Filing # 114366701 E-Filed 10/02/2020 04:21:35 PM 114 THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT TN AND FOR PALM BEACH COUNTY, FLORIDA CA FLORIDA HOLDINGS, LLC, Publisher of THE PALM BEACH POST, CASE NO.: 50-2019-CA-014681-XXXX-MB DIVISION: 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, Defendants. 7Th MEMORANDUM OF LAW OF PLAINTIFF CA HOLDINGS. LLC IN OPPOSITION TO THE STATE ATTORNEY'S FLA. STAT. SECTION 57.105 MOTION Plaintiff, CA Florida Holdings, LLC, publisher of the largest and most prominent newspaper in Palm Beach County, Florida, The Palm4ach Post, submits this Memorandum of Law In Opposition to the State Attorney's Fla< t ta . .105 Motion, and for the reasons set forth below, the ts) State Attorney's Motion should Ce em , with prejudice. I. THE PU OSE OF THE PALM BEACH POST'S SUIT As extensively detailed in its Amended Complaint, the criminal prosecution of the late Jeffrey 7\ ,Attorney Barry Krischer, Palm Beach Circuit Court Case No. 50-2008-CFEpstein by former State \ I AXXXMHSra erious and troubling questions as to whether it was properly conducted. The Amended mplaint provides numerous examples of the prior State Attorney's "highly unusual" — in the words of the former Town of Palm Beach Police Chief— treatment of the numerous complaints of sexual misconduct and assault made against Epstein, including but not limited to the former State Attorney's refusal to cooperate with the investigation of the Town of Palm Beach Police Department, his focus on only one underage sexual assault victim though there were other known victims, his use FILED: PALM BEACH COUNTY, FL, SHARON R. BOCK, CLERK, 10/02/2020 04:21:35 PM EFTA02732873