HomeMy WebLinkAbout97-00160
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The defendant is ordered to refrain from having any direct
or indirect contact with the plaintiff including, but not limited
to, telephone and written communications, except for the limited
purpose of faci litating custody arrangements.
The defendant is enjoined from harassing and stalking the
plaintiff and from harassing the plaintiff's relatives, or the
minor chi Idreno
The defendant is enjoined from entering the plaintiff's
place of employment.
The defendant is enjoined from removing, damaging,
destroying or sel I ing any property owned jointly by the parties
or owned solely by the plaintiff.
^ violation of this Order may subject the defendant to: i)
arrest under 23 Pa.CoS. ~6113; ii) a private criminal complaint
under 23 Pa.C,S. ~6113,1; iii) II charge of indirect criminlll
contempt under 23 Pa,CoSo ~6t14, punishable by imprisonment up to
six months and a fine of $100.00-$1,000.00; and iv) civil
contempt under 23 Pa.C.S. ~6tI4.1. Resumption of co-residence on
the part of the plaintiff and defendant shall not nullify the
provisions of the court order.
This Order shall remain in effect until modified or
terminated by the Court and can be extended beyond its original
expiration date if the Court finds that the defendant has
committed another act of abuse or has engaged in a pattern or
practice that indicates continued risk of harm to the plaintiff.
Temporary custody of I1rooke A. and Alexa M. 110wman is hereby
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nwarded to the plnintiff, Maria Salerno-Uowman.
The defendant is ordered to rei inquish to the sheriff's
department any weapons which he owns, possesses, has used or
threatened to use against the plllint iff: nnd the defendant is
prohibited from acquiring or possessing any other weapons for the
duration of this Order.
A hearing shall be held on this matter on the
day of
January, 1997, at
I,
..:m., in Courtroom No._, Cumberland
(
County Courthouse, Carlisle, Pennsylvania.
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The plaintiff may proceed without pre-payment of fees
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,
pending a further order after the hearing.
The Cumberland County Sheriff's Department shall attempt to
make service at the plaintiff's request and without pre-payment
of fees, but service may be accomplished under any appl icable
rule of Civil Procedure.
This Order shall be docketed in the office of the
Prothonotary and forwarded to the Sheriff for service. The
Prothonotary shall not send a copy of this Order to the defendant
The Middlesex and East Pennsboro Police Departments will be
by mail.
provided with certified copies of this Order by the plaintiff's
attorney. This Order shal I be enforced by any law enforcement
agency where a violation occurs by arrest for indirect criminal
contempt without warrant upon probable cause that this Order has
been violated, whether or not the violation is committed in the
presence of the police officer,
In the event thllt an Ilrrest is
Maria Salerno-Bowman,
Plaintiff
IN TilE COURT OF COMMON PLEAS OF
CUMnERLAND COUNTY, PENNSYLVANIA
v.
NO, 97- j(;() CIVIL TERM
Gary M. Flowman,
Defendant
PROTECTION FROM ABUS~;
AND CUSTODY
PETITION FOR PROTECTION ORDjffi
AND CIlSTODY
RELIEF UNDER TilE PROTECTION FROM ABUSE
ACT, 23 Pa.C.S. ~ 6101 et seq,
A. ARUSE
1. The plaintiff, Maria Salerno-Bowman, is an adult
individual residing at 4 Tiffany Drive, Carlisle, Cumberland
County, Pennsylvania.
2. The plaintiff will be moving temporarily to her
parents' residence located at 163 Briarwood Drive, Pittsburgh,
Allegheny County, Pennsylvania, for her own protection and to
avoid further abuse as is more fully set forth herein,
3, The defendant, Gary M. Bowman, (SSN: 191-50-5016) (Date
of Birth: 8/18/58), is an adult individual residing at 4 Tiffany
Drive, Carlisle, cumberland County, Pennsylvania.
