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EFTA02734509

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Filing II 147731023 E-Filed 04/14/2022 03:40:25 PM 
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. 
04
AMENDED AND SUPPLEMENT AVIT 
OF REASONABLE ATTORNE & COSTS 
STATE OF FLORIDA 
COUNTY OF PALM BEACH 
BEFORE ME, the undersigned a rity, peared Robert Winess, Esq., who, after being 
first duly sworn, deposes and says: 
1. I am a practicin y in Palm Beach County, Florida. I was admitted to The 
Florida Bar in 2002 and cticed law in the State of Florida continuously ever since. 
2. 
the State of 
prof 
ge an practice in a firm that handles legal matters, including litigation, in 
I represent a wide range of clients including numerous corporate and 
ins as well as individuals and professional groups. I handle many different civil 
matters and have experience in litigation against media entities. 
3. I am familiar with the amount customarily charged by attorneys in this community 
for civil litigation and allowed by the court for attorney's fees in civil litigation contingency fees 
cases such as this matter. 
*** FILED: PALM BEACH COUNTY, FL ABRUZZO, CLERK. 04/14/2022 03:40:25 PM *** 
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4. I am familiar with the hourly billing rates charged for legal services in this 
community by senior partners, partners, associates, and paralegals. My current hourly billing rate 
is $500.00 per hour. The hourly rate charged in this community by attorneys with comparable 
experience is between $450.00 and $600.00 per hour. The hourly rate charged by the attorneys 
for Defendant Aronberg is found within the middle of that range. Specifically, the ho ly rate for 
services performed by Defendant Aronberg's attorney, Douglas A. Wyler, is $425. hour and 
this is a reasonable hourly rate for a named partner with the extensity ce and skill 
demonstrated by Mr. Wyler within this community. Likewise, Mr. W or partner, Arthur 
I. = hourly rate is $475.00 per hour, which is also a reaso 'thin this community. 
5. I have reviewed the pleadings and docum 1 this cause and have otherwise 
8s ,generally become familiar with the proceedings in ' ilarly, I have examined the record t e
1%of time expended in this matter by the attome ndant Aronberg in this matter. It is my ( s r
opinion that the hours expended by the eys e consistent with the work-product performed, ti
as reflected in the file, as well as co s 's cation to incur an additional 15.0 hours at $425.00 
an hour in preparing for, tray ing d attending the hearing on sanctions/attorneys' fees are 
reasonable. Accordingly, urs of attorney time reflects an accurate billing and expenditure 
of time for co from the date of their demand under § 57.105, Fla. Stat. 
6. on the criteria in v. Florida Patient's Compensation Fund, 472 So.2d 
1145 ( amount of time spent, and a reasonable hourly rate for legal services of the type 
performed by Defendant Aronberg's attorneys in this case, $61,840.00 (calculated at 131.2 hours 
x $425.00/hour + 12.8 hours x $475.00/hour) is a reasonable fee for the attorneys of record in the 
above styled cause. 
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7. I have reviewed said file in light of the criteria set forth in Rule 4.1-5 of the Florida 
Bar Rules of Professional Conduct and the decisions of the Florida Supreme Court in Florida 
Patient's Compensation Fund v. a 472 So.2d 1145 (Fla. 1985) and Standard Guaranty 
Insurance Co. v. Ouanstrom 555 So. 2d 828 (Fla. 1990). 
8. In my opinion, the outcome achieved by counsel for Defendant Aronberg in this 
case demonstrates the level and skill in advocacy of representation which Defe Aronberg 
received in this case. 
11. Based upon my experience, it is my opinion that described in the 
Amended Motion for Attorneys' Fees and Costs filed in this r ch Defendant Aronberg i:5seeks compensation are based on a reasonable and neces x iture of time and expenses. I 
base my conclusions on the foregoing and my knoJ e time required to litigate similar 
civil cases involving media entities. 
FURTHER AFFIANT SAYETX0IT. 
ROBERT WINESS, ESQ. C
t sar VERIFICATION 
UNDER PEN F PERJURY, I DECLARE THAT I HAVE READ THE FOREGOING 
AND THAT I H A S STATED THEREIN ARE TRUE. 
ROBERT S. WINESS, ESQ. 
APRIL 14, 2022 
DATE 
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CERTIFICATE OF SERVICE 
I HEREBY CERTIFY that on this 14th day of April, 2022, a copy of the foregoing 
Amended and Supplemental Affidavit of Reasonable Attomeys' Fees has been electronically filed 
with the Florida E-File Portal for e-service on all parties of record herein. 
SCHOLZ & WYLE LC Ahmet 
/s/ Douglas A. Wyler 
Arthur I. M, Esq. 
Fla. Bar No.: 10249 
Richard J. Schol 
Fla. Bar No.: 00 
Douglas A ler, 
Fla. Bar 979 
9616 Blvd., Suite 201-1 
F each, Florida 32034 
-3693 
61-7879 Fax 
(S/ ' 
P iiary: jacobsscholzlaw@comcastnet 
noA rneys for Defendans, Dave Aronberg 
Gw 
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