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PROTECTION PROM ABUSE
SHERIFF'S
INFORMATION
'i;;v,t. .
Case Name: i),h(().. AI ()e.-H-
t;f;int iff
No. (I L 351 /) CIVIL TERM
Hearing Date: Ju /() K" 199,
Judge !-k <; <:; in Courtroom No....!:!
vs. koJinf' -f-h John Arnrtf-
Defendant
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A.m.
at
Legal Services staff contact (243-9400):
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DEFENDANT'S SERVICE ADDRESS(ES)
Method of Service:
___'Personal only
Other:
eO,\..J-\R.u.!~-h(){\ {-C;I:
'\\ORK: j\xJ-n c..k.... ISo o+On
\021 ~ o..~J .o~\...o
DCU-t P II., 'll . 11-0\ 8 -
Phone: hift:
_'/10 ~I~ ~"r;~<. ~;\Q.
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Phone:
Other:
Gender: rnWl~
C~ J'~ Yu,..r,.,
Hair:'-("r('r ....o!
,
Phone: 0.~ I - ~ L/8o
e.c..(\~ia.i_; H /...1 ~L 5 J lc
DESCRIPTION OF DEFENDANT .) I !.
Race: r.J,u;.(ctS\ cV--- Height: ,5'S' ,t Weight:;} '-i 0 I be
)j".~/.r r. '.t%,/J"'-
. .i __~ Eyes: \"II~;t''1
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Dist inguishing features: J,--) ~'.)
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TERMS OF TEMPORARY PROTECTION ORDER
x . Ex~~/Stay-iAW"ilY-
--- ......-----
)( Temporary CUstody
SPECIAL INSTRUcrIONS:
'Nedl-'VIIS l.1)II;~:ltion
".
VS,
KENNETH JOHN ARNETT
No, 97
3510 CIVIL
19_
Now, 7 / 1/
DAUPHIN
19~, I SHERIFF OF CUMBERLAND COUNTY, PA do hereby deputize Ihe Sheriff of
County to execute this \Vri!, Ihis deputation being made at the request and risk of the Plaintiff.
1~~~
SheriIT of Cumberland County. Pa,
Affidavit of Service
Now,
within
19
. at
o'clock
~I. sernd the
upon
at
by handing to
attested copy of the original
the contents thereof,
a true and
and made known to
So ans""crs,
..-...
Sheriff of
Coun~'. ra.
COSTS
S\\orn anti suh\crihed before
me chis day of
19_
SERVICE
~IILEAGE
AFFIDAVIT
s
s
, ~
INSTRUCTIONS TO THE DEFENDANT
As you knOll", the plaintiff has rik'd a legal iI<:lion ilgainst YOII under the Protection
From Ahllse Act :11111 has ohtained a Temporary Protection Ol'<ler. The plaintirr is preparell
to 1IiI\'e II hearin:! held in order to ohtain "rinlll Protection Order eHl'ctivl' for one (J) )'l'lIr.
As an alternlltive, you lIIay consent to the l'ntry of the final Protection Order to he in
effeel for one year. If you arc willing to consent you should call Legal Services, Inc. in
Carlisle at 243-9400, 766-11475 fl'llrn the West Shore or 530-5Rfifi from Shippenshurg, and ask
to speak to the staff person handling the cllse about a C.onsent Agreement.
The Consl'nt Agreement sllllulll be prI'F:~t "I hefore till' time scheduled for the hearing
so the Court will know ahead of time that the case will not be contested, [n some cases,
regnnlless of whether a settlement by Consent Agreement has been reached. the parties
must appear in court at the time scheduled for hell ring, If till' cllse is uncontested. the
court appearance will be brier. The judge will make sure tl1l' parties understand the
Consent I\greement and final Protection Order,
If you dn not agree to the entry of till' rinal Prote<:tion Order, ,\ contested hearing will
take place at thl' scheduled time. WIll'n a final Protection ()rder b entered, it will he sent or
given lo you. the plaintiff, and lhe ilppropriale poli<:,' dl'parlm('nls, II' you rail to ahide hy
lhe tl'rJns ill' the fioal Protedion Order you will he snhject to innnedillte arrest, aTllI iI finl' or
,<;100.00 to <;1.00n.no anll/or a jail sentence or "I' to six '"1l11ths and other relier.
FFFS~Nf) CQ1IT!i.
If the l\l....l.. ';t1L'~; tn hearing ilnd the judge grant>.; il Protection Order. it ..,un.:harge of
$25.nn will hl' :1~'l'S""l'd again'" YOIJ. You may i\hll ill,.' required tn [lay ;IHorney fl'es to Lcgn!
Sl'!'\.iCl'~I' In.:. 1'1';" tht'ir I"eprt'st'lltatlllt\ \)f the pl;tilltirr.
YOll SIIO!'I f) TAKE TillS PAPFR TO YI111H I.AWYFII AT ,1Nn:. IF YOl] no NOT II/WE ^
J.,\WYER OR ,'AN\;Cl'1' AFFORIl ONE, COO TO OR TEJ.I':l'll()~<E TILE OFFICI': SET FORTIl IlEJ.OW TO
FINn Ol ''I' WllHr YOll l'AN COET I.FCHJ. 111'1.1'.
i"WliJ \n\I1';ls';"nl"(~. Jth 11 "illl
,', \1111"1 "\1\ ,', ,,"'r\' 1',rI'('TII'iI'SI
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8 IRVINE ROW
CARLISLE. PENNSYLVANIA 17013
. (717) '243-9400
Fax (71712~
WfIII Shorw (717178&8475
Shlpponaburg (717163l).68eG
. JUN. 3 0 19911.1':~:,:.".:;./'.:,!~'i:f;};'~1
. . , ':!~.~~c'~1
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. IN TilE COURT OF COMMON PLEAS OF
DEBRA SUE ARNETT,
Plaintiff
v,
. CUMBERLAND COUNTY, PENNSYLVANIA
. NO.97- ~) 'n () CIVIL TERM
KENNETH JOHN ARNETT.
Defendant
. PROTECTION FROM ABUSE
TEMPORARY PROTECTION ORDER
AND NOW. this /~+- of July. 1997, upon presentation and consideration of the within
Pel it ion. and upon finding that the plaintiff. Debra Sue Amell. now residing at 10 Beale Avenue.
Apt. C. Enola. Cumberland County. Pennsylvania, is in immediate and present danger of abuse
from the defendant. Kenneth John Amell. the following Temporary Order is entered.
