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HomeMy WebLinkAbout97-00379 , I I \ \. \) ~ ~ ~ ~ ~ \. tJ II') II) a ::! o ~ ~, .~ /' ( " ~ '- - .:) - <:.J ~ to.. C'C) / / I K 1;3- . ~ .))OCT 0 9 1997 ~ / " sePTEMBER )0,1997 COLLEEN MAE BOLDOSSER PLAINTIFF IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO.97-)79 CIVIL TeRM PROTeCTION FROM ABUSE VS. TODD DOUGLAS BOLDOSSER,SR, DeFENDANT f~1"11'O.v - TO WHOM IT MAY CONCERN I I TODD DOUGLAS BOLDOSSER,SR. WOULD LIKE TO PETITION THE COURT OF COMMON PLEAS OF CUMBERLAND COUN~y,PENNSYLVANIA FOR THE RETURN OF MY FIRE ARMS. THE PROTECTION FROM ABUSE NO.97-379 HAS BEEN WITH DRAWN ON THE 23RD DAY OF SEPTEMBER, 1997 , AND THERE FOR I WOULD LIKE TO PETITION THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA FOR THE RETURN OF MY FIRE ARMS WHICH HAS BEEN SEIZED FROM MY POSSESION. T~:'~R: S~'. ~~~ /0/7/77 "'~ .\ ~ 10 ~ ..., yr;.~ ,::;) c-;J ., rn; .... 'f':IJ >; , , '~~ . : -.) '~'.j r~ -j ~. '2 :FI "", ..,. - JF-' ~r: ,~..~. - ;5 fl - , , .. ~ ~~ ,'\) ;0 -.:; '\!~CT 0 9 1~91 \ sSP'!';:::r,1DSR )0, 1 ')<)~l COLLi~~N 1.IAB BOLiJOSSt::R PLAIt/TIPF IN 'l'H;~ COUR-I' OF COIO.;OH PL~AS 01' CU!om~RLAfm COUtl'l'V, PC:Nl.~YLVANIA NO.97-)79 CIVIL TERM PROTECTION FROM ABU~E vs. TODD DOUGLAS BOLDOSSER,SR, D~F!i:NDANT f1t!'~" ~"o,v ~2 ~ ~ :::1 ..i :!j ..... '.,1"" ';0 "6 ';)"1 !-:b ',~n om 'c'-l ON Tilt:: 2)RD DAY OF S~PTr~MBP.R, 1 <)97 , AND TIlI~I\E FOR I WOULl) " ~ - -< LIKE TO PETITION TIlE COURT OF COft1f40N PL3AS OF CUY.B3RLAND COUNTY, PENNSYLVANIA FOR TItE RETURN OF ~:y FIRe ARtr:S WHICH HAS BBEN SEIZED FROM ~Y POSSESION. TO WHOM IT ~~y CONCERNl I TODD DOUGLAS BOLDOSS!~R,:::lR. COURT OF COY.MON PLEAS OF CUMBERI~ND THE RETURN OF MY FIRS ARh'S. TItE PROTECTION FROlt ABUS~ 1'10.9'1-)'79 -,-." 0 WOULD LIKE TO Pj~TIT~()N TI~ COUNrY,PENNSYLVANIAj.OR ~ ,-' ". !IAS BeSN Wl'rH:'P,RA~ TODD DOUGLAS BOLDOSS~R, SR. --- - /"/ .~ ,-,'~ -'// ~ ~- --::::;'~. ~~~-- ,,- r" , . ~ 7,/77 COLLEEN MAE BOLDOSSER. Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY. PENNSYLVANIA v, NO, 97- ~'19 CIVIL TERM TODD DOUGLAS BOLDOSSER. SR" Derendant PROTECTION FROM ABUSE TEMPORARY PROTECTION ORDER AND NOW. thisJJ.N..{,f January, 1997, upon presentation and consideration of the within Petition. and upon finding that the plaintiff. Colleen Mae Boldosser, now residing at 30B Gasoline Alley, Carlisle. Cumberland County, Pennsylvania, is in immediate and present danger of abuse from the defendant. Todd Douglas Boldosser, Sr., the following Temporary Order is entered. The defendant, Todd Douglas Boldosser. Sr. (SSN: Unknown)(DOB: 7/01/68). now residing at 30A Gasoline Alley, Carlisle. Cumberland County. Pennsylvania, is hereby enjoined from physically abusing the plaintiff, Colleen Mae Boldosser, or from placing her in fear of abuse. The defendant is ordered to stay away from the plaintiffs residence located at 30B Gasoline Alley, Carlisle. Cumberland County, Pennsylvania. to which the plaintiff and the minor children moved to avoid abuse. which is not owned or leased by the defendant, and is ordered to stay away from any residence the plaintiff may in the future establish for herself. 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 facilitating custody arrangements. The defendant is enjoined from harassing and stalking the plaintiff and from harassing her relatives, or the parties' minor children, The defendant is enjoined from removing, damaging. destroying or selling any property owned jointly by the parties or owned by the plaintiff. , t A violation or this Ordtr may subject tht dtrtndant to: i) arrtst undtr 23 Pa.C.S. ~6113; ii) a privatt criminal complaint undtr 23 Pa.C.S. ~6113.1; iii) a chargt or indirect criminal conttmpt undtr 23 Pa.C.S. ~6114, punishable by imprisonmtnt up to six months and a lint ofSI00.00-51,000,OO; and iv) civil contempt undtr 23 Pa.C.S. ~6114.1. 