assertion_id,filing_id,assertion 780,47,The Supplemental RTP Motion contains no new material factual allegations beyond those in the already-denied RTP Motion 781,47,The first six and a half pages of both Motions are word-for-word identical excluding title references 782,47,The 'Facts' sections of both Motions are 100% identical to each other 783,47,Paragraphs 15-17 of the Supplemental RTP Motion were copied almost word-for-word from Kassab's Motion to Rule 784,47,"Paragraph 18 is the only arguably new content but merely synthesizes prior factual allegations about Walker, Seymour, and Ladner — it does not address the other five Alleged RTPs" 785,47,Paragraphs 19-25 of the Supplemental RTP Motion are either directly copied from the RTP Motion or lightly modified/paraphrased 786,47,"Kassab took 15 days to file the Supplemental RTP Motion, one day past the Court-ordered 14-day deadline" 787,47,Kassab filed an eighth amended answer the day before the Supplemental RTP Motion containing the same copied allegations 788,47,"Pohl does not object to the designation of Scott Favre and Precision Marketing Group, LLC as responsible third parties" 789,47,"Pohl also objects to the Second Supplemental RTP Motion on the same grounds, to the extent it seeks to designate anyone other than Favre and Precision" 790,47,Kassab requested a continuance in part based on responsible third parties not having been designated