The defendant. Kenneth John Amell (SSN: 161-70-6226)(DOB. 03/26/74), is an adult
individual whose current residence is unknown to the plaintiff, is enjoined from physically abusing
the plaintiff. Debra Sue Arnett. or from placing her in fear of abuse,
The defendant is ordered to stay away from the plaintiffs residence located at 10 Beale
Avenue, Apt. C. Enola. Cumberland County. Pennsylvania. a residence which is leased in the
plaintiffs name only, and is ordered to stay away from any other 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 and the parties' minor child
DEBRA SUE ARNETT,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
: NO.97-
CIVIL TERM
KENNETH JOHN ARNETT,
Defendant
: PROTECTION FROM ABUSE
NOTICE
You have been sued in court. If you wish to defend against the claims set forth 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 defenses or objections to the claims set forth against you. You are wa.'l1ed 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
relief requested by the plaintiff. You may lose money or property or other rights important to
you.
FEES AND COSTS
If the 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 afford one, go to or telephone the office set forth below to find out where you
can get legal help.
COURT ADMINISTRATOR, 4th FLOOR
CUMBERLAND COUNTY COURTHOUSE
CARLISLE, PENNSYLVANIA 17013
TELEPHONE NUMBER: (717) 240-6200
C', J' -)
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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 of 1990. For infonnation 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 n hours prior to any hearing
or business before the court. You must attend the scheduled conference or hearing.
a) On or about June 19. 1997, the plaintilT returned home from work to find
furniture knocked over, laundry and household items strewn about the apartment,
and the defendant and his possessions gone. When the plaintilT drove to pick up
the parties' minor child at the daycare provider's home, she saw the defendant
driving away with the child in his vehicle. The defendant stopped his vehicle, took
the parties' 13-month-old son, who was strapped in his carseat, out of the vehicle,
and tossed the carseat with the child still strapped in it at the plaintiff ITom a
distance of approximately three (3) feet away. The plaintiff was able to catch their
25-pound baby and the carseat before they hit the ground. The defendant
threatened to kill the plaintiff, who is 3 months pregnant. and drove awav. Later
the same day, the defendant left a message on the plaintiffs answering machine
threatening, "You had better sleep light because I'm coming for the baby." Fearing
for her safety and that of their child, the plaintiff took the child and went to stay
with her father. The plaintiff reported the incident to the East Pennsboro
Township Police.
b) On or about June 17, 1997, the defendant pushed the plaintiff's face against
the passenger side window of the car as he was driving and held her head in that
position for several minutes as he drove.
c) In or about May 1997, the defendant stood in close proximity to the
plaintilT and screamed in her face. When the plaintiff asked the defendant to leave,
he refused. and as she walked away from him. he punched the plaintilT in the face
The plaintiff sustained bruising, swelling and soreness on the right side of her face
as a result of this incident.
d) In or about February 1997, the defendant punched the plaintiff in the face.
The plaintiff sustained redness and swelling about her face as a result of this
incident.
e) Since approximately February 1997, the defendant has abused the plaintiff
in ways including. but not limited to, pushing, shoving, slapping, and punching her.
The defendant has also thrown hot water on the plaintiff, thrown toys at her,
punched holes in the walls, drawn his fist back in a threatening manner causing her
to fear he was going to strike her, and has threatened to kill her and their 13-
month-old child.
5. The plaintiff believes and therefore avers that she is in immediate and present
danger of abuse from the defendant and she is in need of protection from such abuse.
6. 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.
7. The plaintiff desires that the defendant be enjoined from harassing and stalking her
and from harassing her relatives and the panies' minor child.
8. The plaintiff desires that the defendant be restrained from entering her place of
employment and day care facility of the minor child
9. The plaintiff desires that the defendant be enjoined from removing, damaging,
destroying or selling any property owned by the plaintiff
B. EXCLUSIVE POSSESSION
10. The apartment which the plaintiff is asking the Court to order the defendant to stay
away ITom located at 10 West Beale Avenue, Apt. C, Enola. Cumberland County, Pennsylvania,
is rented in the plaintill's name, Debra Sue Arnett. The defendant left the plaintiff's residence on
June 19, 1997, has not returned since that time, and has refused to tell her where he is currently
residing.
C. REIMBURSEMENT FOR COST OF CASE
II. The plaintiff desires that the defendant be ordered to pay $250.00 to Cumberland
County, one of Legal Services, Inc. 's funding sources. in lieu of 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.
D. TEMPORARY CUSTODY
12. The plaintiff seeks temporary custody of the following child:
Name
Jesse John Arnett
Present Residence
10 West Beale Avenue, Apt. C
Enola., Pennsylvania
Al!e
13 months old
DOB: May 30,1996
The child was not born out ofwedlock.
The child is presently in the custody of the plaintiff Debra Sue Arnett, who resides at 10
West Beale Avenue. Apt. C, Enola, Cumberland County, Pennsylvania.
15. The plaintiff does not know of any person not a party 10 this action who has
physical custody of the child or claims to have custody or visitation rights with respect 10 the
child.
16. The best interests and penn anent welfare of the minor child wiII be met if custody
is temporarily granted to the plaintiff pending a hearing in this maller for reasons including:
a) The plaintiff has provided for the emotional and physical needs of the child
since his birth and is a responsible parent who can best take care of the minor
child.
b) The defendant has shown by his abuse of the plaintiff that he is not an
appropriate role model for the minor child.
WHEREFORE. pursuant to the provisions of the "Protection from Abuse Act" of October
7. 1976,23 Pa.C.S. ~ 6101 et ill,. 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 of abuse.
2. Ordering the defendant 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.
3. Ordering the defendant to refrain from harassing and stalking the
plaintiff and from harassing her relatives and the minor child.
4. Prohibiting the defendant from entering the plaintiff's place of
employment or the day care facilities of the minor child.
S. Prohibiting the defendant from removing, damaging, destroying or
selling property owned by the plaintiff.
6. Ordering the defendant to stay away from the plaintiff's residence
located at 10 West Beale Avenue, Apt. C. Enola. Cumberland County,
Pennsylvania. or from any other residence the plaintiff may establish for
herself in the future.
7. Granting temporary custody of the minor child to the plaintiff.
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:
1. 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 including, but not limited to, telephone and
written communications, except for the limited purpose of facilitating
custody arrangements.
3. Ordering the defendant to refrain from harassing and stalking the
plaintiff and from harassing her relatives and the minor child.
The above-named plaintiff, Debra Sue Amell, verifies that the statements made in the above
..
Petition are true and correct. The plaintiff understands that false statements herein are made
subject to the penalties of 18 Pa.C.S. !i 4904 relating to unsworn falsification to authorities.
Date: 0/ "97
~~
Debra Sue Amell. Plamuff
_~~\~~.!1'f~FJ~\Cl.,~~!,:+t;';~~f~~~ifi.t,f:~f~~:~~~~:rt~~~~1':->1l;t>"'~-'~.',..WtIt_ ~ (717),7SI47I'\.~' ',-
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DEBRA SUE ARNETT,
Plainlill'
IN THE COURT OF COMMON PLEAS OF
v.