4. The defendant is the plaintiff's husband,
5, Since approximately 19Hat the defendant has attempted
to cause and has intentionally, knowingly, or recklessly caused
bodily injury, to the plaintiff, or has placed the plaintiff in
reasonable fear of imminent serious bodily injury, and has
knowingly engaged in a course of conduct or repeatedly committed
acts toward the plaintiff under circumstances which have placed
the I':aint iff in reasonahle fear of bodi Iy injury.
This has
included, but is not limited to, the following specific instances
of abuse:
a. On or about January 2, 1997, the defendant
screamed at the plaintiff, forcefully grabbed her hand,
and shoved her. The plaintiff call the police who
confiscated the defendant's weapons,
b. In or about October 1996, the defendant grabbed a
loaded gun from his closet, and while pointing the gun
at the plaintiff, threatened her saying "This is the
only way you're getting out of here."
c. In or about September of 1996, the defendant
shoved the plaintiff against a counter, grabbed her
nightgown, ripped it, and screamed in her face, The
defendant then grabbed the plaintiff by her wrist and
twisted it causing bruises on her arm.
d, In or about the Summer of 1996, the defendant
threatened the plaintiff by saying that he would shoot
her and himself so that neither of them would get the
chi Idren.
e. On or about March 6, 1996, the defendant grabbed
the plaintiff by her wrist causing pain and bruising.
r. In or about September 1995, the defendant
forcefully pushed the plaintiff ngainst a bar stool
and, threw a camcorder at her and pushed her again.
g. In or about June 1995, when the plaintiff was
about 7-1/2 months pregnant, the defendant grabbed her
2
by the wrist pushing it away and grabbed her by the
hair and repeatedly punched her.
h. In or about the Summer of 1994, while the
plaintiff was holding her arms in the air to protect
herself from the defendant, he grabbed and punched her
arm repeatedly, causing bruises on the underside of her
arm,
i. In or about the Winter of 1993, while the
plaintiff was pregnant, the defendant choked and
repeatedly kicked her in the legs and then in the back
causing cramping and pains in her chest.
j, On or about May 15, 1991, (the parties' wedding
night), the defendant ripped the plaintiff's veil off
of her head, threw her down on a bcd, and repeatedly
punched her in the head, face, and body.
k, On several different occasions since 1988, the
defendant has kicked the plaintiff, pulled her hair,
punched her, pushed her, and forcefully squeezed her
body screaming in her ear. On one occasion, the
defendant restrained the plaintiff in a bathroom and
repeatedly punched her causing a black eye and a bloody
nose. On another occasion, whi Ie the plaintiff and the
defendant were in a car, and the defendant was driving
recklessly causing the plaintiff to fear for her
safety, he grabbed her by the hair and repeatedly
3
banged her head against the passenger's side of the
window. On several occasions, the defendant has
threatened to kill the plaintiff saying thut the only
way she would leave him would be in a "pine box,"
b. On or about January 11,1997, the plaintiff will be
leaving her residence at 4 Tiffany Drive, Carlisle, Cumberland
County, Pennsylvania, in order to avoid further abuse.
7. The plaintiff believes and therefore avers that she is
in immediate and present danger of abuse from the defendant and
that she is in need of protection from such abuse.
R. The plaintiff desires that the defendant be prohibited
from having nny direct or indirect contact with the plaintiff
Including, hut not limited to, telephone and written
communications, except for the limited purpose of facilitating
custody arrangements.
9. The plaintiff desires that the defendant be enjoined
from harassing and stalking the plaintiff, and from harassing the
plaintiff's relatives.
10. The plaintiff desires that the defendant be restrained
from entering her place of employment or the schools and day care
facilities of the minor children.
II, The plaintiff desires that the defendant be enjoined
from removing, damaging, destroying or selling any property owned
jointly by the parties or owned solely by the plaintiff.
12, The plaintiff desires that nny weapons the defendant
4
Allegheny County, Pennsylvania.