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 derendant has committed an act of abuse or has engaged in a pattern or practice that indicates risk of hann to the plaintiff. Temporary custody of Todd Eugene Boldosser. Jr. and Crystal Lynn Boldosser, is hereby awarded to the plaintiff, Colleen Mae Boldosser, Tht dertndant is ordertd to relinquish to tht sheriff's departmtnt any weapons which he owns or possesses, and the derendant is prohibited rrom acquiring or possessing any wtapons ror the duration or this Order. A HEARING SHALL BE HELD ON THIS MA TIER ON JANUARY A' , 1996, AT J. :.)0 jJ .M., IN COURTROOM NO. J. , OF THE CUMBERLAND . COUNTY COURTHOUSE, CARLISLE, PENNSYLVANIA. The plaintiff may proceed without pre-payment of fees pending a further order after the hearing, The Cumberland County Sheritl's Department shall attempt to make service at the plaintitl's request and without pre-payment of fees. but service may be accomplished under any applicable 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 by mail. The Middlesex Township and Mechanicsburg Police Departments shall be provided with certified copies or this Order by the plaintitl's attorney, This Order shall be enforced by any law enforcement agency where a violation occurs by arrest for indirect criminal contempt without _~~,,,",.........._,_. . .w.._ COLLEEN MAE BOLDOSSER. Plaintilf : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY. PENNSYLVANIA v. NO, 97- CIVIL TERM TODD DOUGLAS BOLDOSSER. SR. Defendant PROTECTION FROM ABUSE NOTICE You have been sued in court. If you wish to defend against the claims set rorth in the following pages, you must take action promptly after this Petition, Order and Notice are served, by appearing personally or by attorney at the hearing scheduled by the Court and presenting to the Court your derenses or objections to the claims set rorth against you, You are warned that if you fail to do so the Court may proceed without you. and a judgment may be entered against you by the Court without further notice for any money claimed in the Petition or for any other claim or relier requested by the plaintiff. You may lose money or property or other rights important to you. FEES AND COSTS Irthe case goes to hearing and the judge grants a Protection Order. a surcharge of $25.00 will be assessed against you. You may also be required to pay attorney fees to Legal Services, Inc. for their representation of the plaintiff. You should take this paper to your lawyer at once. If you do not have a lawyer or cannot aITord one, go to or telephone the office set rorth below to find out wbere you can get legal help. COURT ADMINISTRATOR, 4th FLOOR CUMBERLAND COUNTY COURTHOUSE CARLISLE. PENNSYLVANIA 17013 TELEPHONE NUMBER: (717) 240-6200 AMERICANS WITH DISABILITIES ACT OF 1990 The Court of Common Pleas of Cumberland County is required by law to comply with the Americans with Disabilities Act or 1990. For information about accessible facilities and reasonable accommodations available to disabled individuals having business before the court, please contact our office. All arrangements must be made at least 72 hours prior to any hearing or business bel' ore the court, ~',"'-~~'-""" COLLEEN MAE BOLDOSSER, Plaintiff IN THE COURT OF COMMON PLEAS OF v. CUMBERLAND COUNTY. PENNSYLVANIA NO. 97-....3!lSJ-- CIVIL TERM PROTECTION FROM ABUSE TODD DOUGLAS BOLDOSSER, SR.. Derendant PETITION FOR PROTECTION ORDER RELIEF UNDER THE PROTECTION FROM ABUSE ACT. 23 Pa.C.S. ~6101 et seq. A. ABUSE I. The plaintiff. Colleen Mae Boldosser. is an adult individual residing at 30B Gasoline Alley. Carlisle. Cumberland County. Pennsylvania 17013. 2. The defendant. Todd Douglas Boldosser. Sr. (SSN: Unknown)(DOB: 7/01/68). is an adult individual residing at 30A Gasoline Alley. Carlisle. Cumberland County, Pennsylvania. 17013. 3. The derendant is the husband of the plaintiff and the father of the parties' two children. 4. Since approximately August. 