. CUMBERLAND COUNTY, PENNSYl.VANIA
. N097-3JJq_ CIVIL TERM
KENNETII JOliN ARNETT.
Delcndant
. PROTECTION FROM ABUSE
TEMPORARY PROTECTION ORDER
AND NOW. this f.;.Lof July. 1997, upon presentation and consideration of the within
Petition. and upon finding that the plainlill: Debra Sue Arnett. now residing at 10 Beale Avenue,
Apt. C. Enola. Cumberland County. Pennsylvania, is in immediate and present danger of abuse
from the defendant. Kenneth John Arnett, the lollowing Temporary Order is entered.
The defendant. Kenneth John Arnett (SSN 161-70-6226)(DOll 03/26/74), is an adult
individual whose current residence is unknown to the plaintilT, is enjoined from physically abusing
the plaintifl: Debra Sue Arnett. or from placing her in fear of abuse
The defendant is ordered to stay away from the plaintifi's residence located at 10 Beale
Avenue, Apt. C. Enola, Cumberland County. Pennsylvania. a residence which is leased in the
plaintitl's name only. and is ordered to stay away from any other residence the plaintilTmay in the
future establish for herself
The delcndant is ordered to refrain from having any direct or indirect contact with the
plaintitl. including, but not limited to. telephone and written communications, except for the
limited purpose of facilitating custody arrangements
The delcndant is enjoined from harassing and stalking the plaintil1. and Irom harassing her
relatives and the parties' minor child
The defendant is enjoined from entering the plaintifl's place of employment and the day
care facility of the minor child
The defendant is enjoined from removing, damaging, destroying or selling any property
owned jointly by the parties or owned by the plaintilT.
A violation of this Order may subject the defendant to: i) arrest under 23 Pa.C.S.
~6113; ii) a private criminal complaintllnder 23 Pa.C.S. ~6113.1; Hi) a charge of indirect
criminal contempt under 23 Pa.C.S. ~6114, punishable by imprisonment up to six months
and a fine of $100.00-$1,000.00: and iv) ci\'il contempt under 23 Pa.C.S. ~6114.1.
This Order shall remain in elTect until further Order of Court and can be extended beyond
its original expiration date if the Court finds that the defendant has committed an act of abuse or
has engaged in a pall em or practice that indicates risk ofhaml to the plaintiff.
Temporary custody of Jessie John Amell. is hereby awarded to the plaintiff, Debra Sue
Amell.
A HEARING SHALL BE HELD ON THIS MATTER ON THE 5?-{~
DAY OF JULY, 1997, AT !O,"tlll II .M., IN COURTROOM No.L
OF THE CUMBERLAND COUNTY COURTHOUSE, CARLISLE,
PENNSYLVANIA.
The plaintill'may proceed without pre-payment of fees pcnding further order of court
The Cumberland County Shcrin's Department shall attempt to make service at the
plaintitl's request and without prc-payment of fees, but service may be accomplishcd under any
applicable rule of Civil Procedure.
This Order shall be docketed in the onice of the Prothonotary and forwarded to the SherilT
for service. The Prothonotary shall not send a copy oflhis Order to the defendant by mail.
The East Pennsboro Township Police Department shall be provided with a certified copy
of this Order by the plaintifl's attorney. This Order shall 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 onicer. 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. 9
6113).
I(A Id- .
Joan Carey
LEGAL SERVICES, INC.
Attorney for PlaintilT
DEBRA SUE ARNETT.
PlaintitT
. IN TilE COURT OF COMMON PLEAS OF
. CUMBERLAND COUNTY, PENNSYLVANIA
v.
. NO.97-
CIVIL TERM
KENNETH JOHN ARNETT,
Defendant
: PROTECTION FROM ABUSE
NOTICE
You have been sued in court. If you wish to defend against the claims set forth in the
following pages, you must take action promptly after this Petition, Order and Notice are served,
by appcaring personally or by attorney at the hearing scheduled by the Court and presenting to the
Court your defenses or objections to the e1aims set forth 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
relief requested by the plaintiff. You may lose money or property or other rights important to
you.
FEES AND COSTS
If the 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 plaintilT.
You should take this paper to your lawyer at ollce. Ir you do not have a lawyer
or cannot atTord one, go to or telephone the officc set forth below to find out where you
can get legal help.
COURT ADMINISTRATOR, 4th FLOOR
CUMBERLAND COUNTY COURTHOUSE
CARLISLE. PENNSYLVANIA 17013
TELEPHONE NUMBER (717) 240-6200
AMERICANS WITlI DISABILITIES ACT OF 1990
The Court of Common Pleas of Cumberland County is required by law to comply with the
Amcricans with Disabilities Act of 1990 For inlommtion about accessible facilities and
reasonable accommodations available to disabled individuals having business before the court,
please contact our otlice. All arrangements must be made at least 72 hours prior to any hearing
or business before the court You must attend the scheduled conference or hearing
a) On or about June 19, 1997, the plaintilT returned home from work to find
furniture knocked over. laundry and household items strewn about the apartment,
and the defendant and his possessions gone. When the plaintilT drove to pick up
the parties' minor child at the daycare provider's home. she saw the defendant
driving away with the child in his vehicle. The defendant stopped his vehicle, took
the parties' 13-month-old son, who was strapped in his carseat, out of the vehicle,
and tossed the carseat with the child still strapped in it at the plaintilT from a
distance of approximately three (3) feet away. The plaintilT was able to catch their
25-pound baby and the carseat before they hit the ground. The defendant
threatened to kill the plaintilT, who is 3 months pregnant, and drove away. Later
the same day, the defendant lefi a message on the plaintifl's answering machine
threatening, "You had better sleep light because I'm coming for the baby." Fearing
for her safety and that of their child, the plaintilT took the child and went to stay
with her father. The plaintilT reported the incident to the East Pennsboro
Township Police.
b) On or about June 17. 1997, the defendant pushed the plaintiffs face against
the passenger side window of the car as he was driving and held her head in that
position for several minutes as he drove.
c) In or about May 1997, the delcndant stood in close proximity to the
plaintitl' and screamed in her face When the plaintiff asked the defendant to leave,
he refused. and as she walked away from him. he punched the plaintill'in the face.
The plaintiff sustained bruising, swelling and soreness on the right side of her face
as a result of this incident.
d) In or about February 1997, the defendant punched the plaintiff in the face.
The plaintiff sustained redness and swelling about her face as a result of this
incident.
e) Since approximately February 1997, the defendant has abused the plaintiff
in ways including, but not limited to, pushing, shoving, slapping, and punching her.
The defendant has also thrown hot water on the plaintiff, thrown toys at her.
punched holes in the walls, drawn his fist back in a thrcatening manner causing hcr
to fear he was going to strike her, and has threatened to kill her and their 13-
month-old child.