Since their births, the children have resided with the
following persons and at the following addresses:
Name Addresses Dates
Plaintiff, Defendant, 4 Tiffany Drive 9/12/93 to
I1nd Brooke A. Bowman Carl isle, PA 17013 8/9/95
Plaintiff, Defendant, 4 Ti ffany Drive 8/9/95 to
Brooke A. and Alexa M. Carlisle, PA 17013 present
Bowman
The plaintiff, the mother of the children, currently resides
at 4 Tiffany Drive, Carlisle, Pennsylvania, but will be moving to
163 Briarwood Drive, Pittsburgh, Pennsylvania, on or about
January 11, 1997.
She is married.
The plaintiff currently resides with the following persons:
Name
Relationship
Gary M. Bowman
Brooke A. Bowman
Alexa M. Bowman
husband
daughter
daughter
The defendant, the father of the children, currently resides
at 4 Tiffany Drive, Carlisle, Cumberland County, Pennsylvania.
He is married.
The defendant currently resides with the following persons
Name Relationship
Maria C. Salerno-Bowman wife
Brooke A, Bowman daughter
Alexa M. Bowman daughter
18, The plaintiff has not previously participated in any
litigation concerning custody of the above mentioned children in
6
this or any other Court.
19. The plaintiff has no knowled~e of any custody
proceedings concerning these children pending before a court in
this or any other jurisdiction.
20. The plaintiff does not know of any person not a party
to this action who has physical custody of the children or claims
to have custody or visitation rights with respect to the
chi Idren.
21. The best interests and permanent welfare of the minor
children will be met if custody is temporarily granted to the
plaintiff pending a hearing in this matter for reasons including:
a. The plaintiff is a responsible parent who can best
take care of the minor children, and who has provided
for the emotional and physical needs of the children
since their births.
b. The defendant has shown by his abuse of the
plaintiff that he is not an appropriate role model for
the minor chi Idren.
WHEREFORE, pursuant to the provisions of the "Protection
from Abuse Act" of October 7, 1976, 23 Pa,C.S. g 6101 tl ~., as
amended, the plaintiff prays this Honorable Court to grant the
folloWing relief:
A. Grant a Temporary Order pursuant to the
"Protection from Abuse Act:"
1. Ordering the defendant to refrain from
abusing the plaintiff or from placing her in fear
7
of abuse.
2. ordering the defendant to refrain from having
any direct or indirect contact with the plaintiff
including, hut not I imited to, telephone and
written communications, except to facilitate
custody arrangements.
3. Ordering the defendant to refrain from
harassing and stalking the plaintiff and from
harassing the plaintiff's relatives.
4. Prohibiting the defendant from entering the
plaintiff's place of employment and the schools or
the day care faci lit ies of the minor chi Idren.
5. Prohibiting the defendant from removing,
damaging, destroying or selling property jointly
owned by the parties or owned solely by the
plaint iff.
6. Ordering the defendant to stay away from the
plaintiff's residence located at 163 Briarwood
Drive, Pittsburgh, AI Icgheny County, Pennsylvania,
and any other residence the plaintiff may
estllbl ish, except for the I imi ted purpose of
transferring custody of the Pllrties' chi Idren.
The defendant shall remain in his vehicle at all
times during the transfer of custody.
7. Grunting tempoJ'llry custody of the minor
children to the plaintiff,
H
8. Ordering the defendant to relinquish to the
sheriff's department any weapons which he owns,
possesses or has used or threatened to use against
the plaintiff, and prohibiting the defendant from
acquiring or possess in!! any other weapons for the
duration of the order.
B. Schedule a hearing in accordance with the provisions of
the "Protection from Abuse Act," and, after such hearing, enter
an order to be in effect for a period of one year:
I. Ordering the defendant to refrain from
abusing the plaintiff or from, placing her in fear
of abuse.
