evidence_id,filing_id,evidence 529,50,"Plaintiffs' Original Petition, ¶¶ 19-28" 530,50,Pohl's First Amended Petition (on file) 531,50,Exhibit 2 — General Operating Agreement 532,50,Exhibit 3-A — 2018 Deposition of Scott Walker 533,50,Exhibit 3-B — 2016 Deposition of Scott Walker 534,50,Exhibit 4 — October 2018 Deposition of Edgar Jaimes 535,50,Exhibit 5 — Precision Marketing Group Financials 536,50,"Exhibit 6 — September 24, 2016 Affidavit of Magdalena Santana" 537,50,Exhibit 7 — June 2018 Deposition of Edgar Jaimes 538,50,"Exhibit 8 — November 8, 2016 Deposition of Magdalena Santana, Vols. I and II" 539,50,"Exhibit 9 — December 19, 2017 Affidavit of Magdalena Santana" 540,50,"Exhibit 10 — April 21, 2014 Email" 541,50,"Exhibit 11 — May 7, 2014 Email Exchange" 542,50,"Exhibit 12 — May 20, 2014 Contact Form" 543,50,"Exhibit 13 — September 1, 2014 Contact Form" 544,50,"Exhibit 14 — February 5, 2015 Email" 545,50,Exhibit 15 — Deposition of Kenneth Talley 546,50,Exhibit 15-A — Talley Deposition Exhibit 165 (list of solicited cases) 547,50,Exhibit 15-B — Talley Deposition Exhibit 168 (solicitation checklist) 548,50,"Exhibit 16 — September 17, 2018 Declaration of Mae Berry" 549,50,"Exhibit 17 — August 21, 2014 Email re Mae Berry" 550,50,"Exhibit 18 — September 14, 2018 Declaration of Arthur Speck (with 18-A Speck Contracts and 18-B Speck Funding Agreement)" 551,50,"Exhibit 19 — September 17, 2018 Declaration of Alphonse Bethley (with 19-A Bethley Pohl Contract)" 552,50,Exhibit 20 — Bethley Distribution Agreement 553,50,"Exhibit 21 — July 23, 2014 Email re Ashley Bethley" 554,50,"Exhibit 22 — September 17, 2018 Declaration of Heraclite Bikumbu (with 22-A Bikumbu-Pohl Contract)" 555,50,"Exhibit 23 — July 11, 2013 Email (Kongolo to Pohl confirming solicitation)" 556,50,"Exhibit 24 — July 11, 2013 Response Email (Pohl vouching for Santanas)" 557,50,"Exhibit 25 — November 9, 2016 Deposition of Florian Santana" 558,50,Exhibit 26 — Butts-Pohl Contracts 559,50,Exhibit 27 — Butts Funding Agreement 560,50,Exhibit 28 — Butts Attorney Acknowledgement 561,50,"Exhibit 29 — Affidavit of Mark Cheatham, Sr." 562,50,Exhibit 30 — Cheatham Retention Services Agreement 563,50,Exhibit 31 — Cheatham Distribution Agreement 564,50,Exhibit 32 — Helping Hands Check to Mark Cheatham 565,50,Exhibit 33 — Miller-Pohl Agreement 566,50,Exhibit 34 — Ammons-Miller Agreement 567,50,Exhibit 35 — Declaration of Lacy Reese (with Reese Exs. 1-6) 568,50,Exhibit 36 — Reese Retention Services Agreement 569,50,Exhibit 37 — Reese Distribution Agreement 570,50,"Exhibit 38 — July 18, 2014 Email re Reese Case" 571,50,"Exhibit 39 — April 11, 2019 Deposition of Kirk Ladner" 572,50,"Exhibit 40 — January 19, 2016 Letter (Pohl acknowledging Ladner operated under his direction)" 573,50,Exhibit 41 — Walker Second Amended Complaint 574,50,"Exhibit 42 — Pohl's June 19, 2018 Affidavit" 575,50,Exhibit 43 — Pohl's Amended Counterclaim (Mississippi Litigation) 576,50,"Exhibit 44 — May 15, 2018 Deposition of Michael Pohl" 577,50,Exhibit 45 — Walker Memorandum Opinion (Doc. No. 475) 578,50,Exhibit 46 — Walker Pohl Memorandum (Doc. No. 175) 579,50,Exhibit 47 — Walker Order on Pohl Motion to Dismiss (Doc. No. 252) 580,50,Exhibit 48 — Walker Judgment (Doc. No. 499) 581,50,Exhibit 49 — Declaration of Lance Christopher Kassab 582,50,"Exhibit 50 — Affidavit of Scott Favre (August 10, 2016)" 583,50,Exhibit 51 — Advertisement Letters (State Bar approved) 584,50,Exhibit 52 — Brumfield Third Amended Petition 585,50,Exhibit 53 — Gandy Third Amended Petition 586,50,Exhibit 54 — Berry Fifth Amended Petition 587,50,Exhibit 55 — Cheatham Fourth Amended Petition (without exhibits) 588,50,Exhibit 56 — December 2021 Deposition of Michael Pohl 589,50,Exhibit 57 — Pohl's Second Amended Designation of Expert Witnesses 590,50,Exhibit 58 — May 2018 Deposition of Michael Pohl 591,50,Exhibit 59 — April 2021 Deposition of Michael Pohl 592,50,"Exhibit 60 — September 17, 2018 Deposition of Michael Pohl" 593,50,Exhibit 61 — 2022 Arnold Deposition (Pohl's paralegal of 35 years) 594,50,Exhibit 62 — 2022 Ladner Deposition 595,50,Exhibit 63 — 2022 Seymour Deposition 596,50,Exhibit 64 — 2022 Walker Deposition 597,50,"Exhibit 65 — October 25, 2017 Testimony of Scott Favre (federal court)" 598,50,"Nicholson's Traditional Motion for Summary Judgment, filed August 19, 2022" 599,50,Nicholson Exs. 1-32 (adopted by reference from Nicholson Motion)