5. The plaintiff believes and therefore avers that she is in immediate and present
danger of abuse from the defendant and she is in need of protection from such abusc.
6. The plaintiff desires that the defendant be prohibited from having any direct or
indirect contact with the plaintin. including. but not limited to, telephone and written
communications, except for the limited purpose of facilitating custody arrangements.
7. The plaintiff dcsires that the defendant be enjoined from harassing and stalking hcr
and from harassing her relatives and the parties' minor child
8. The plaintiff desires that the dclcndant be restrained from entering her place of
employment and day care facility of the minor child.
9. The plaintin' desires that the defendant be enjoined from removing. damaging,
destroying or selling any property owned by the plaintin~
B. EXCLUSIVE POSSESSION
10. The apartment which the plaintiff is asking the Court to order the dcfendant to stay
away from located at 10 West Beale Avenue, Apt C, Enola, Cumberland County, Pennsylvania,
is rent cd in the plaintifl's name, Debra Sue Arncll. The defendant lefi the plaintitrs residence on
June 19, 1997, has not returned since that time, and has refused to tell her where he is currently
residing.
C. REIMBURSEMENT FOR COST OF CASE
II. The plaintiff desires that the defendant be ordered to pay $250.00 to Cumberland
County, one of Legal Services, Inc.'s funding sources, in lieu of attorneys' fees, as reimbursement
for the cost of litigating this case and asscssing the $25.00 surcharge and court costs to the
defendant if the case goes to hearing.
D. TEMPORARY CUSTODY
12. The plaintiff seeks temporary custody of the following child.
Name
Jesse John Arnett
Present Residence
10 West Beale Avenue, Apt C
Enola, Pennsylvania
Aee
13 months old
DOB. May 30, 1996
The child was not born out of wedlock.
The child is presently in the custody of the plaintitl: Debra Sue Arnett, who resides at 10
West Beale Avenue, Apt. C, Enola, Cumberland County, Pennsylvania.
15. The plaintiff docs not know of any person not a party to this action who has
physical custody of the child or claims to have custody or visitation rights with respect to the
child.
16. The best interests and permanent welfare of the minor child will be met if custody
is temporarily granted to the plaintiff pending a hearing in this matter for reasons including.
a) The plaintiff has provided for the emotional and physical needs of the child
since his birth and is a responsible parent who can best take care of the minor
child.
b) The defendant has shown by his abuse of the plaintiff that he is not an
appropriate role model for the minor child.
WHEREFORE. pursuant to the provisions of the "Protection from Abuse Act" of October
7, 1976,23 Pa.C.S. ~ 6101 ~ ~., as amended, the plaintiff prays this Honorable Court to grant
the following relief:
A. Grant a Temporary Order pursuant to the "Protection fmm Abuse Act:"
L Ordering the defendant to refrain from abusing the plaintiff or rrom
placing her in fear of abuse.
2. Ordering the defendant 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.
3. Ordering the defendant to refrain from harassing and stalking the
plaintiff and from harassing her relatives and the minor child.
4. Prohibiting the defendant from entering the plaintiffs place of
employment or the day care facilities of the minor child.
5. Prohibiting the defendant from removing. damaging, destroying or
selling property owned by the plaintiff.
6. Ordering the defendant to stay away from the plaintiffs residence
located at 10 West Beale Avenue, Apt. C, Enola, Cumberland County,
Pennsylvania, or from any other residence the plaintiff may establish for
herself in the future.
7. Granting temporary custody of the minor child to the plaintiff.
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.
L 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 including, but not limited to, telephone and
written communications, except for the limited purpose of facilitating
custody arrangements.
3. Ordering the defendant to refrain from harassing and stalking the
plaintiff and from harassing her relatives and the minor child.
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DEBRA SUE ARNETT,
Plaintifi'
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
V.
97-3510 CIVIL
KENNETH JOHN ARNETT,
Defendant
. CIIAR(,E INDIRECT CRIMI'JAL CONTEMPT
ORDER OF cOURT
AND NOW, this 28th day of July, 1997, this Court certifies that the attached
complaint has been properly completed and verified, and there is probable cause for the
issuance of process. In consideration of the attachcd Commonwealth's Petition, the
defendant, KENNETH JOHN ARNETT, is directed to appear for trial on the charge of
Indirect Criminal Contempt before the Court on the S'it.- day of Jlll r Ld .1 , 1997 at
iLt:Jlo'c1ock 11..m. in Courtroom # ~ of the Cumberland County Courthouse, Carlisle,
Pennsylvania.
The defendant has a right to be represented by an attorney. If the defendant
cannot afford an attorney, upon request one will be assigned to represent the defendant. If
the defendant wishes assignment of counsel, contact should be made prior to trial with the
Cumberland County Public Defender's Omce at 717-240-6285. Further, if the defendant
t:lils to appear, an arrest warrant will be issued.
The Sherifi'ofCumberland County is directed to serve this Ordcr and Petition ..
upon the defendant. The assessment of costs to be determined by the Trial Judge
subsequent to trial.
By the Court,
. ,
J) .
Michael S. Schwoyer
Chief Deputy District Attorney
KENNETII JOliN ARNETT
.
CI1IMINAL COMPLAINT
(POLICE)
.~ FMPLAINTNOMBEH=JYEAR
_Complaint Numbers iI Olher PlIftictpnnts
~ ' ~ ...
......~. ,).,.~..~
TYPE
NUMBER
Robert V. Manlove
DISTRICT JUSTICE
MAGISTERIAL DISTRICT NO. 09-1-02
1901 State Street
Camp Hill, PA 17011
A 57745
UCR NO.
2600
om
of
East pennsboro Towndship Police Dept.
(Ml'II1I/1 J.'/ltlftllll'llt Of II.l:l'Ih I 11'1"1'\1'/111''' II"" ''IlI/lfilill Will/II iI/ill' )
IISA
AKA
COMMONWEALTH OF PENNSYLVANIA
OEFENDANT. VS.
r
Kenneth John Arnett
last known address of:
22 S. Enola Drive
Enola, PA 17025
DOB: 03/26/74
SSN: 161 70 6226
I,
PTLM. Steven Coverdale, 1620
(.\'i1I11I'",AffidtJI}
NAME
AND
ADDRESS
do hcrcby stalc:
(I ),Q I accusc Ihc alllll'c namcd dcfcndanl, whu livcs al thc addrcss sct forth alHlvc or.
.....0 I accuse ml indi\'idu<l1 whose name is unknown (0 me hut who is dcscrihcll as
.g
j 0 his nickname or popular designatiun is unknown In me :lillI, therefore. I ha\c design.lleu him herein as Julin
~ Doc; with violating thc pcnal laws of Ihc Conllnonwcalth of I'cnnsylvania al lOW. Beale Avenue, Enola,
~ East Pennsboro Township (1'1"~I'./'tI'/fIld'.\IIf>lJm\'tlI1J
.