1996. the defendant has allempted 10 cause and has intentionally. knowingly. or recklessly caused bodily injury to the plaintiff. falsely imprisoned the plaintiff. has placed the plaintiff in reasonable fear of imminent serious bodily injury, has knowingly engaged in a course of conduct or repeatedly commilled acts toward the plaintiff under circumstances which have placed the plaintiff in reasonable fear of bodily injury. This has included. but is not limited to. the following specific instances or abuse: a) On or about January 6. 1997. the defendant threw the plaintiff down onto the bed. straddlcd her silling on hcr stomach. and pinncd hcr down holding hcr tightly by her wrists. After thc dcfendant let thc plaintiff go. he went outside and tampered with hcr car engine disabling the car. Fcaring for her safety. the plaintiff t f ~ .l- locked him out of the house. The plaintill's mother contacted the police, and the defendant was arrested. and charged with simple assault. The plaintiff sustained bruising and soreness about her wrists as a result of this incident. A hearing was held bel' ore District Justice Day on January 22. 1997. at 10:00 a.m., the defendant was found guilty or harassing the plaintiff, and lined. b) On or about December 25. 1996, the defendant pushed the plaintiff down onto the bed. straddled her. taped her wrists and ankles together. pressed a knife to her breast. and threatened to kill her and himself The plaintiff sustained bruising about her wrists and ankles as a result of this incident. c) On or about December 17. 1996. when the plaintiff returned home in her car, the defendant came out to the car. opened the driver's side door, punched the plaintiff in the side of the face, pulled her into the garage. and threw her to the ground. The plaintiff sustained bruising and soreness about her face as a result of this incident. d) In or about the fall 1996, the defendant loaded a handgun in front of the plaintiff, threatened to kill her then himself, tried to choke her, and threw her onto the bed with such rorce that she bounced off of the bed and fell on the floor. e) In or about August. 1996. the defendant slapped the plaintiff in the face twice. grabbed her by the shirt. and repeatedly pinched her about her chest. The plaintiff sustained bruising about her chest as a result of this incident. 5. On or about January 6. 1997. the plaintiff and the parties' two minor children left their residence at 30A Gasoline Alley. Carlisle. Cumberland County, Pennsylvania. in order to avoid further abuse. 6. 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. 7. The plaintiff desires that the defendant be prohibited 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 facilitating custody arrangements. 8. The plaintiff desires that the defendant be enjoined from harassing and stalking the plaintiff. and from harassing her relatives. or the minor children. 9. The plaintiff desires that the defendant be enjoined from removing. damaging. destroying or selling any property owned jointly by the parties or owned by the plaintiff. 10. The plaintiff desires that any weapons that the del'endant owns or possesses be confiscated by the Sherill's Department and that the defendant be prohibited from acquiring or possessing any weapons for the duration of the Temporary Protection Order. B. EXCLUSIVE POSSESSION II. The mobile home rrom which the plaintiff is asking the Court to order the derendant to stay away from is owned in the names of her parents. Vera and John Winters. The plaintiff does not seek to evict the defendant from the marital residence. C. SUPPORT 12. The defendant has a duty to support the parties' minor children. 13. The plaintiff is in need of financial support from the defendant including, but not limited to: health insurance coverage. and payment of unreimbursed medical expenses for the plaintiff and the parties' minor children. 