evidence_id,filing_id,evidence 633,57,"Exhibit 1 — Pohl's Amended Response to Disclosures, at p. 4 (showing $2.4M+ in actual loss damages including fees defending barratry proceedings and $1M Precision settlement)" 634,57,"Exhibit 2 — Kassab's Proposed Jury Charge (Question No. 8 on privilege/whistleblower defense, p. 15)" 635,57,"Exhibit 3 — December 2021 Deposition of Michael Pohl, at p. 122 (admitting Kassab used information from Pohl's files in grievance proceedings; admitting Kassab was complainant and witness)" 636,57,"Kassab's Traditional Motion for Summary Judgment, filed June 8, 2021 (attorney immunity — incorporated by reference per Rule 58)" 637,57,"Kassab's Traditional Motion for Summary Judgment, filed August 29, 2022 (judicial proceedings privilege, attorney immunity, unlawful acts — incorporated by reference per Rule 58)" 638,57,"Kassab's Response to Plaintiffs' Motion for Partial Traditional and No-Evidence Summary Judgment, filed September 12, 2022" 639,57,"Nicholson's Response to Plaintiffs' Traditional and No-Evidence Motion for Summary Judgment, filed September 12, 2022 (pp. 9-14 on unlawful acts doctrine — incorporated by reference)" 640,57,"Plaintiffs' Motion for Partial Summary Judgment on Defendants' Affirmative Defenses, filed August 29, 2022" 641,57,"Pohl's First Amended Petition (¶¶ 20, 21, 29, 45-47)"