Key Facts
Data license: Public court records
12 rows where filing_id = 57
This data as json, CSV (advanced)
| fact_id ▼ | filing_id | fact |
|---|---|---|
| 709 | 57 57 | Pohl seeks over $2.4 million in actual loss damages including fees from defending barratry proceedings |
| 710 | 57 57 | Pohl also seeks $1 million paid under settlement with Precision in the Mississippi litigation |
| 711 | 57 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 57 | Pohl admits Kassab was both a complainant and witness in the grievance process |
| 713 | 57 57 | Pohl concedes a 'small portion' of his damages are connected to the grievance process |
| 714 | 57 57 | Pohl's injunctive relief claim has not been formally amended out of the petition |
| 715 | 57 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 57 | Kassab's Proposed Jury Charge Question No. 8 incorporates the privilege/whistleblower defense concept |
| 717 | 57 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 57 | Pohl alleges Precision 'illegally misappropriated' and 'secretly sold' information to Kassab |
| 719 | 57 57 | Kassab's Traditional MSJ filed August 29, 2022 established unlawful acts, criminal acts, and in pari delicto doctrines |
| 720 | 57 57 | David Eric Kassab (Bar No. 24071351) and Murray Fogler (Bar No. 07207300) signed as attorneys for Kassab Defendants |
Advanced export
JSON shape: default, array, newline-delimited, object
CREATE TABLE key_facts (
fact_id INTEGER PRIMARY KEY AUTOINCREMENT,
filing_id INTEGER REFERENCES filings(filing_id),
fact TEXT
);