14. The derendant is employed at Fry Communications, and has an hourly wage of approximately $6.84. IS. The plaintiff's income is insufficient to provide for her minimal needs and those of the children until such time as a support order can be obtained by filing at the Domestic Relations Office. ,. ~.._-~_._-~--~'.P_, 16. The plaintiff intends to petition for support within two weeks of the issuance of a protection order. D. REIMBURSEMENT FOR COST OF CASE 17. Ordering the defendant to pay $250.00 to Cumberland County. one of Legal Services. Inc.'s runding sources, in lieu 01' attorneys' fees. as reimbursement for the cost of litigating this case and assessing the $25.00 surcharge and court costs to the defendant if the case goes to hearing. E. TEMPORARY CUSTODY 18. The plaintiff seeks temporary custody or the following children: Name Crystal Lynn Boldosser Address 30B Gasoline Alley Carlisle. PA Au II years old DOB: 12114/85 Todd Douglas Boldosser. Jr. 30B Gasoline Alley Carlisle. P A 6 years old DOB: August 24, 1990 Crystal Lynn Boldosser was born out of wedlock; Todd Douglas Boldosser, Jr., was not born out of wedlock. The children are presently in the custody of the plaintiff, Colleen Mae Boldosser, who resides at 30B Gasoline Alley. Carlisle. Cumberland County, Pennsylvania. During the past five years the children have resided with the following persons and at the following addresses: Name Address DaISI Plaintiff, and her parents. Vera and John Winters 30B Gasoline Alley Carlisle. PA January 6, 1997 . to the present Plaintiff and defendant 30A Gasoline Alley Carlisle. PA January, 1991 to January 6, 1997 r I '. The plaintiff. the mother of the children. currently resides at 30B Gasoline Alley, Carlisle, Cumberland County, Pennsylvania. She is manied. The plaintiff currently residcs with the following persons: Name Crystal Lynn Boldosscr Todd Douglas Boldosser. Jr. Vcra and John Winters Relationship her daughter her son her parents The defendant, the father or the children, currently resides at 30A Gasoline Alley, Carlisle. Cumberland County. Pennsylvania. He is married. The defendant currently resides with the following persons: Name Nancy Boldosscr Relationship his mother 19. The plaintiff haslhas not previously participated in any litigation concerning custody of the above mentioned children in this or any other Court. 20. The plaintiff has no knowledge of any custody proceedings concerning this children pending before a court in this or any othcr jurisdiction. 2] . 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 children. 22. The best interests and pennanent 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 or the minor children and who has provided for the emotional and physical needs ol'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 children. WHEREFORE. pursuant to the provisions orthe "Protection from Abuse Act" of October 7, 1976.23 P.S. ~6101 ~ ~~., 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" I. Ordering the delcmdant to reITain ITom abusing the plaintiff or from placing her in fear of abuse; 2. Ordering the defendant to rerrain 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 facilitating custody arrangements; 3. Ordering the defendant to reITain ITom harassing and stalking the plaintiff and from harassing her relatives and the minor children; 4. Prohibiting the defendant from removing, damaging, destroying or selling property jointly owned by the parties or owned by the plaintiff; S. Ordering the defendant to stay away ITom the plaintiff's residence located at 30B Gasoline Alley. Carlisle. Cumberland County, Pennsylvania, and ordering the defendant to stay away ITom any residence the plaintiff may in the future establish for herself; 6. Granting temporary custody of the minor children to the plaintiff, and 7. Ordering the defendant to relinquish to the sherill's department any weapons which he owns or possesses. and prohibiting the defendant from acquiring or possessing any other weapons ror the duration of the Temporary Protection 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 ror a period of one year: I. Ordering the derendant 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 conlact with the plaintiff including, but not limited to. telephone and written communications. except for the limited purpose of facilitating custody arrangements. 