Document DOJ-FL-HOLD-137 is a legal document filed in the Circuit Court of the Fifteenth Judicial Circuit in Palm Beach County, Florida, concerning a case between CA Florida Holdings, LLC, and Dave Aronberg, the State Attorney of Palm Beach County.
This document is Dave Aronberg's motion for attorneys' fees, filed in response to a complaint from CA Florida Holdings, LLC, the publisher of the Palm Beach Post. Aronberg argues that the complaint lacks factual or legal support and requests the court to order the plaintiff to pay his attorneys' fees incurred after the motion was served. The document also provides a case number and mentions other relevant parties, including Sharon R. Bock, the Clerk and Comptroller of Palm Beach County.

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Filing # 109662729 E-Filed 07/01/2020 12:21:07 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. Defendants._/ DEFENDANT, DAVE ARONBERG’S MOTION FOR ATTORNEYS’ FEES Defendant, DAVE ARONBERG, as State Attorney ofPalm Beach County, Florida, by and through the undersigned attorneys, moves the Court, pursuant to Florida Statutes, Section 57.105, to award him reasonable attorneys’ fees for the defense of Plaintiffs First Amended Complaint, (the “Complaint”), and as grounds therefor, would show that on June 8, 2020, Plaintiffwas served a copy of this Motion, together with a letter from the undersigned attorney, in accordance with subsection (4) of the above Statute, demanding dismissal of the Complaint, at least 21 days prior to the filing ofthis Motion. In said letter, Defendant’s attorney advised Plaintiffofthe facts which establish that the Complaint is without support of the facts or the law. WHEREFORE, Defendant, DAVE ARONBERG, as State Attorney of Palm Beach County, Florida, respectfully requests the Court enter an Order requiring Plaintiff and Plaintiffs attorneys to pay said Defendant’s attorneys’ fees incurred herein after service of this Motion, Party JOINT ID#. J17 EV#J7T DATE ADMITTED: *1/4/^ Case No. 2019-CA-014681 JOSEPH ABRUZZO CLERK ^0 CIRCUIT COURT CA/ArcfrilW-Wa&M BEACH COUNTY, FL, JOSEPH ABRUZZO, CLERK. 3/27/2023 3:44:22 PM Joint Exhibit J17 NOT A CERTIFIED COPY I ; Filing# 109662729 E-Filed. 07/01/2020 12:21:07 PM IN Tiffi 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. DA VE ARO1\TBERG, as State Attorney of Palm Beach County, Florida; SHARON R. BOCK, as Clerk and Comptroller of Palm Beach County, Florida. Defendants. I --------------- • CASE NO.: 19-CA-014681 DEFENDANT, DA VE ARONBERG'S MOTION FOR ATTORNEYS' FEES Defendant, DA-VE ARONBERG; as State Attorney of Palm Beach Coµnty, Florida, by and through the undersigned attorneys, moves the Court, pursuant to Florida Statutes, Section 57.105, to award him reasonable attorneys' fees for the defense of Plaintiff's First Amended Complaint, (the "Coi:nplaint"), and as groµr1ds the_refor, would show that on June 8, 2020, Plaintiff was served a copy of this Motion, together with a letter from the undersigned attorney, in accordance with subsection (4) of the above Statute, demanding dismissal of the Complaint? at least 21 days prior to the filing of this Motion. In said letter, Defendant's attorney advised Plaintiffof the facts which establish that the Complaint is without support of the facts or the law. WHEREFORE, Defendant, DA VE ARONBERG, as State Attqrney of Palm Beach County, Florida, respectfully requests the Court enter art Order requiring Plaintiff and Plaintiffs attorney.s to pay said Defendant'~ attorneys 1 fees incurred herein after service of this Motion, Party JOINT ID#.J17 EV#m DATEADMITTED: ~ /ti,Jpl..Z Case No. 2019-CA-014681 JOSEPH ABRUZZO CLERK f(.0 CIRCUIT COURT Jo.int Exhibit J17 CA/Ard11lEH'g)-:01liU.4\71 BEACH COUNTY, FL, JOSEPH ABRUZZO, CLERK. 3/27/2023 3:44:22 PM CERTIFICATE OF SERVICE I hereby certify that on this 1st day July, 2020, the foregoing was electronically filed via the Florida E-File Portal for electronic service on the parties of record herein. JACOBS SCHOLZ & WYLER, LLC /s/Douglas A. Wyler Arthur I. Jacobs, Esquire Fla. Bar No.: 108249 Richard J. Scholz, Esquire Fla. Bar No.: 0021261 Douglas A. Wyler, Esquire Fla. Bar No.: 119979 961687 Gateway Blvd., Suite 201-1 Fernandina Beach, Florida 32034 (904) 261-3693 (904) 261-7879 [email protected] Attorneysfor Defendant, Dave Aronberg CA/Ar®16®9-:0MZ48 BEACH COUNTY, FL, JOSEPH ABRUZZO, CLERK. 3/27/2023 3:44:22 PM NOT A CERTIFIED COPY CERTIFICATE OF SERVICE I hereby certify that on this 1st day July, 2020, the foregoing was electronically filed via the Florida E-File Portal for electronic s~rvice cm the parties of record here.in. JACOBS SCHOLZ & WYLER, LLC Isl Douglas A. Wyler Arthur I. Jacobs, Esquire Fla. Bar No.: 108249 Richard J. Scholz, Esquire Fla. Bar No.; 0021_261 Douglas A. Wyler, Esquire Fla. Bar No.: 119979 961687 Gateway Blvd., Suite 201-I Fernandina Beach, Florida 32034 (904) 261-3693 (904) 261-7879 [email protected] Attomeys for Defendant, Dave Aronberg CA/Ar<ffl~Clltt48 BEACH COUNTY, FL, JOSEPH ABRUZZO, CLERK. 3/27/2023 3:44:22 PM
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