~
(5
~
in Cumberland Connly on or ahonl 07/24/97 from approx.
Participants were (IJ tllc'rJ.'lH',.'/lllrtlll/l.III/I. plait' "lI'i'''(/'''I'~ hal', 't'rl..l/III\: Ih/'/I/lll/fn/ll/hllt'ddfllcl,m/' K tl J h A tt
enne 1 0 n rne
1830-
2030
(2) Thc acts commillcd by Ihc accuscd wcrc: @ INDIRECT CRIMINAL CONTEMPT
The defendant violated the Protection From Abuse Order, #97-3510 Civil,
issued on July 8, 1997, by the Honorable Judge J. Wesley Oler Jr., to wit: the
defendant was ordered to stay away from the residence of and to refrain from
harassing and stalking the victim, Deborah Sue Arnett. The defendant drove past
the victim's r8sidence, a dead end road, three times and did display his middle
finger of his left hand to the victim while driving past one time.
PROBABLE CAUSE: On 07/24/97, at approximately 2043, the victim, Deborah Sue
Arnett, called county to advise that the accused was repeat idly driving past her
residence. The victim stated she observed the accused drive past her residence
three separate times, one time showing his middle finger to her, from the 2nd
floor living room window of her apartment.
all of which wcrc againsl thc pcacc and dignilY of Ihc Commonwcalth of Pcnnsylvania and conlrary 10 Ihc Acl of Asscmhly.
or in violalion of 6114 and of Ihc Aclof Title 23
(S(>fI/I!Il1 (S/,h'\I'l'IllllfJ
or Ihc
Ordinancc of
(l\.ltfltd/SI,h, JIIIH"'"
(3) I as~ that a warr;l1\t or .Irrc~t or iI !\UlllmOIlS he iS~lIcd and (h.1t (he iu:cuscd he required lo answer lhe (har~e'
I havc madc.
July 24
.I~ 22__
true and (orre(t tn the he~t of Ill)' ~nuwlcdg.c or illfollnatlllll
pcnaltics or Scction 4'104 or Ihc Crimcs ('odc (IX 1'" C. S
~~1
. ..:~~ . .Ill-ex
-:- ~.s""'''''''.''I('''''I'''''''''(,1
(4)
I vcrify Ihal Ihc facls scl forlh in Ihis complaint arc
and bchcf. This \crificalion is madc suhjccl 10 thc
~ 4~04) rclal"l~ to unsworn fal"ficalion 10 aulhorillCS.
ANIl NOW. on Ihis datc
, I'!
. I (erlll} the lOlllpl.HIlI h.I' been pf\lperl} l.:lllllplclnl and
.
CnlMINAL COMPLAINT
(POLICE)
COMPLAINT NiJMilE~
Complaint Numbers II Olher Particlpanls
TYPE
NUMDEn
Robert V. Manlove
DISTRICT JUSTICE
MAGISTERIAL DISTRICT NO. 09-1-02
1901 State Street
Camp Hill, Pa. 17011
J;\ 57747
INCIOENT NUMDER
97-07-2609
OTN
I,
Patrolman Robert L. Nipple
(SIIIl/I'ol.-4/fiIlIll)
NAME
AND
AUUHESS
uf East Pennsboro Township Police Department
(Ml'IlII/l .ll'l'llfllllflll 01 O}:fllll '.'I"l'1l'1llc'" ilnt! /,010/1 III ,1I1/~J/lI\ljlll J
nSA
AKA
W-M-23
DOB: 03-26-74 SSN: 161-70-6226
du herehy 'tate:
(I) Ia 1 accu'e Ihe ahme named dcrendanl, II'hu lives al Ihe address sel forth ahove or,
o I aCCllse an individual whose name is unknown to me hut who is Llcsnihcu as
~
-
~
~
~
,
~
i:
~
o his nickname or popular designation is unlI1O\\'11 to me aluJ. therefore. I have uesignated him herein as John
Doc; with viulating the penal laws of Ihe Commonwcalth uf Pennsyhania al I~est Beale Avenue/ Enola
East Pennsboro Township (/".'11' - 1\I/IIil"11 SII/If/llll1tlf/)
in Cumberland ('ounly un or ahoul 2400 hours
Pilfticipants were (I.fthl'ft. 1(l'fl'l'lIffto/'III//I, 1"llll'lhnr IIlll//j'1 hm', ','/WillIll/.: ,hl'/I,JnII'O/.,bllll' tldl'nd.I/I/)
Kenneth John
The acls eommilled by the aceu,ed were: @ INDIRECT CRIMINAL CONTEMPT
The defendant violated the Protection from Abuse Order 97-3510 Civil, issued on July 8,
1997/ by the Honorable Judge J. Wesley Oler Jr., to wit: defendant was ordered to stay
away from the residence of and to refrain from harassing and stalking the victim, Debra
Sue Arnett. Defendant driving his girlfriends red Chevrolet Camaro attempted to run over
the victim while she was at her vehicle parked on West Beale Avenue. Victim was holding
their 14 month old son.
PROBABLE CAUSE: On 07-25-97 at approximately 2400 hours the victim, Debra Sue Arnett,
arrived at her residence. After getting their 14 month old son out of her vehicle she
noticed that the drivers door of her vehicle was not locked. She opened the drivers door
when the defendant operating a red Chevrolet Camaro came west on West Beale Avenue.
Defendant almost struck the victim with the Camaro. Victim was holding their 14 month
old son.
all of which wcrc again!>t the pe~lCC and dignity or the COll1monwcalth or PCllnsylvania and cOlltr,tr~. 10 thc AI.:l or A!>\clllhly,
or in violalion of 6114 and of the Act of Tit]" 23
07-25-97
Arnett
(2)
(Sl'llmll)
(.\'llh Iflll,II,)
or Ihe
Ordin"ncc of
(I','/I/Il.,/SI,/l ,/11111"11 J
(J) I ,lsk that a warrant or ;!rrcst or a SUIIl/llons hc isslIl:'d and that the aCl.:lIsl:'J hI:' rl:'lJuired tll .1Il\wcr the chargl's
I have made.
(4)
1 ,erif)' thai Ihe f"cls set forlh in Ihis cOlllplainl arc
and hclief. This \'crifil'alioll is made suhjel.:t 11\ lhe
& 490,J) rclalin~ hi unsworn fablficalllUl to .1I11IwlIIIC\
true "Ilu Cllrrell to lhe hl:'st l1f Ill)' kllO'\ ledgc or IllrOTI11;llltlll
"w::";S .; "" ,,,...,, ,,,", "'m'" ,
--~--_.., ,-- ~--I\II~f{IT""f f ,'III{'I<lW,'/1I1
. IY
AND NO\\'. "n Ihi, dale
, II.:l'rllly lhe l'p1I1plail1t 11.1\ hn'll IlHlpl'rl~ (tll11plcll'd ;11](1
.1'1
111,' I"t I
DEBRA SUE ARNETT,
Plaintiff
IN THE COURT OF COMMON PLEAS OF
"
CUMBERLAND COUNTY. PENNSYLVANIA
v.
