fact_id,filing_id,fact 476,36,Walker testified Nicholson told witnesses 'buzz words to say' including 'barratry' and 'cold calling' — words he'd never heard before 477,36,Walker stated he 'listened and did what my attorney said to do' regarding lying in depositions 478,36,Walker went on to testify he did not knowingly intend to lie but relied upon Nicholson's advice 479,36,Santana's letter to Judge Starrett stated she was coerced by Nicholson and Favre into signing first affidavit 480,36,"Audio recording: Nicholson and Favre called Santana's mother's house, threatened her brother, pressured her to testify" 481,36,Santana told Kassab: 'The marketing firm is the one that hired me. I didn't even go out and meet Pohl and Williamson' 482,36,"The $50,000 Santana payment was under May 21, 2014 release agreement, predating both affidavits by over 2 years" 483,36,"Santana timeline: May 21, 2014 (release/$50K); Sept. 24, 2016 (first affidavit by Nicholson); Oct. 3, 2017 (coercion letter); Dec. 19, 2017 (retraction)" 484,36,"Seven grievances all dismissed; Kassab submitted 60 pages of argument and 2,300 pages of exhibits for his individual grievance" 485,36,Board of Disciplinary Appeals repeatedly found 'conduct described does not violate the Texas Disciplinary Rules of Professional Conduct' 486,36,Kassab and David Kassab argued in Beatty v. Knighton (Cause No. 2011-75990) that unlawful acts doctrine was 'no longer good law' 487,36,"Defendants purchased Pohl's information through Nov. 10, 2016 contract, took possession starting Dec. 2016" 488,36,Precision represented it operated under guidance of experienced Mississippi attorneys ensuring propriety of marketing 489,36,"Precision's misconduct: referred clients to other lawyers, fabricated expenses, overcharged, failed to keep time records, changed fee position when Nicholson got involved" 490,36,"Mississippi court issued protective orders (Oct. 14, 2016 and March 22, 2017) requiring strict confidentiality on client data" 491,36,"Walker admitted client contracts, computers, and lists belonged to Pohl" 492,36,Ladner conceded materials were 'Pohl's stuff' despite Nicholson telling him otherwise 493,36,Settlement Agreement Paragraph 27 prohibits filing any claim or legal action against Pohl 494,36,Nicholson failed to attach or verify the Settlement Agreement as evidence 495,36,Walker and Ladner testified Favre and Nicholson discussed Pohl's files being worth $6 million 496,36,Favre confirmed Pohl's information was one of Precision's 'most valuable asset'