Filing # 114370484 E-Filed 10/02/2020 04:53:44 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, CASE NO.: 50-2019-CA-0146814OOa-MB DIVISION: AG Plaintif& A v. DAVE ARONBERG, as State Attorney of Palm Beach County, Florida; SHARON R. BOCK, as Clerk and Comptroller of Palm Beach County, Florida, Cos Defendants. PLAINTIFF CA HOLDINGS, LLC'S RESPONSE Tia()EFE ANT STATE ATTORNEY DAVE ARONBERG'S REQUEST TO WREDULE HIS S PREMATURE FLA. STAT. SECTION57.10S MOTION AFTER HIS LATER FILED S MMARY JUDGMENT MOTION PlaintifZ CA HOLDINGS, LL requests that this Court schedule f Fla. Stat. section 57.105 motion I. alm Beach Post") for the reasons stated below tate Attorney Dave Aronberg's (the "State Attorney") o his motion for summary judgment: INTRR~ODUCTON The State mey has admitted that his pending Fla. Stat. section 57.105 motion is "premature " d sh uld not be set for a hearing. Rather than withdraw his sanctions motion without prejudice, to Attorney seeks a Case Management Conference to have the court impose a hearing date upon The Palm Beach Post to hear his later filed summary judgment motion while his first filed sanction motion remains unscheduled and unheard. This Court should reject the State Attorney's misuse of section 57.105 by filing a premature motion and then letting it sit on the docket without setting it for hearing and refusing to do so. The Palm Beach Post requests a hearing be set on FILED: PALM BEACH COUNTY. FL. SHARON R BOCK. CLERK. 10/02/2020 04:53:44 PM EFTA02732887