NO. 97-3510 CIVIL TERM
KENNETH JOHN ARNETT,
Defcndant
PROTECTION FROM ABUSE
CUSTODY ORDER
AND NOW. this ~~ day of July, 1997, upon consideration of the parties' Consent
Agreement, the following Order is entered with regard to custody of the parties' minor child,
Jessie John Amell:
I. Thc plaintiff, Debra Sue Arnell, hereinafter referred to as the mother, and the
defendant, hereinafter refcrred to as the fathcr, shall share legal custody of the child.
2. Thc mother shall have primary physical custody ofthc child.
3. The father shall havc supervised visitation of the child on dates and at times
mutually agreed upon by the parties. The paternal grandparents. Beth and Kcn Amell, shall
supervisc the father's visits.
4. The mother and father, by mutual agreement, may vary from this schedule at any
time. but thc Custody Ordcr shall remain in effect until further Order of Court.
5. The mother and father shall notify the other immcdiately of medical emergencies
which arise while the child is in that parent's care.
6. Neither party shall do anything which may estrange the child from the other parent,
or injure the opinion of the child as to the other parent or which may hamper the free and
DEBRA SUE ARNETT,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
"
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
KENNETH JOHN ARNETT.
Defendant
: NO. 97-3510 CIVIL TERM
: PROTECTION FROM ABUSE
CONSENT AGREEMENT
This Agreement is entered on this L ~ay of July, 1997. by
the plaintiff, Debra Sue
Arnett, and the defendant, Kenneth John Ametl. The plaintiff is represented by Joan Carey of
LEGAL SERVICES, INC.; the defendant is unrepresented but is aware of his right to have an
attorney. The parties agree to the entry of Protection From Abuse and Custody Orders according
to the following:
I. The defendant, Kenneth John Arnett. agrees to refrain from abusing the plaintiff,
Debra Sue Amett. or from placing her in fear of abuse.
2. The defendant agrees not to have any direct or indirect contact with the plaintiff
including, but not limited to. telephone and writtcn communications, except for the limited
purpose offacilitating custody arrangements.
3. The defendant agrees not to harass and stalk the plaintiff and not to harass her
relatives and the parties' minor child.
4. The defendant agrees not to enter the plaintifl's place of employment or the day
care facility of the parties' minor child.
5. The defendant agrecs not to remove, damage, destroy, or sell any property owned
by the plaintiff or jointly owned by the parties.
6. The defendant agrees to stay away from the plaintiffs residence located at \0
Beale Avenuc, ApI. C, Enola, Cumberland County, Pcnnsylvania, and any other rcsidence the
plaintil1'may in the future establish for herself
7. The defendant, although entering into this Agreement, docs not admit the
"
allegations made in the Petition.
8. The defendant understands that the Protection Order entered in this matter will bc
in effect for a period of one year and can be extended beyond it original expiration date if the
Court finds that the defendant has committed an act of abusc or has engaged in a pattern or
practice that indicates risk of harm to the plaintiff. The defendant understands that this Order will
be enforceable in thc samc manner as the Court's prior Temporary Protection Order entcred in
this case.
9. Violation of the Protection Order may subject the defendant to: i) arrest under 23
Pa.C.S. ~6113; ii) a privatc criminal complaint under 23 Pa.C.S. ~6113.1; iii) a charge of indirect
criminal contempt undcr 23 Pa.C.S. ~6114, punishable by imprisonment up to six months and a
fine 01'$100.00-$1.000.00; and iv) civil contempt under 23 Pa.C.S. ~6114. L
10. The defendant and the plaintiff agree to the entry of an Order providing for the
following regarding custody of their minor child, Jessic John Arnett
a) The partics will share legal custody.
b) The mother will have primary physical custody of the child.
c) The father will have supervised visitation with the child on dates and at
times mutually agreed upon by the parties. The paternal grandparents, Beth and
Ken Arnett, will supervise the father's visits with the child.
d) The mother and father agree that each shall notify the other immediately of
medical emergencies which arise while the child is in that parent's care.
e) The mother and father realize that their child's well being is paramount to
any differences thcy might have between themsclves. Therefore, they agree that
neither party shall do anything which may estrange the child frlllll the other parent,
DEBRA SUE ARNETT.
Plaintitl.
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY. PENNSYL VANIA
v.
NO. 97-3510 CIVIL TERM
KENNETH JOliN ARNETT.
Defendant
PROTECTION FROM ABUSE
PROTECTION ORDER
AND NOW, this ~day of July, 1997, upon consideration of the Consent Agreement of
the parties. the following Order is entered.
I. The delendant, Kenneth John Arnett, is enjoined from physically abusing the
plaintiff, Debra Sue Arnett, or from placing her in fear of abuse.
2. The defendant is enjoined from having any direct or indirect contact with the
plaintiff including, but not limited to, telephone and written communications, except for the
limited purpose offaci)itating custody arrangements.
3. The defendant is ordered to refrain from harassing and stalking the plaintiff and
from harassing her relatives and the parties'minor child.
4. The defendant is prohibited from entering the plaintitl's place of employment and
the day care facility of the parties' minor child
5. The defendant is prohibited from removing, damaging, destroying or selling any
property owned by the plaintitl' or jointly owned by the parties.
6. The defendant is ordered to stay away from the plaintifi's residence located at 10
Beale Avenue. Apt C. Enola. Cumberland County. Pennsylvania, and any other residence the
plaintilrmay in the future establish for herself
DEBRA SUE ARNETT,
Plaintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY. PENNSYLVANIA
v.
NO. 97-3510 CIVIL TERM
KENNETH JOHN ARNETT,
Defendant
PROTECTION FROM ABUSE
CONSENT AGREEMENT
This Agreement is entered on this i... ~ay of July, 1997, by
the plaintiff, Debra Sue
Arnett. and the defendant, Kenneth John Arnett. The plaintiff is represented by Joan Carey of
LEGAL SERVICES, INC.; the defendant is unrepresented but is aware of his right to have an
attorney. The parties agree to the entry of Protection From Abuse and Custody Orders according
to the following:
I. The defendant, Kenneth John Arnett, agrees to refrain from abusing the plaintiff,
Debra Sue Amett, or from placing her in fear of abuse.
2. The defendant agrees not to have 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. The defendant agrees not to harass and stalk the plaintiff and not to harass her
relatives and the parties' minor child.
