fact_id,filing_id,fact 709,57,Pohl seeks over $2.4 million in actual loss damages including fees from defending barratry proceedings 710,57,Pohl also seeks $1 million paid under settlement with Precision in the Mississippi litigation 711,57,"Pohl previously moved for summary judgment on Kassab's affirmative defenses but withdrew the notice after Kassab filed his response, and it was never reset" 712,57,Pohl admits Kassab was both a complainant and witness in the grievance process 713,57,Pohl concedes a 'small portion' of his damages are connected to the grievance process 714,57,Pohl's injunctive relief claim has not been formally amended out of the petition 715,57,The First Court of Appeals characterized Kassab's conduct as arising from a commercial transaction involving the type of legal services Kassab provides 716,57,Kassab's Proposed Jury Charge Question No. 8 incorporates the privilege/whistleblower defense concept 717,57,Pohl contracted with Precision to 'provide public relations services' and 'screen and liaise with Pohl's clients/prospective clients' — characterized by Kassab as barratry 718,57,Pohl alleges Precision 'illegally misappropriated' and 'secretly sold' information to Kassab 719,57,"Kassab's Traditional MSJ filed August 29, 2022 established unlawful acts, criminal acts, and in pari delicto doctrines" 720,57,David Eric Kassab (Bar No. 24071351) and Murray Fogler (Bar No. 07207300) signed as attorneys for Kassab Defendants