3. Ordering the del' end ant to refrain from harassing and stalking the plaintiff and from harassing her relatives and the minor children. 4. Prohibiting the derendant ITom removing, damaging, destroying or selling property jointly owned by the parties or owned by the plaintiff. 5. Ordering the defendant to stay away ITom the plaintift's residence located at 30B Gasoline Alley, Carlisle. Cumberland County, Pennsylvania, and ordering the defendant to stay away ITom any residence the plaintiff may in the future establish for herself. 6. Ordering the defendant to relinquish to the sherift's department any weapons which he owns or possesses. and prohibiting the defendant ITom acquiring or possessing any other weapons for the duration of the Protection Order. The above-named plaintiff. Colleen Mae Boldosser, verifies that the statements made in the above Petition are true and correct. The plaint in' understands that false statements herein are made subject to the penalties of 18 Pa.C.S. ~4904 relating to unsworn falsification to authorities. Date:~ I U> Iq '1 {J~~'l,rr7(U- t~d~ Colleen Mae Boldosser. PlaintilT / I COLLEEN MAE BOl.DOSSER. Plaintil1' IN TIlE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY. PENNSYLVANIA v. NO. 97-319 CIVIL TERM TODD DOUGLAS BOLDOSSER. SR.. Defendant PROTECTION FROM ABUSE "1'1 I'ROTECTION ORDER AND NOW. this ~ day of Fcbruary. 1997. upon consideration or the Consent Agreement ofthe parties. the following Ordcr is cntered: I. The defendant. Todd Douglas Boldosser, Sr.. is enjoined from physically abusing the plaintiff, Colleen Mae Boldosscr. or from placing her in fear of abuse. 2. The defendant is ordcrcd to reli'ain from harassing and stalking the plaintiff and from harassing her relatives and the minor children. J. The defendant is prohibited from removing. damaging, destroying or selling any property owned by the plaintil1" or jointly owned by the parties. 4. The defendant is ordered to stay away from the plaintiffs residence located at JOB Gasoline Alley. Carlisle. Cumberland County. Pcnnsylvania, and is ordered to stay away from any residence the plaintiff may in the future establish for herself. 5. The Cumberland County Sherin's Department shall maintain custody of the defendant's weapons conliscated through the Temporary Protection Order for the term of this Order, and the defendant is prohibited from acquiring or possessing any weapons for the duration of the Ordcr. 6. The defendant is ordered to pay support to the plaintiff ror the parties' two minor children in the amount of$75.00 per week payable to the plaintift'in the form ofa check or money order. mailed to her residencc. Payments arc to commence within five (5) days oflhe entry of the Protcction Ordcr and cach Thursday thcrcallcr pcnding thc cntry lIf an Ordcr by thc Cumbcrland County Domcstic Rclations Ollicc. 7. Court costs and fccs arc waivcd. 8. This Ordcr shall rcmain in clrcct for a pcriod of onc (I) ycar and can be cxtcndcd bcyond that timc if the Court linds that thc dcl'cndant has committcd an act of abusc or has cngagcd in a pattcrn or practicc that indicatcs risk of harm to thc plaintiff. This Ordcr shall bc cnforccable in thc samc manncr as thc Court's prior Tcmporary Protcction Ordcr cntcrcd in this casc. <). This Ordcr may subjcct thc dcfcndant to: i) arrcst undcr 23 Pa.C.S. ~6113; ii) a privatc criminal complaint undcr 23 Pa.C.S. ~6113.1; Hi) a chargc of indircct criminal contcmpt undcr 23 Pa.C.S. ~6114. punishablc by imprisonmcnt up to six months and a finc of $100.00- $1.000.00; and iv) civil contcmpt undcr 23 Pa.C.S. ~6114.1. 