Filing # 112002684 E-Filed 08/18/2020 03:46:04 PM IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY, FLORIDA CA FLORIDA HOLDINGS, LLC, Publisher of the PALM BEACH POST, Plaintiffi CASE NO.: I9-CA-014681 v. DAVE ARONBERG, as State Attorney of Palm Beach County, Florida; SHARON R. BOCK, as Clerk and Comptroller of Palm Beach County, Florida. Defendants. AFFIDAVIT OF DAVID AROV STATE OF FLORIDA COUNTY OF PALM BEACH Before me, the undersigned authority personally apps DAVID ARONBERG, being first duly sworn, states: I. I am the State Attorney for the Fifteenth Judicial My name is David (Dave) A Circuit/Palm Beach County, Florida, si Plaintiff is seeking decAara 2. 13, a Defendant in the above-captioned matter. relief, pursuant to Ha. Stat. 905.21(I)(e) and the Court's inherent authority, allowing Plaintiff access to the testimony, minutes, and other evidence presented in 2006 to the Palm Beach County grand jury, (the "Requested Materials"), and to use those materials for the purpose of informing the public. Despite Plaintiff's above-described action for declaratory relief, neither myself nor the 3. Office of the ttomey for the Fifteenth Judicial Circuit, ("SAO"), is in control, custody, or possession ria Is. of the R As such, the declaratory relief sought by the Plaintiff seeks materials that are impossible y office to produce. 5. To be clear, neither myself nor the SAO has the legal authority to obtain and deliver the Requested Materials. 6. I have repeatedly made these facts evident to the Plaintiff and the public through not only the pleadings and correspondence in this matter, but also through an office press release and my public social media accounts. *** FILED: PALM BEACH COUNTY, FL SHARON R BOCK, CLERK. 08/18/2020 03:46:04 PM *** EFTA02732832