evidence_id,filing_id,evidence 275,30,Exhibit 2: General Operating Agreement between Pohl and Precision 276,30,Exhibit 3-A: 2018 Deposition of Scott Walker 277,30,Exhibit 3-B: 2016 Deposition of Scott Walker 278,30,Exhibit 4: October 2018 Deposition of Edgar Jaimes 279,30,Exhibit 5: Precision Marketing Group Financials 280,30,"Exhibit 6: September 24, 2016 Affidavit of Magdalena Santana" 281,30,Exhibit 7: June 2018 Deposition of Edgar Jaimes 282,30,"Exhibit 8: November 8, 2016 Deposition of Magdalena Santana, Vols. I and II" 283,30,"Exhibit 9: December 19, 2017 Affidavit of Magdalena Santana (retraction)" 284,30,"Exhibit 10: April 21, 2014 Email (Santana threatening Pohl)" 285,30,"Exhibit 11: May 7, 2014 Email Exchange" 286,30,"Exhibit 12: May 20, 2014 Contact Form (Santana threatening FBI involvement)" 287,30,"Exhibit 13: September 1, 2014 Contact Form (Santana demanding additional $50K)" 288,30,"Exhibit 14: February 5, 2015 Email" 289,30,"Exhibit 15: Deposition of Kenneth Talley (and Exhibits 15-A, 15-B)" 290,30,"Exhibit 16: September 17, 2018 Declaration of Mae Berry" 291,30,"Exhibit 17: August 21, 2014 Email re Mae Berry" 292,30,"Exhibit 18: September 14, 2018 Declaration of Arthur Speck (and Exhibits 18-A, 18-B)" 293,30,"Exhibit 19: September 17, 2018 Declaration of Alphonse Bethley (and Exhibit 19-A)" 294,30,Exhibit 20: Bethley Distribution Agreement 295,30,"Exhibit 21: July 23, 2014 Email re Ashley Bethley" 296,30,"Exhibit 22: September 17, 2018 Declaration of Heraclite Bikumbu (and Exhibit 22-A)" 297,30,"Exhibit 23: July 11, 2013 Email (Kkongolo confirming Santana solicitation)" 298,30,"Exhibit 24: July 11, 2013 Response Email (Pohl vouching for Santanas)" 299,30,"Exhibit 25: November 9, 2016 Deposition of Florian Santana" 300,30,Exhibit 26: Butts-Pohl Contracts 301,30,Exhibit 27: Butts Funding Agreement 302,30,Exhibit 28: Butts Attorney Acknowledgement 303,30,"Exhibit 29: Affidavit of Mark Cheatham, Sr." 304,30,Exhibit 30: Cheatham Retention Services Agreement 305,30,Exhibit 31: Cheatham Distribution Agreement 306,30,Exhibit 32: Helping Hands Check to Mark Cheatham 307,30,Exhibit 33: Miller-Pohl Agreement 308,30,Exhibit 34: Ammons-Miller Agreement 309,30,Exhibit 35: Declaration of Lacy Reese (and Exhibits) 310,30,Exhibit 36: Reese Retention Services Agreement 311,30,Exhibit 37: Reese Distribution Agreement 312,30,"Exhibit 38: July 18, 2014 Email re Reese Case" 313,30,"Exhibit 39: April 11, 2019 Deposition of Kirk Ladner" 314,30,"Exhibit 40: January 19, 2016 Letter (Pohl acknowledging Ladner under his direction)" 315,30,Exhibit 41: Walker Second Amended Complaint 316,30,"Exhibit 42: Pohl's June 19, 2018 Affidavit" 317,30,Exhibit 43: Pohl's Amended Counterclaim (Mississippi) 318,30,"Exhibit 44: May 15, 2018 Deposition of Michael Pohl" 319,30,Exhibit 45-47: Mississippi Litigation documents 320,30,"Exhibit 48: Walker Judgment (dismissed with prejudice April 24, 2017)" 321,30,Exhibit 49: Declaration of Lance Christopher Kassab 322,30,"Exhibit 50: August 10, 2016 Affidavit of Scott Favre" 323,30,Exhibit 51: Advertisement Letters sent to former Pohl clients 324,30,Exhibits 52-55: Four barratry lawsuit petitions 325,30,Exhibit 56: December 2021 Deposition of Michael Pohl 326,30,Exhibit 57: Pohl's Second Amended Designation of Expert Witnesses 327,30,Exhibit 58: May 2018 Deposition of Michael Pohl 328,30,Exhibit 59: April 2021 Deposition of Michael Pohl 329,30,"Exhibit 60: September 17, 2018 Deposition of Michael Pohl" 330,30,Nicholson Motion and all evidence cited therein (incorporated by reference) 331,30,"Nicholson Exhibits 1-32 (various depositions, correspondence, petitions)"