4. The defendant agrees not to enter the plaintifl's place of employment or the day
care facility of the parties' minor child
5. The defendant agrees not to remove, damage, destroy, or sell any property owned
by the plaintitl' or jointly owned by the parties
6. The dctendant agrees to stay away Irom the plaintifl's residence located at 10
Bcale Avenue, Apt. C. Enola, Cumberland County, Pennsylvania, and any other residence the
plaintifi'may in the future establish tor hersclf
7. The defcndant, although entering into this Agreement, docs not admit the
allegations made in the Petition.
8. The defendant understands that the Protection Order cntered in this matter will be
in effect for a period of one year and can be extended beyond it original expiration date 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 harm to the plaintin~ The dcfendant undcrstands that this Order will
be enforceable in the same manner as the Court's prior Temporary Protection Order entercd in
this case.
9. Violation of thc Protection Order may subjcct the defendant to. i) arrest under 23
Pa.C.S. ~6113; ii) a private criminal complaint under 23 PaTS. ~61Ill; iii) a charge of indirect
criminal contempt under 23 Pa.C.S. ~6114, punishable by imprisonment up to six months and a
fine of$IGO.OO-$I,OOO.OO; and iv) civil contempt under 23 Pa.C.S. ~6114. L
10. The defendant and the plaintiff agree to the cntry of an Order providing for the
following regarding custody of their minor child, Jessie John Arnett
a) The parties will share legal custody.
b) The mother will have primary physical custody of the child.
c) The father will have supervised visitation with the child on datcs and at
times mutually agreed upon by the parties The palernal grandparents, Beth and
Ken Arnett, will supervise the father's visits with the child
d) The mother and father agree that each shall notify the other immediately of
medical emcrgencies which arise whilc the child is in that parent's care
c) The mother and father realize that their child's well being is paramount to
any ditlerences they might have betwcen thcmselves Therclore, they agree that
ncither party shall do anything which may estrange the child Irom the other parent,
OFFICE OF THE DISTRICT ATTORNEY
OF CUMBERLAND COUNTY
ONE COURTHOUSE SQUARE
CARLISLE. PENNSYLVANIA 17013
AUG 07 1997,y .
. .
DEBRA SUE ARNETT,
Plainlin'
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
V.
97-3S I 0 CIVIL
KENNETH JOI-IN ARNETT,
Defendant
CIIARGE: INDIRECT CRIMINAL CONTEMPT
I tl ORDER ~OURT f e; ~
A"\d 1Jj)~ I '\~d~lA...()...~ I {17/
Upon consideration of the Commonwealth's Illation, the trial pretously scheduled
for August 8, 1997 at II a.lll, is continued to the call of the District Attorney.
By the Court,
1.
John Abom
Assistant District Attorney
KENNETH JOHN ARNETT
~
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DEBRA SUE ARNETT,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY. PENNSYLVANIA
V,
: 97-3510CIVIL
KENNETH JOHN ARNETT.
Defendant
: CHARGE: INDIRECT CRIMINAL CONTEMPT
COMMONWEALTH'S PETITION FOR A HEARING ON CHARGES
OF INDIRECT CRIMINAL CONTEMPT
Michael S, Schwoyer, Chief Deputy District Attorney of Cum berland County.
Pennsylvania. brings the following Pctition for a hearing on charges of Indirect Criminal
Contempt:
I. A Protection from Abuse Order was issucd by the COllrt. A true and corrcct
copy of the Order is attached.
2. The defendant's violation of this Order is averred in the attached criminal
complaint.
3. The victim requests the filing of an Indirect Criminal Contempt Charge upon
information received,
4. The District Attorney's Office approves the filing of this criminal complaint.
5. The Commonwealth is requesting a hearing on the charges ofIndirect Criminal
Contempt pursuant to 23 Pa,C.S.A, * 6113.
6. The plaintiffandlor the defendant may seck modification ofthc Order based on
the filing of this petition as the Court deems appropriate following the trial in addition to
any other sentence. 23 Pa,C.S.A, *6113.
WHEREFORE, the Commonwealth requests the defendant be commanded to
appear before the COllrt on the charge of Indirect Criminal Contempt.
Miell' IS. Scl1\
ChicI' Deputy District Attorney
CHIMINAL COMPLAINT
(POLICE)
COMPLAINTNUMDE~YEAn
Compt,linl Numbcfii'"Olhcr Participants
TYPE
NuMfiER
Robert V. Manlove
DISTRICT JUSTICE
MAGISTERIAL DISTRICT NO, 09 -1 - 0 2
1507 Market street
Camp Hill, Pa. 17011
,(l, 5779 4
iNCIDENT NUMBER UCR NO.
97-11-4152 2600
OTN
COMMONWEALTH OF PENNSYLVANIA
DEFENDANT VS,
r
L Cpl. Stephan L. Resser
(.\'IIII1I'll/.-lIIIdIlIJ
IIf East Pennsboro Twp. Police
(t.ll'lfllll dl'fI.lfIJl1I'I'fl.rlll:"'/IIII'/'fl'lt'III".'llIhl/Il,llIllH!\III1'/1I1II"")
NAME
AND
ADDllES5
Kenneth John Arnett
225 Umber to street
New Cumberland, Pa. 17070
W/M/ DOB: 3-26-74
SSN: 161-70-6226
115A
AK A
o hi~ nickll<ll11C Of popul.lr designation is ullknown 10 me anu. thcrcrnrc. I have dcsigl1\1(cu him herein ilS Johll
Dlle: wilh lilllalillg Ihe pellal laws IIf Ihe ClIl11l1lllllwealth III' Pelllls)IIalli" al 1 0 I~. Beale Ave.
Enola. Pa~st PennsQ.,gro Twp. tl'!.III'./WlIIlIIfS,,',dlliIlOll)
III Cumberland ClIlI 11 I)' 011 IIr ahlllll 2330 hrs. 11-15-97
Participants were (,/ /111"1' IIt'TI,/,,'rI/I //',1/1/\. ,,/'11 I' tl'l'i, /1,11I11'\ hac', ",/,.'.1111I,1: 11I."I</lIII',,/(//"'II',/I'Il'II.I,IIII} K th
enne John Arnett
(2) The aelS eOl11l11itted hy Ihe acclIsed were, 0 INDIRECT CRHlINAL CONTE~IPT
The defendant violated the Protection from Abuse order 97-3510 Civil,
issued on July 8,1997, by the Honorable Judge J. Wesley Oler Jr. to wit:
defendant was ordered to stay away from the property, enjoined from physically
abusing and harassing the victim, Debra Sue Arnett. Defendant did throw an
object at the victim striking her in the chest.
