Court Records
Filing # 101806609 E-Filed 01/16/2020 05:43:33 PM IN THE CIRCUIT COURT OF THE FIFTEENTH JUDICIAL CIRCUIT IN AND FOR PALM BEACH COUNTY, FLORIDA CA FLORIDA HOLDINGS, LLC, CASE NO.: 50-2019-CA-014681-XXXX-MB Publisher of THE PALM BEACH POST, Div.: 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. is 04 VERIFIED MOTION FOR ADMISSION TO APPEAR PRO HAC VICE PURSUANT TO FLORIDA RULE OF JUDICIAL ADMINISTRATION 2.51Q COMES NOW Nina D. Boyajian, Movant herein, and respectfully represents the following: 1. Movant is an attorney and a member of the law firm of Greenberg Traurig, LLP, with offices at 1840 Century Park East, Suite 1900, Los Angeles, California 90067, telephone number ([Phone Redacted]. / - 2. M6 it has been retained personally or as a member of the above-named law firm on or abo t 28, 2019, by plaintiff CA Florida I loldings, LLC, publisher of the Palm Beach ..76.4\ e Post to legal representation in connection with matters related to the above-styled action now pending before the above-named court of the State of Florida. 3. Movant is an active member in good standing and currently eligible to practice law in the following jurisdiction(s): ACT1VE47077721 FILED: PALM BEACH COUNTY, FL, SHARON R. BOCK, CLERK, 01/16/2020 05:43:33 PM EFTA02732520 Court Bar Number Admitted California State Bar Superior Courts of California 246415 12/04/2006 Central District of California 12/15/2006 Northern District of California 11/14/2016 Southern District of California 01/30/2009 Eastern District of California 07/29/2010 District of Colorado 03/07/2019 4. There have been no disciplinary, suspension, disbarment o cons pt proceedings initiated against Movant in the preceding 5 years. 5. Movant, either by resignation, withdrawal, or se, never has terminated or attempted to terminate Movant's office as an attorney in orderlopoid adm nistrative, disciplinary, disbarment, or suspension proceedings. 6. Movant is not an inactive member of The Florida Bar. 7. Movant is not now a merriber of The Florida Bar. 8. Movant is not a suspended member of The Florida Bar. 9. Movant is not a disbarred member of The Florida Bar nor has Movant received a disciplinary resignation frOM The Florida Bar. 10. Movartt has not previously been disciplined or held in contempt by reason of miscondu dommitted while engaged in representation pursuant to Florida Rule of Judicial Administ ion 2.510. 11. Movant has not filed a motion to appear as counsel in Florida state courts during the past five years. 12. Local counsel of record associated with Movant in this matter is Stephen A. Mendelsohn who is an active member in good standing of The Florida Bar and has offices at 2 ACTfVE47077721 EFTA02732521 cause only. DATED this 16th day of January, 2020. Greenberg Traurig, P.A., 51 Town Center Circle, Suite 400, Boca Raton, Florida 33486, telephone number ([Phone Redacted]. 13. Movant has read the applicable provisions of Florida Rule of Judicial Administration 2.510 and Rule 1-3.10 of the Rules Regulating The Florida Bar and certifies that this verified motion complies with those rules. 14. Movant agrees to comply with the provisions of the Florida Rules of Professional Conduct and consents to the jurisdiction of the courts and the Bar of the State of Florida. WHEREFORE, Movant respectfully requests permission to appear in-this court for this "S CA) y Nina D. Boyajian Greenberg Traurig, LLP 1840 Century Park East, Suite 1900 Los Angeles, CA 90067-2121 C .) Telephone: ([Phone Redacted] Facsimile: ([Phone Redacted] Email: [Email Redacted] STATE OF CAL ) ss: COUNTY OF LOS ANGELES 1, Nina D. Boyajian, do hereby swear or affirm under penalty of perjury that I am the Movant in the above-styled matter; that I have read the foregoing Motion and know the contents thereof, and the contents are true of my own knowledge and belief. Nina D. Boyajian 3 ACTIVE47077721 EFTA02732522 CERTIFICATE OF LOCAL COUNSEL I hereby consent to be associated as local counsel of record in this cause pursuant to Florida Rule of Judicial Administration 2.510. DATED January 16, 2020. /s/ Stephen A. Mendelsohn Stephen A. Mendelsohn Florida Bar Number: 849324 Greenberg Traurig, P.A. 5100 Town Center Circle, Suite 400 Boca Raton, PL 33486 Telephone: ([Phone Redacted] Facsimile: ([Phone Redacted] Err1 1: s hezfo©gtlaw.com 4 ACTIVE4 7077721 EFTA02732523 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on January 16, 2020, a true and correct copy of the foregoing motion was served by mail to HIV Admissions, The Florida Bar, 651 East Jefferson Street, Tallahassee, Florida 32399-2333 accompanied by payment of the $250.00 filing fee made payable to The Florida Bar. I also certify that the foregoing was electronically filed with the Clerk of the Court using the Florida Courts E-Filing Portal and is being served by e-mail generated by. the EPortal system upon: Douglas A. Wyler, Esq., Scholz & Wyler, LLC, 961687 Gateway Blvd., Suite 201-I, Femandina Beach, FL 32304, jacobsscholzlaw®comcast.net; and Ipmpton C. Peterson, General Counsel, Post Office Box 33402, West Palm Beach, FL: 33402, service®mypalmbeachclerk.com. Steohen A. Mendelsobf Stephen A. Mend 5 ACTIVE47077721 EFTA02732524