IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY, FLORIDA¶
CA FLORIDA HOLDINGS, LW, 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, as State T\ y f Palm Beach County, Florida, by and through the undersigned attorneys, moves tlt urt, ursuant to Florida Statutes, Section 57.105, to award him reasonable attorneys’ f defense of Plaintiff’s First Amended Complaint, Cthed served a “Complaint”), and as group , would show that on June 8, 2020, Plaintiff was copy of this Motion, together • a letter from the undersigned attorney, in accordance with subsection (4) of th b v tute, demanding dismissal of the Complaint, at least 21 days prior to the filing of ‘fi n. In said letter, Defendant’s attorney advised Plaintiff of the facts which establish mplaint is without support of the facts or the law.¶
W REFORE, Defendant, DAVE ARONBERG, as State Attorney of Palm Beach County, Florida, respectfully requests the Court enter an Order requiring Plaintiff and Plaintiff’s attorneys to pay said Defendant’s attorneys’ fees incurred herein after service of this Motion.¶
DEFENDANT, DAVE ARONBERG’S MO ATTORNEYS’ FEES¶
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.¶
SCHOLZ & WYLER, LLC¶
/s/ Douglas A. Wyler¶
Arthur 1. Esquire A Fla. Bar No.: 108249 Richard J. Scholz, Esqui Fla. Bar No.: 002126 Douglas A. Wyl Fla. Bar No.: 11 Feman h, Florida 32034 (904)¶
961687 Gateway , Suite 2014 zlaw@comcast.net¶
eys for Defendant, Dave Aronberg¶