filing_sections: 294
Data license: Public court records
This data as json
| section_id | filing_id | heading | summary |
|---|---|---|---|
| 294 | 40 | Additional Evidence Offered by Defendants | Defendants attach complete depositions under Rule 107 (optional completeness): Exhibit 1 (Ladner), Exhibit 2 (Seymour), Exhibit 3 (Walker), taken Aug. 29-31, 2022. Highlighted testimony: Ladner — Precision owned marketing/client lists (44-45), Helping Hands decided which firms to refer clients to (55-56, 62-64), Ladner did own research for MVA cases (97, 285-89), Pohl was splitting fees with Precision and contracts were a smokescreen (77-79, 83-85, 94-95, 269-271, 276, 287-288, 398-416, 443), forms/marketing lists belonged to Precision (128-29), Pohl never told Ladner to return documents (133, 173-74), BP claimants were clients of Precision first (214-215), Pohl never told Ladner to keep information confidential (232-35, 264-65, 500-502), spreadsheets/pre-questionnaire forms belonged to Precision (244-245, 262-263), Pohl committed barratry (274-280, 285-86), Helping Hands/GM Verification signed up claimants as own clients (444). Seymour — Pohl never said client lists were confidential (96-98, 147-149, 221-222). Walker — marketing lists were Precision's work product (232-33, 237-242), initial screening forms were Precision's work product (237-242). |