenses: k i. Statute of limitations; l ii. L…
20 2021-10-13 OA Kassab 4th Amended Answer — adds RTP designations Defendants Kassab's Fourth Amended Answer, Affirmative Defenses, Counterclaim, and Designation of Responsible Third Parties Kassab's fourth amended pleading filed October 13, 2021, after denial of his traditional MSJ. Adds responsible third party designations and reasserts counterclaims for civil barratry based on 242 assigned claims. Relies on Tex. Civ. Prac. & Rem. Code § 16.069 to revive otherwise time-barred counterclaims. Filed during Phase 2 of litigation. Two sets of counsel: Lance and David Kassab for defense; Murray Fogler for affirmative claims. PLEAD-1, RTP-1 N/A Phase 2 2021-10-13_OA_Kassab-4th-Amended-Answer-CC_FILED.pdf That Pohl recover nothing on his claims; actual and consequential damages on counterclaims; statutory damages; pre- and post-judgment interest; attorneys' fees and costs; and all other relief to which Kassab may be justly entitled 10/13/2021 12:33 PM Marilyn Burgess - District Clerk Harris County Envelope No. 58144098 By: Deandra Mosley Filed: 10/13/2021 12:33 PM CAUSE NO. 2018-58419 MICHAEL A. POHL, et al § IN THE DISTRICT COURT V. § OF HARRIS COUNTY, TEXAS SCOTT FAVRE, et al § 189th JUDICIrAL DISTRICT DEFENDANTS, LANCE CHRISTOPHER KASSAB AND LANCE CHRISTOPHER KASSAB, P.C. D/B/A THE KASSAB LAW FIRM’S FOURTH AMENDED ANSWER, AFFIRMATIVE DEFENSES AND COUNtTERCLAIM, AND DESIGNATION OF RESPONSIBLE THIRD PARTIES TO THE HONORABLE JUDGE OF SAID COURT: s COMES NOW, Defendants, Lance Christopher Kgassab and Lance Christopher Kassab, P.C. d/b/a The Kassab Law Firm and files this theBir Fourth Amended Answer, Affirmative Defenses, and Counterclaim, and Designation of Ryesponsible Third Parties, and would respectfully show the Court as follows; a RULfE 47 STATEMENT The Kassab Defendants, in teheir capacity as Counter-Plaintiffs, seek monetary relief of more than $1,000,000.00. f y PARTIES Plaintiff, Michael A. Pohl is an individual lawyer residing in Colorado and is a party herein. Plaintiff, Laawl Offices of Michael A. Pohl is a law firm set up for the practice of law in various states of ithe union, including Texas and is a party herein. Defendant, Scott Favre is a nonresident individual residing in Mississippi and is a party herein. Defendant, Scott M. Favre, PA, LLC is a nonresident limited liability company located in Mississippi and is a party herein. Defendant, Precision Marketing Group, LLC is a nonresident limited liability company located in Mississippi and is a party herein. Defendant, F. Douglas Montague III is a nonresident individual residing in Mississippi. Defendant, Montague, Pittman & Varnado, PA is a nonresident professioknal association located in Mississippi. l Defendant, Tina Nicholson is an individual residing in Texas and cis a party herein. Defendant, Baker Nicholson, LLP, d/b/a Baker Nicholson Lasw Firm is a limited liability partnership located in Texas and is a party herein.  Defendant, Counter-Plaintiff, Lance Christophe…

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CREATE TABLE filings (
    filing_id INTEGER PRIMARY KEY,
    date TEXT,
    doc_type TEXT,
    party TEXT,
    description TEXT,
    doc_type_detail TEXT,
    procedural_posture TEXT,
    chain TEXT,
    outcome TEXT,
    phase TEXT,
    filename TEXT,
    relief_requested TEXT,
    full_text TEXT
);
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