10. Thc Middlcscx Township and Mcchanicsburg Policc Dcpartmcnts and any othcr appropriatc policc dcpartmcnts shall bc providcd with ccrtificd copics of this Ordcr by thc plaintiffs attorncy and may cnforcc this Ordcr by arrcst for indircct criminal contcmpt without warrant upon probablc causc that this Ordcr has becn violatcd. whcther or not thc violation is committcd in thc prescnce of thc policc ollicer. In the cvcnt that an arrcst is made under this scction. thc dcfendant shall bc takcn without unneccssary delay berorc the court that issued the order. Whcn that court is unavailablc. the defcndant shall bc takcn beforc the appropriatc district justice. (23 Pa.C.S. ~6113). 11. Thc following custody schedulc is cntered upon considcflltion of the partics' Conscnt Agrecmcnt with regard tll custody of the parties' two children, Crystal Lynn Boldosser and Todd Douglas Boldllsser. Jr. a) The parties shall share legal custody orthe children. b) The mother shall have primary physical custody of the children. c) Thc fathcr shall havc partial custody or thc childrcn on dalcs and at timcs mutually agrccd upon by thc partics. d) Thc mothcr and lillhcr shall notify cach othcr of all mcdical carc thc childrcn rcccivc while in that parcnt's cure. Each parcnt shall notify thc othcr immcdiately of mcdical cmcrgcncics which arisc whilc thc childrcn arc in that parcnt's carc. e) Neithcr party shall do anything which may cstrangc thc childrcn from the other parent, or injurc thc opinion of the children as to the other parent or which may hamper the rree and natural development of the children's love or respect ror the other parent. By the Court. J-\ Cl,L.1 \ F; jf, Harold E. Sheely, President Judge Joan Carey LEGAL SERVICES, INC. Attorney for Plaintiff Todd Douglas Boldosser, Sr., Defendant 30A Gasoline Allcy Carlisle. PA 17013 COLLEEN MAE BOLDOSSER. Plaintiff iN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY. PENNSYLVANIA v. NO. 97-379 CIVIL TERM TODD DOUGLAS BOLDOSSER. SR. Defendant PROTECTION FROM ABUSE CONSENT A<;REEMENT This Agreement is entered on this 3/ $I#- day of January, 1997. by the plaintiff. Colleen Mae Boldosser, and the defendant. Todd Douglas Boldosser. Sr. The plaintiff is represented by Joan Carey of LEGAL SERVICES. INC.; the del' end ant is unrepresented but is aware of his right to have an attorney. The parties agree that the following may be entered as an Order of Court. I. The defendant. Todd Douglas Boldosser, agrees to refrain from abusing the plaintiff. Colleen Mae Boldosser. or Irom placing her in fear of abuse. 2. The delendant agrees not to harass and stalk the plaintiff and not to harass the plaintiff's relatives and the parties' minor children. 3. The defendant agrees not to remove. damage. destroy. or sell any property owned by the plaintiff or jointly owned by the parties. 4. The defendant agrees to stay away from the plaintiff's residence located at 30B Gasoline Alley. Carlisle. Cumberland County. Pennsylvania. and the defendant agrees to stay away Irom any residence the plaintilf may in the ruture establish for herself. S. The defendant agrees that his weapons confiscated by the Cumberland County SheriIT's Department under the Temporary Protection Order will remain in the sheriIT's custody for the term of the Protection Order. and he agrees not to acquire or possess any weapons for the term of the Protection Order. 6. The defendant agrees to pay intcrim support to thc plaintiff for the parties' two minor childrcn in the amount of$75.00 pcr wcek payablc to thc plainlin'in thc fornl ofa chcck or moncy ordcr by mailing it to hcr addrcss pcnding thc cntry of un order by thc Cumbcrland County Domcstic Rclations Officc. I'aymcnts to thc pluintin'urc to commcncc within five (5) days of the cntry ofthc Protcction Ordcr and cach Thursday thcrcallcr. 