Filing # 104805004 E-Filed 03/12/2020 04:17:41 PM IN THE CIRCUIT COURT OF THE F IFTEENTH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY, FLORIDA CA FLORIDA HOLDINGS, LLC, Publisher of THE PALMBEACHPOST, CASE NO.: 50-2019-CA-014681-MOOCMB Div.: AG Plaintiff, v. DAVE ARONBERG, as State Attorney of Palm Beach County, Florida; SHARON IL BOCK, as Clerk and Comptroller of Palm Beach County, Florida, Cos Defendants. PLAINTIFF'S OPPOSITION TO DEFEND COMPTROLLER OF PALM BEACH COUN t7N IL BOCK, CLERK & ON TO DISMISS COUNT II Plaintiff CA Florida Holdings, LLC, pu e Palm Beach Post ("The Palm Beach A Pose) files this opposition to Defendant S County's Motion to Dismiss Count L . Bock, Clerk and Comptroller of Palm Beach lm Beach Post First Amended Complaint: Y OF ARGUMENT This action is at opporhi6rty for an institution of the State of Florida to exercise its authority, not to public's co • Id th sordid and powerful, but instead to further justice and restore the e criminal justice system. gues that Florida Statute § 905.27 does not allow The Palm Beach Post to seek disclosure the grand jury records in furtherance of justice for purposes of informing the public. The Clerk also appears to argue that the Court lacks the inherent authority and supervisory powers over the grand jury to order such disclosure. Motion at 13. Both arguments fail. The Palm Beach Post has sufficiently pled its right to maintain an action under Section 905.27 for the benefit of the public and consistent with the general legislative scheme, and its right FILED: PALM BEACH COUNTY. FL. SHARON R BOCK. CLERK, 03/12/2020 04:17:41 PM EFTA02732775