2. Ordering the defendant to refrain from having
any direct or indirect contact with the plaintiff
or the minor chi Idren inclUding, but not 1 imi ted
to, telephone and written communications, except
to facilitate custody arrangements.
J. Ordering the defendant to refrain from
harassing and stalking the plaintiff and from
harassing the plaintiff's relatives,
4. Prohibiting the defendant from entering the
plaintiff's place of employment and the schools or
the day care faei I It ies of the minor chi ldren.
S. Prohibiting the defendant from removing,
damaging, destroying or selling property jointly
owned hy the parties or owned solely by the
<)
pl/lintiff.
6. Ordering the defendant to stay away from the
plaintiff's residence located at 163 Driarwood
Drive, Pittsburgh, Allegheny County, Pennsylvania,
and any other residence the plaintiff muy
establish, except for the limited purpose of
transferring custody of the purties' children.
The defendunt shill I remain in his vehicle at all
times during the transfer of custody.
7. Grunting temporary custody of the minor
children to the plaintiff
8. Ordering the defendant to rei inquish to the
sheriff's department uny weapons which he owns,
possesses or hus used or tbreatened to use against
the plaintiff, and prohibiting the defendant from
acquiring or possessing any other weapons for the
duration of the Order.
9. Ordering the defendant to reimburse tbe
plaintiff's out-of-pocket losses suffered as a
result of the abuse including but not limited to
the losses listed on the uttached sheet marked
Exhibit A.
10. Ordering the defendant to pay $250.00 to
reimburse one of Legal Services, Inc.'s funding
sources for the cost of litiguting this case.
The plaint i fr further asks that this Pet i t ion be fi led and
10
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MfP - PN
SALERNO BOWMJ1.N, MARIA
DOB: 10/3/64
# 9"006>J~4 4
9/23/96
S: Patient was seen in the E.R. at Harrisburg Hospital on Saturday
due to chest and shoulder pains. She was found to have muscular pain
after an ERG and chest x-ray were done. Her labs showed that she was
anemic. She has known thalassemia but her blood count at the time was
8.8 and 27.4 which is a llttle lower than it usually runs. She said
she was given Tylo:: although the discharge summary doesn't state that.
She says that made her sleepy so she didn't want to continue with it.
She also had some chills and low grade fevers last we€k, No sore
throat or cold symptoms. Of note is the fact that patient has a
history of living in domestic violence. Her husband is very
emotionally abusive, as well as physically abusive. He squee:es her
multiple times. In fact, on Thursday before she went to the E.R., she
was thrown back against the wall. She has not taken steps yet to take
her 1-year-old and 3-year-old and herself out of this situation
because she is fearful of losing the house and her job. Her main
family support is in Fittsburgh. Her husband has threatened to harm
her ie: kill her, if she tries t:J leave and threatens her that she
will never see her children again.
0: General: Patient seems tense. She is intermittently tearful
during the visit as we talk about the situation at home.
HEENT: Eyes are PERRLA/EOMI, fundoscopic e:,:am is normal. Ears
normal. Head is tender all along the musculature of the sides and
back of the head.
Neck: Reveals tenderness throughout the paras pinal muscles with
limited range of motion w:th discomfort.
Back: Revealed tender points all along the paraspinal muscles and
trape:ius muscles of the entire spine with trigger points.
Chest/Back: Had somewhat decreased range of motion due to pain but no
scoliosis was found. Chest wall was exquisitely tender bilaterally.
Lungs: Clear with good breath sounds.
Heart: Regular rate and rhythm with no murmurs.
Neurologic: Reflexes 2+ throughout. finger to nose testing and
Romberg's testing was negative. Rapid alternating hand movements were
normal. Cranial nerves were normal.
A: Neck, back, and chest wall pains. More likely muscular pains
related to fibromyalgia.
2, Domestic violence.
3. Anemia with history of thalassemia, Rule out underlying iron
deficiency as well.
