Filing # 114957423 E-Filed 10/14/2020 01:14:03 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, Plaintiff, v. CASE NO.: 19-CA-014681 DAVE ARONBERG, as State Attorney of Palm Beach County, Florida; SHARON R. BOCK, as Clerk and Comptroller of Palm Beach County, Florida. OSA Defendants. C DEFENDANT. DAVE ARONBERG'S RESIQ1NS O PLAINTIFF'S MEMORANDUM OF LAW IN OPPOSITION TO THE STATE ATTORNEY'S FLA. STAT. SECTI I .105 MOTION Defendant, DAVE ARONBERG, as to A icy of Palm Beach County, Florida, by and through the undersigned counsel, hereb this esponse to Plaintiff's Memorandum of Law in Opposition to the State Attorney' Section 57.105 Motion, and in support thereof states: L TIFF'S PURPOSE IN BRINGING THE INSTANT REGARDLESS OF LAWSUIT, IT IMP IBLE FOR THE STATE ATTORNEY TO PRODUCE THE RECORD PLAINTIFF DEMANDS BE PRODUCED. From the4i1 he nor hit Tai t of this litigation the State Attorney has consistently maintained that neither has possession, custody or control of the Epstein grand jury materials, erials'), sought by Plaintiff. Nonetheless, the State Attorney has no objection, and never has had any objection, to the Clerk releasing the records sought by Plaintiff; as disclosure of the Requested Materials sought herein lies solely within the providence of the Clerk pursuant to an order of the Court. FILED: PALM BEACH COUNTY. FL. SHARON R BOCK. CLERK, 10/14/2020 01:14:03 PM EFTA02732921