evidence_id,filing_id,evidence 13,3,"May 25, 2012 Public Relations Consulting Agreement and Operating Agreement between LOMAP, Maxwell & Walker Diamond Consulting, and Robinson Holdings (Complaint Exhibits 3-1, 3-2)" 14,3,"July 15, 2012 Operating Agreement between LOMAP, Ladner, Walker, and Seymour (Complaint Exhibit 3-2)" 15,3,Exhibit 1-A: PR Consultants' claims in Federal Court Lawsuit alleging hourly-rate payment basis and denying entitlement to percentage of fees 16,3,Exhibit 1-B: Statements by Nicholson and Favre that PR Consultants admitted stealing from Pohl 17,3,Exhibit 1-C: Bogus invoices with 'PAID' stamps dated before invoice preparation dates 18,3,Exhibit 1-D: Cease and desist letter to Julia Porter and Monica Chaney 19,3,Exhibit 1-E: Second demand to Porter and Chaney regarding unauthorized use of Pohl's name 20,3,Exhibit 1-F: Christopher Forrest fee agreement bearing Pohl's name from May 2017 21,3,Exhibit 1-G: Pohl's disclaimer of interest regarding Shannon/Zubalik accident claims 22,3,Exhibit 10: Jimmy Williamson deposition (pp. 58-59) regarding 60/40 fee split 23,3,Exhibit 43 to Complaint: Fee agreement submitted by Complainant (Pohl asserts it does not appear prepared or signed by him) 24,3,Exhibit 39 to Complaint: Power of Attorney form (appears to be Pohl's form but not signed by him) 25,3,Exhibit 38 to Complaint: Richard Shenken letter regarding Zubalik family 26,3,"Grievance Complaint filed by Kassab (No. 201801825) with attached exhibits including Walker, Seymour, and Ladner affidavits" 27,3,"Jacqueline Taylor sworn statement (attached to Complaint, connecting Porter/Chaney to PR Consultants)" 28,3,Federal Court Lawsuit discovery documents showing PR Consultants diverted clients to other attorneys