Filing # 104805004 E-Filed 03/12/2020 04:17:41 PM IN THE CIRCUIT COURT OF THE F1141 EENTH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY, FLORIDA CA FLORIDA HOLDINGS, LLC, Publisher of THE PALM BEACH POST, CASE NO.: 50-2019-CA-014681-XXXX-MB Div.: AG Plaintiff; v. DAVE ARONBERG, as State Attorney of Palm Beach County, Florida; SHARON R. BOCK, as Clerk and Comptroller of Palm Beach County, Florida, CO SA Defendants. PLAINTIFF'S OPPOSITION TO DEFENDANT ATTORNEY OF PALM BEACH COUNTY, COUNT II OF THE FIRST Plaintiff CA Florida Holdings, LLC, C ONBERG, AS STATE S MOTION TO DISMISS COMPLAINT The Palm Beach Post ("The Palm Beach Past) files this opposition to Defendan a Motion to Dismiss Count II of The ch Post's First Amended Complaint ("Motion"): I. nberg, State Attorney of Palm Beach County's Y OF ARGUMENT The State Attorney btieyes this action to be "frivolous." Motion at 13. Far from it. This action is an opportunity sordid and institution of the State of Florida to exercise its authority, not to shield the but instead to further justice and restore the public's confidence in the criminal justices, The State Attorney pushes the general rule of grand jury secrecy too far. The State Attorney does so by arguing that Florida Statute § 905.27 does not allow The Palm Beach Post to seek relief under that statute, and even if it did, disclosure of the grand jury records in furtherance of justice cannot solely be made for purposes of informing the public. The State Attorney also appears to argue FILED: PALM BEACH COUNTY. FL. SHARON R BOCK. CLERK, 03/12/2020 04:17:41 PM EFTA02732754