fact_id,filing_id,fact 265,18,"Pohl testified under oath that Kassab and his 'crew' broke into his office in Gulfport, Mississippi and stole his stuff in 2014" 266,18,"Pohl did not immediately file suit because he 'wanted to spend time to reflect on it before taking action' and 'didn't want to do anything that was precipitous' (Mot. Exhibit 3, at 93)" 267,18,Pohl does not dispute his deposition testimony in his Response 268,18,Pohl never pled the discovery rule 269,18,"The December 7, 2016 email does not mention Pohl by name" 270,18,"Pohl was not a party to the November 10, 2016 Agreement or the December 7, 2016 email" 271,18,Pohl's statement uses language 'purported to sell' and 'appears' to have sold — which Kassab characterizes as speculation 272,18,Pohl testified he learned of basis of claims during discovery in Federal Court Case (Mot. Exhibit 1) 273,18,"Pohl testified Precision and Walker 'undertook to convert, misappropriate' his files (Mot. Exhibit 1, par. 28)" 274,18,Information was in 'approximately seventeen clear plastic file containers' per Pohl's testimony 275,18,"Pohl has alleged and judicially admitted that Favre, Precision, and Kassab are co-conspirators" 276,18,Precision was owned by Favre during pendency and settlement of the Federal Court Case 277,18,The First Court of Appeals characterized Kassab's conduct as arising from 'a commercial transaction involving the type of legal services Kassab provides' 278,18,"Under Texas law, a client owns the contents of his or her file (In re Cook)" 279,18,Kassab represented pro se by Lance Christopher Kassab and David Eric Kassab