../
P: Check c-spine films due to history of abuse, as well as rib films.
2. Check total tron binding capacity, H&~ andYTSH.
3. Try Naprosyn, 500 mg. b.i.d. as needed with food as needed for
pain, as well as Soma, 1 q6h or just in the evening as needed for
muscle tension pain.
(Continued on next pagel
:-IFP - PN
SALERNO BOWMAlI, :-!ARIA
4. Warned her about the sedatina nature of the muscle rela~er in
particular and I told her to be careful of this as I did net want her
to be sedated if she were in a dangerous situation at home.
5. Planted the seed with her about trial with anti-depressants.
6. Strongly encouraged her to contact the domestic violence center.
Phone numbers were given.
7. Follow up in 2 weeks,
DO: 9/23/96
DT: 9/23/96 hmr
,,\
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Kathleen Sempeles, M.D.
~
HFP - PN
SALERNO-BOWMAN, HARIA
DOB. 10/3/64
I 3168595
9/2B/95
S. Patient comee in today for advice about weight loe.. Really want. to go on
Ionamin and Pondimin. She recently delivered a baby 8/9. She is 7 weeks po.t
partum. SQe gainsd about 50 lb.. with the pregnancy. Pre-pregnant weight was
152, maximum weight wag about 208. She so far has lost 32 Ibs. since delivery.
Feels at thi. point that the only way she is loosing the weight is by starving
herself. Has been exercising about 2 x a week, walking about 2 milee. Had been
on appetite lurpressant about 12 yeas ago with good results. Has done Weight
Watchers in the past with good results. Wants to restart her Weight Watchers
and start on an appetite surpressant. She feels if she starts eating now she is
going to eat uncontrollably and gain weight.. She would like to loose down to 140
although in discussion with her she realizes that this is too low and is happy
to work towards 150. Hopes to do this over the next 3-4 months. ADL's continues
to have a lot of stress at home. States that when she spoke to me on the phone
her husband was standing nearby and did not feel comfortable in telling me the
problems. Continues with a iot of marital discord. Is not in any counselling
at this time. Has contacted Domestic Violence. Has also called around to talk
to attorneys. Is in the process of making up a will and conside~ing what her
legal options are. Has money, vital records, etc. in a safe availablo increase
ehe ever needs to leave in a hurry. Is contemplating possibly moving home with
her parents but really has not pursued that. Seems to have some unrealistic
expectations that the marriage will work. Was in counselling in the past and
felt that this helped for a time but now feels that things have eecalated. She
will bs returning to work in october and is lomewhat ambivalent about this.
hal no suicidal ideations. Reports that her husband has not physically hit hsr
but shs does worry because he does have a gun. She reports she does have
contact with the police and talks with them as well as Domestic Violence.
o. General: Affect is full.
A: Weight loss counselling.
2. Situational stress with domestic violence concerns.
P: Will try the Ionamin and pondimin. Explained to her that it is important
that ehe eat regular meals as well as continue with hsr regular exercise.
Asked her to rscheck with me in 6-8 wseks. Discussed the side effects of the
medication. Gave her Ionamin 15 mg., 30 tablets, 1 po q. day and pondimin 20
mg., 1 po t.i.d., 90 tablets and no refills.
2. She is to call me if she has problems with the medication.
3. Allo scheduled an appointment for her to see the nutritionist to look more
at her diet.
DO: 9/28/95
DT. 9/2B/95 ba
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MFP-PN
SALERNO-BOWMAN, MARIA
DOB: 10/3/64
'2478374
4/2/93
VITAL SIGNS: Weight is 171 pounds, temperature 98.9, blood pressure 122/56,
pulse 96, respiratory rate 18.
