evidence_id,filing_id,evidence 32,6,Exhibit 1 — Deposition of Jimmy Williamson 33,6,Exhibit 2 — Walker Memorandum Opinion (Doc. No. 475) from Mississippi federal court 34,6,Exhibit 3 — Affidavit of Scott Walker (with Exhibits 1 & 2: Operating Agreements) 35,6,Exhibit 4 — Affidavit of Steve Seymour (with Exhibit 2: Operating Agreement) 36,6,Exhibit 5 — Williamson and Pohl Power Point Advertisements 37,6,Exhibit 6 — May 2016 Affidavit of Scott Walker 38,6,"Exhibit 7 — Deposition of Michael Pohl (pp. 51-52, 70)" 39,6,Exhibit 8 — Maxwell Amended Verified Complaint 40,6,"Exhibit 9 — Deposition of Scott Walker (pp. 73-76, 149, 200)" 41,6,Exhibit 10 — Affidavit of Kirk Ladner 42,6,Exhibit 11 — Sworn Statement of Jacqueline Taylor 43,6,"Exhibit 12 — Santana Affidavit (with Exhibits A, B, C)" 44,6,Exhibit 13 — Walker First Amended Complaint 45,6,Exhibit 14 — Affidavit of Scott Favre 46,6,Exhibit 15 — Williamson Memorandum (Doc. No. 178) 47,6,Exhibit 16 — Pohl Memorandum (Doc. No. 175) 48,6,Exhibit 17 — Walker Order on Pohl and Williamson Motions to Dismiss (Doc. No. 252) 49,6,Exhibit 18 — Walker Order on Rusnak Motion to Dismiss (Doc. No. 273) 50,6,Exhibit 19 — Walker Judgment (Doc. No. 499) 51,6,Exhibits 20-22 — Emails showing Pohl directing runners to rollover accidents and fee calculations 52,6,Exhibit 23 — Runner instructions checklist 53,6,Exhibit 24 — Mark Cheatham solicitation documents 54,6,"Exhibits 25-30 — Helping Hands contracts, limited power of attorney, vehicle purchase, Attorney Acknowledgment form, Funding Agreement" 55,6,"Exhibit 31 — Retention of Services Agreement (Pohl-Precision for Cheatham case, 30% of 40% contingency fee)" 56,6,"Exhibit 32 — Attorney-client contract between Pohl and Cheatham (signed Feb. 21, 2014)" 57,6,"Exhibit 33 — Talley compensation agreement ($10,000 per million recovered)" 58,6,Exhibit 34 — Operating Agreement (Precision: 22.5% of LOMAP fees) 59,6,Exhibits 35-37 — Diaz/Curran and Sanchez fee calculations showing reverse-engineered hours to match percentage 60,6,Exhibit 38 — Richard Shenkan letter re: Ladner posing as GM Settlement Verification Team 61,6,Exhibit 39 — Pohl contract with Michael Lucas (subject of Shenkan letter) 62,6,Exhibit 40 — Hart family solicitation documents 63,6,Exhibits 41-42 — Additional rollover case runner agreements 64,6,"Exhibit 43 — Fee-sharing contracts between Pohl, Williamson, and Rusnak (devoid of Rule 1.04 required language)" 65,6,Exhibit 44 — S.B. 1716 Analysis 66,6,Exhibit 45 — S.B. 1716 text 67,6,Exhibit 46 — H.B. 1890 Analysis 68,6,Exhibit 47 — Tex. Gov't Code § 82.065 (2011 version) 69,6,Exhibit 48 — H.B. 1711 text 70,6,Exhibit 49 — H.B. 1711 Analysis 71,6,Exhibit 50 — Tex. Gov't Code § 82.0651 (2013 version) 72,6,"July 3, 2018 Letter Exhibit 'A' — Transcribed conversation between Kassab and Santana" 73,6,"July 3, 2018 Letter Exhibit 'B' — Pohl's own affidavit admitting Walker/Ladner/Seymour were his 'representatives'" 74,6,"July 3, 2018 Letter Exhibit 'C' — Affidavit of Andrew Paul Mozingo (computer forensics expert) with Walker cell phone text messages" 75,6,"July 3, 2018 Letter Exhibit 'D' — Spreadsheet showing runner payments matched contract fee percentages" 76,6,"July 3, 2018 Letter Exhibits 'E' & 'F' — Documents showing Pohl contacted accident victims within days (Lacy Reese email; Mark Cheatham declaration)" 77,6,"July 3, 2018 Letter Exhibit 'G' — Deposition of Michael Pohl (pp. 44-46, 80-83, 87-93, 226-229, 271-273, 275)" 78,6,Santana deposition (350+ pages) submitted with July 3 letter 79,6,"Pohl's Reply dated July 17, 2018 (referenced in Kassab's July 20 response)"