7. Thc dcfcndant. although cntcring into this Agrccmcnt. does not admit thc allegations made in thc Petition. 8. Thc del'cndant undcrstands that thc Protcction Order entcrcd in this mattcr will be io cffect for a pcriod of one ( I) year and can bc cxtcnded beyond that timc if thc Court finds that thc defendant has committed an act of abusc or has cngagcd in a pattcrn or practicc that indicates risk of harm to thc plaintiff. The dcfcndant undcrstands that this Ordcr will bc cnforceable in the samc manncr as the Court's prior Tcmporary Protcction Ordcr cntcrcd in this casc. 9. Violation of thc Protcction Ordcr may subjcct thc dcfcndant to: i) arrest undcr 23 Pa.C.S. ~6Il3; H) a privatc criminal complaint undcr 23 l'a.C.S. ~6113.1; Hi) a chargc orindirect criminal contcmpt under 23 Pa.C.S. ~6l14. punishablc by imprisonment up to six months and a fine 01'$100.00-$1.000.00; and iv) civil contempt undcr 23 Pa.C.S. ~6Il4.1. 10. Thc del'cndant and thc plaintiff agrce to the cntry of an Ordcr providing ror thc following custody schcdulc ror their childrcn, Crystal Lynn Boldosscr and Todd Douglas Boldosser, Jr. a) Thc partics will share lcgal custody ofthc childrcn. b) The mothcr will havc primary physical custody orthc childrcn. c) Thc rathcr will have partial custody of the childrcn on datcs and at timcs mutuallyagrecd upon by the partics. d) Thc mother and fathcr agrec that cach will notify thc othcr or all mcdical carc the childrcn rcccive whilc in that parcnt's care. Each parcnt will noti/}' the ~ t ~ f. ~ ,... ~ - ..:l ~:; . '"" 71:>' .. ~ - , , I , ( -r, .,. ., .:"') ! .J , , ! I ) i. ( ) , I ., ; ; " , .1 : '. : -', I " " ~ J , " COLLEEN MAE BOLDOSSER, Plaintiff : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA v, : NO. 97 .379 CIVIL TERM TODD DOUGLAS nOLDOSSER, SIt, Defcndant : PROTEenON FROM ABUSE . _ rWfI;JUQltMODU'\CA-nON AND NOW. lhis 2- > of June, 1997. upon con.~ideration of the within Petition the following Order is entercd: 111e portion of thc Profection Order dated February 7, 1997. which ordered the defendanl to stay away from the plaintitrs residcnce located at 30B Gasoline Alley, Carlisle, Cumberland CoonI}' Pennsylvania. or any other residence she may establish tor herself is vacated. In aU other respects the Protection Order dated February 7, 1997, remains in elIect By the CoUl1, lL~<'1 f~ Harold E. Sheely, President Ju Joan Carey LEGAL SERVICES, INC. Attorney for Plaintiff e."..j~ ('P\-G\.~,,<, <0 I~ "/9'7. -u A.f. Todd Douglas Boldosser. Sr., Defendant 1129 Statc Road Duncannon, P A 17020 The above-named plaintiff, Coleen Mae Boldosser, verifies that Ihe statements made in the above Petition an: true and correct. l1te plaintiff understands that false statemenls herein are made subject to the penalties of 18 P A, C.S, ~4904 relating to unsworn falsification to authorities. (i I ) ~/ci7 Date L"n llcwr 1 Tl) ('uOJ6)_J{ \ eoUeen Mae Boldosser, Plaintiff ] tY COLLEEN MAE BOLDOSSER, Plaintiff : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA v. : NO. 97-379 CIVIL TERM TODD DOUGLAS BOLDOSSER, SR., Defendant : PROTECTION FROM ABUSE PROTECTION ORDER AND NOW, this ~day of february, 19!)7. upon consideration of the Consent Agreement of the parties, the following Order is entered: I. The defendant, Todd Douglas Boldosser, Sr., is enjoined from physically abusing the plaintiff, Colleen Mae Boldosser, or from placing her in fear of abuse. 2. The defendant is ordered to refrain from harassing and stalking the plaintiff and from harassing her relatives and the minor children. 3. The defendant is prohibited from removing. damaging, destroying or selling any property owned by the plaintiff or jointly owned by the parties. 4. The defendant is ordered to stay away from the plaintiffs residence located at 30B Gasoline Alley, Carlisle, Cumberland County, Pennsylvania. and is ordered to stay away from any residence the plaintiff may in the future establish for herself. 