S: The patient presenta today vi th complaJ.nts of back pain in the r J.ght
lover back region, also vith some diffuse abdominal cramping. She reports
that she vas involved in an argument vith her husband last evening. They
vere fighting. He began hitting her and choking her around the neck and then
kicked her in the lov back. She has had pain sJ.nce then. He did not kick
her in the abdomen. She notes that she has felt the baby move, but doesn't
seem to be as active as before. She has been very upset and anxious about !
this, and hasn't really been able to concentrate except for on baby activity. I
Shbed has habdtno vagJ.nlal bleeding. Shde hasl sOkmie miflld tdendesrhnesds J.n hetr 10twhert '
a omen, u no rea crampy paJ.n an no ea ng UJ.. e oes no e a '
the pain is primarily 10calJ.zed in the back and does not radiate down the ,I
leg. She has not used anything for it. This has occurred on several I
occasions. She has been involved in domestJ.c violence vith him. She is very
hesJ.stant or resistant to leave him. We have dJ.scussed domestic violence
hotline. We have discussed the natural history of thJ.s to escalate. We have
discussed in great detail the pattern of abuse and the low self-esteem that
results from this. She is still very hesitant to leave him at this time.
0: Back: There vas a full range of motion of the back. There is some
palpable tenderness over the right SI joint and low lumbar region. There is
no palpable spinous process tenderness. There is no muscle spasm noted.
There is no tenderness over the sciatic notch bilaterally. Deep tendon
reflexes are +2. Strength is 5/5 in the lower extremities. Sensation is
normal. There is a negative straight leg raise. The patient is able to flex
forward 90 degrees. Side to side motion is good, but does elicit some pain.
Abdomen: Soft with mild diffuse tenderness. Fetal heart tones are 142 and
good. Fundal height is approximately 18 cm. She is approximately 18 veeks
by dates.
A: 1.
strain
2.
3.
Right musculoskeletal sacroiliac joint pain with paraspinous muscle
status post trauma.
Domestic violence.
Intrauterine pregnancy at 18 weeks.
P: 1. I have discussed vith the patient the need for heat, Tylenol one to
tvo tablets every four hours, and rest.
r-I
MFP-PN
SALERNO-BOWMAN, MARIA
DOB: 10/3/64
12478374
4/2/93
2. I have discussed in great detail the 1mportance of her gett~ng out ot
this dangerous situation. I have g~ven her the number tor domestic violence
and offered to call them while she was here. The patient is hesitant to do
this. She says she will try to make contact with them tomorrow when her
husband is not around. She is hesitant to stay any longer here at the office
for fear that her husband will find out. She reports that she does not fear
for her life at this time, and is very hesitant and wants to work things out.
We have discussed her unrealistic expectations. We d~scussed the seriousness
of this and the fact that she could be endanger~ng her life. She still is
resistant to leaving.
3. She will follow-up with me next week. I have encouraged her to call
sooner if she has any further problems. She is to call ~f there is any
vag~nal bleeding or any change in her pa~n.
(~!!-v2r."*n
AB/bjg
DD: 4/2/93
DT: 4/9/93
Cassette '683
MF'? - P ~l
SAL:::~NC-BCWI1AN, MA:\:A
DOS: 1\l/3/S4
..................'J........
"_..;':l~f.J
101 :'3/':1:
V:TAL SIGNS: T~mp~r3tur~ ~3 38.4,
r~spiratory rate 20.
