evidence_id,filing_id,evidence 341,34,"Exhibit 1: September 12, 2022 Declaration of Lance Kassab (Filing #33)" 342,34,Exhibit 2: Affidavit of Scott Favre (testified Precision Marketing owned client lists and files) 343,34,Exhibit 3: Purchase Agreement (demonstrating Favre's ownership of Precision Marketing assets) 344,34,Exhibit 4: October 2018 Declaration of Lance Kassab (referenced for grievance filing) 345,34,Exhibit 5: Grievance Complaint filed by Kassab against Pohl 346,34,Exhibit 6: Expert report of Lillian Hardwick (establishing Pohl committed barratry) 347,34,Exhibit 7: Expert report of Benjamin Cooper (establishing Pohl committed barratry) 348,34,"Exhibit 8: Expert report of Joseph F. Cleveland, Jr. (establishing Pohl committed barratry)" 349,34,"Exhibit 9: August 29, 2022 Deposition of Kirk Ladner (at 44-45 — client information owned by Precision Marketing)" 350,34,"Exhibit 10: August 31, 2022 Deposition of Scott Walker (at 250-251 — client list was Precision Marketing's 'work product')" 351,34,"Exhibit 11: December 10, 2021 Deposition of Michael Pohl (at 22-23, 104-105, 159-161 — knew Walker was convicted felon, no confidentiality agreements)" 352,34,"Kassab's Traditional MSJ filed June 8, 2021 (establishing limitations, res judicata, attorney immunity) — incorporated by reference" 353,34,"Kassab's Traditional MSJ filed August 29, 2022 (Filing #30) and all evidence attached thereto — incorporated by reference" 354,34,"Nicholson's Traditional MSJ (August 19, 2022) and response to Pohl's motion (September 12, 2022) — incorporated by reference" 355,34,"Kassab's Motion to Compel Removal of Pohl's Objections (filed August 25, 2022)" 356,34,"Pohl's First Amended Petition (¶¶ 45, 50 — requesting injunctive and equitable relief)" 357,34,Kassab's Sixth Amended Answer (¶ 15(2) — asserting justification defense) 358,34,FBI press release re Walker's guilty plea to federal program fraud (requested judicial notice)