5. The Cumberland County Sheriffs Department shall maintain custody of the defendant's weapons confiscated through the Temporary Protection Order for the term of thjs Order, and the defendant is prohibited from acquiring or possessing any weapons for the duration of the Order. 6. The defendant is ordered to pay support to the plaintiff for the parties' two minor children in the amount of$75.00 per week payable to the plaintiff in the form ofa check or money order, mailed to her residence. Payments are to commence within five (5) days of the entry of the EXHIBIT A ~,.V'~_ Protection Order and each Thursday thereafter pending the entry of an Order by the Cumberland County Domestic Relations Office. 7. Court costs and fees are waived. 8. This Order shall remain in effect for a period of one (I) year and can be extended beyond that time if the Court finds that the defendant has committed an act of abuse or has engaged in a pattern or practice that indicates risk of hann to the plaintiff. This Order shall be enforceable in the same manner as the Court's prior Temporary Protection Order entered in thts case. 9. This Order may subject the defendant to: i) arrest under 23 Pa.C.S. ~6113; ii) a private criminal complaint under 23 Pa.C.S. ~6113.1; iii) a charge of indirect criminal contempt under 23 Pa.C.S. ~6114, punishable by imprisonment up to six months and a fine of 5100.00- 51,000.00; and iv) civil contempt under 23 Pa.C.S. ~6114.1. 10. The Middlesex Township and Mechanicsburg Police Departments and any other appropriate police departments shall be provided with certified copies of this Order by the plaintiffs attorney and may enforce this Order 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 that an arrest is made under this section, the defendant shall be taken without unnecessary delay before the court that issued the order. When that court is unavailable. the defendant shall be taken before the appropriate district justice. (23 Pa.C.S. ~6113). II. The following custody schedule is entered upon considetation of the parties' Consent Agreement with regard to custody of the parties' two children, crystal Lynn Boldosser and Todd Douglas Boldosser, Jr. a) The parties shall share legal custody of the children. b) The mother shall have primary physical custody of the children. c) The father shall have partial custody of the children on dates and at times mutually agreed upon by the parties. d) The mother and rather shall notifY each other of all medical care the children receive while in that parent's care. Each parent shall notifY the other immediately of medical emergencies which arise while the children are in that parent's care. e) Neither party shall do anything which may estrange the children from the other parent, or injure the opinion of the children as to the other parent or which may hamper the free and natural development of the children's love or respect for the other parent. By the Court, Isl ~~ c. ~'Jt Harold E, Sheely, President J dge Joan Carey LEGAL SERVICES, INC. Attorney for Plaintiff TRUE COpy FROM RECORD 'n T~at:mo:IY wh'rcof. I here unto set my hand Gnd Ihe ~cal of ufu Court al Carlisle, Pa. This ..,..7..-!:::... day of...~~:r.., 19.1.1.. ~.:""-'!."~"~~~' ~ . ~~IlIlII" Todd Douglas Boldosser, Sr.. Defendant 30A Gasoline Alley Carlisle, PA 17013 " i , ;~ ,-) .r, ..., r-' -..; "11 ..J . ~ :L1J ,-..j ,i" Ji,-) (J, "0 - ,1."1 ;-.. ., d. '. '~!C) ~; : :;ftl .. ~.... -. :~ j ~ ~ ...~ Iv -; ~.--',C~:..._ '~i \. r,..r;. r ~ \' I', ~\.' f'...... ~~:I:.;\ ~I , I . '-,1', ~ , Cr ., c.':? 1..,) 01. . , ".' III : ';\ hi' ,.. . .\\'1 . '\1' I'...... , .' ..', J .,'; \' ~. ~.~t. ,..~ ,t" ,r".. ''''~' \', ,I I "">,.II' 1(~\'o'."") .. ~ r I .. I i I I I I ! i j' n ~:: ~!~~ -;;':1:' '. -,. "-~' ;"~ ~:.: ,'.j r.:. '. ~~~ ,(~ ~ J- ' t'-' \D -..J ?, :-;.' -:j :tr :"f.;j ,.JC:' <.:J;( :jl,": , )::H ;....0 <.:,.irtJ ,I ,"'. ~.., -; :", "'1 "1:l - I":> :~~ ~1 - - .. ..."