bl~~d pr~33uc~ lQ~,'52,
p,..':'3-:- ,:0,
s: The patient p.esents today 10. fOllo.-up w~th .~~a:d~ to some st:~ss ~~3~
she h~3 b~~n having. Sh~ cQntinu~s w~th n~ck ~a~n 3nd a:sc h~~ b~~n n~~_~~~~
~ome indigest~on. Her h~atal hernia has b~en act~ng up. Sh~ C~PQ.t~ t~d~
she i~ having much ztres3 in all a~p~~t~ of h~: 1~i~. She ha~ ~tr~s2 at ~j~~
fil.tll ht?r husband, now r-=-':'atian~hip st:e-s.s at wc.rk, i~na""lcia':" .st.r=-.;:~o.(~, Q';
w~ll as her physical h~alth. Sh~ j3 very concern~d about probl~ms that ~~~
has been having with her ~arriag~ and 1~ very much int~rest~d 10 seeking ~0m~
:urth~r counse:ing. She report~d 3~veral episoc~~ wher~ 3h~ and h~: hu~tQ~~
have phY~1cally be~n abus1ve to on~ another. 5h@ repo.ts that what he~ n.~~
;Jain stems from initially i.;! same- trauma that sh~ had wh-?o sr.e a;-.~ r.,:,,:-
husband were fighting approximat~ly a y~ar ago. Sh~ re-pcrtz t~at he dc&s h~t
h~r at tim~s, and th~y verbally fight on many occas~ons. Althcugh she ad~~~3
t~at th~y beth lQv~ each oth~r d~a~lj, ~he do~s a~mlt tc ma~~ p:cb:~ms ~~~h
their relationship. S11~ knows that he- w~l: nct gG !~~ ccunse:~ng, t~t ~h~ ~~
~nte:est~d ~~ st?~k~ng SGme cou~s~ling. ~he ~s not int~ce3t~d ~~ 1~3v~n~ ~~~
at th~s time, noe cOo?z she- !~e: the ~e-ec to pr~~z dn, ~har;~$ ~r ca:: t~~
dGme~tic vio:~nct? hctllnt? She conti~we~ to nct2 that ~~t~~ t~ey have had
ep~S;~dC'5 c: fighting or thE're is stre-ss at 'tiork or th-a-ra art? iina:1c~3':'
stre-ssors, she will hav~ more pain in her nec~ or her stomach. Presently sh;
m~ght possibly be pregnant, so she has been avoiding any med~cations ot~~:
than Tylenol. Sh& has ue~d Valium ~n th~ past, dnc that has h~lp~d with 6~m~
~If th~ stre~~ and an:,iety a~ W~:: as scme ~t the t1;~tn~s~ ~n h~r ~~ck.
c: Physical exam was not done today.
A :
1.
Cervical strain.
St:n?ss.
Dysfunctional r&lationship.
~
4.
J.
P: 1. I spoke with the pati"nt 1n grea~ d~tail about. psy,or.c.log.;.<;al
cuunseling. I ancouraged her to contact Ca~ita: Pzychol~g4=~1 A~d0ciat~~,
I told her the availability of Linda Kan:leite:, and that may be somebody sh~
could wack with.
2. I encouraged her to contact DQm~stic Violence HQtlin~ 0: th~ Cr13i3
Intervention. I stressed to h"r the .01. ot he. stress un h". symptomatolo9Y
at this time.
3. 5h" will follow-up this week 10r neck manipulation w~th Dr. Muscalus.
Will consid". send1ng he. for some physical therapy following this and avo.;.d
any other mo?dications until sho? gets a p".iod and d~te.mino?s sho? ~s not
pregr.ant.
4. She will tollow-up with
cc.unseli.~g .
me in approximately two
~,t?(f~
we~k.s
fc'r
fur the.:
AB/bJ9
CD: 10/19/'3::
DT: H)/:5/9:
rr/
CaE;':?tte- #671
CERTIFICATION OF PFA'S
Case
Number (/7-1'0 flu.J.. T~
h~~
C~ fA }70/3
I
Victim's Name:
711~~~-~
Name
Balance Due: $ 170,50
ADD
170 State Surcharge $ c5? 0. 00 S
171 State Fine $ S
260 Sheriff Cost S S
502 Res t i tu tion $ S
DELETE
Name f~1',4.. (J~
Address
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Ci ty
State
Zip
Name f<.~Ihli: ~~..buu..s 100.00
Address
City
State
Zip
Name
Address
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City
State
Zip
Prothonotary Office
Person Certifying Information ~iL_"!k:..~_ Date WqZ-
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