PROBABLE CAUSE:
At 2345 hours on 11-15-97 victim reported that she and her husband, def.
argued about his being away from home all day. Victim wanted to know where he
was. They argued. During this argument the def. threw various items and
kicked the wall causing damage. She did not know what hit her but thought
it may be a belt that was on the floor. She advised she had a very small
cut on her chest. She refused medical treatment.
do herehy ,laic,
(I) Ul I aeclIse Ihc ahllve named ,lclclldalll, whll lives al Ihe address sel fllrlh ahove IIr,
:;- 0 I accuse un individual ''''hose Ilallle is lIn~J1nwn 10 me hut \\'110 is dcscrihcll as
;.
,
,
"
..
t
~
,
~
"
is
~
all or whit:h were agaill~( the peace illHI dignity of the ("ol11l1lo11\\l,,,lth or PCI1Il!'oyh;lI1ia allll l"\lIIlrary to the At.: I of A!<.sclIlhly.
IIr in violalilln Ill' 6114 and Ill' Ihe Acl Ill' title 23
(S.'tIlOl/) (SlIb IC'C/j"I/}
or the Ordinance Ill'
f 1'"f/-(/tll/S/lh .h\'ll/''''J
(J) a...~ th.lt .1 warrant of iHn:sl or a SUI1\I1ll1llS he issueu and thilt the tI(fused he required 10 aI1S\\l'r the (harges
have malic,
(4) I \en"} thaI the 1'.11.:1, sel forth in this l:omplilinl ilrc Irlle and l'\lrrcr( 10 lhe hest of my ~I"mlcdgc Of inftHlI\aliol1
illlll heltef. Thl\ \Crlflcatioll IS madc suhjct.:l 10 the pellallll:\ of SCltllHl .1'JO-t or the ("rime, Ctltk IIX Pol, C S.
~ 4I}0-1) rdatlng 1t1 UnS\\tHIl ral\illl'i1ti~lI\ III aulhllritics.
~NoY,__l~."'1 97
(jd~ ~ ~~
. ..
--- -- -- 1'\'1.;",//1",','11 ,'lIIf",II'I,/I/IJ
ANIl NOW, 1111 II", ""Ie
,1'1
. In'flll) IIIL' 1.:\111I1'1;11111 11.1\ hL'L'1! prnpl.'d) l'tllllpklL'd ;ll1d
"'lil,,.,1 ""! rh II II."'" 1',,,1, .1,1.
f, '. I 'I III .' ,d l't,"
DEBRA SUE ARNEIT,
Plaintiff
: IN TIlE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
: NO. 97-3510 CIVIL TERM
KENNETH JOHN ARNEIT,
Defendant
: PROTECTION FROM ABUSE
PROTECTION ORDER
AND NOW, this 84h day ofIuly, 1997, upon consideration of the Consent Agreement of
the parties, the foUowing Order is entered:
1. The defendant, Kenneth Iohn Arnett, is enjoined from physically abusing the
plaintifi; Debra Sue Arnett, or from placing her in fear of abuse.
2. The defendant is enjoined 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, The defendant is ordered to refrain from harassing and stalking the plaintiff and
from harassing her relatives and the parties'minor child,
4. The defend!\nt i, prohibited from entering the plaintifi's place of employment and
the day care facility of the parties' minor child.
5. The defendant is prohibited from removing, damaging, destroying or selling any
property owned by the plaintiff or jointly owned by the parties.
6. The defendant is ordered to stay away from the plaintifi's residence located at 10
Beale Avenue. Apt. C, Enola, Cumberland "County, Pennsylvania, and any other residence the
plaintiff may in the future establish for herself.
DEBRA SUE ARNEll,
Plaintiff
: IN TIlE COURT OF COMMON PLEAS OF
v,
: CUMBERLAND COUNTY, PENNSYL V ANlA
: NO. 97-3510 CIVll..lERM
KENNETII JOHN ARNEll,
Defendant
: PROTECTION FROM ABUSE
CUSTODY ORDER
AND NOW, this ~ day of July, 1997, upon consideration of the parties' Consent
Agreement, the following Order is entered with regard to custody of the parties' minor child,
Jessie 10hn Arnett:
1. The plaintUI: Debra Sue Arnett, hereinafter referred to as the mother, and the
defendant, hereinafter referred to as the father, shall share legal custody of the child.
2. The mother shall have primary physical custody of the child.
3. The father sha11 have supervised visitation of the child on dates and at times
mutual1y agreed upon by the parties. The paternal grandparents, Beth and Ken Arnett, shal1
supervise the father's visits.
4, The mother and father, by mutual agreement, may vary from this schedule at any
time, but the Custody Order shal1 remain in effect until further Order of Court,
5, The mother and father sha11 notify the other illnnedibtely of wea.;.;i.l .ttlerg;;ncies
which arise while the child is in that parent's care.
6. Neither party shal1 do anything which may estrange the child from the other parent,
or injure the opinion of the child as to the other parent or which may hamper the free and
,
natural development of the child's love or respect for the other parcnt.
By the Court,
l'i ~~ ~:~ DO,-'.c \r
loan Carey
LEGAL SERVICES. INC.
Attorney for Plaintiff
Kenneth lohn Arnett, Defcndant
":",,,,:.,': ~".-: #..... ".:.'" ...' ....' ,,~... ~"''-'.,:)' '.;....
. . . . to." :. ,., .... .... '.. ...'.. '
:. ~ .:.: ~,. .,.:-... .'C\.......~). . r~ ~-: ~;tn;: ~c. :'\'. ~\u.:<
:.,' . . .'. ~'.. ,: :~.....~> . '.:~~~ '-.i! .:,."J~;7.'; :'f.
r' , e..Jll .. '. ., \vS4.,. . ',q']
~.-',~~TS.01~~~~~ =
.~. ..~.~. ." .'::'~(
DEBRA SUE ARNETI,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
: NO. 97-3510 CIVll.. TERM
v.
KENNETII JOHN ARNETI,
Defendant
: PROTECTION FROM ABUSE
CONSENT AGREEMENT
This Agreement is entered on this _ day of July, 1997, by the plainrlft: Debra Sue
Amett, and the defendant, Kenneth John Arnett. The plaintiff is represented by Joan Carey of
LEGAL SERVICES, INC.; the defendant is unrepresented but is aware of his right to have an
attorney. The parties agree to the entry of Protection From Abuse and Custody Orders according
to the following:
1. The defendant, Kenneth John Arnett, agrees to refrain from abusing the plainrlft:
Debra Sue Arnett, or from placing her in fear of abuse,
2. The defendant agrees not to have any direct or indirect contact with the plaintiff
including, but not limited to, telephone and written communications, except for the limited
purpose offacilitating custody arrangements,
3. The defendant agrees not to harass and stalk the plaintiff and not to harass her
relatives and the parties' minor child.
4. The defendant agrees not to enter the plaintift's place of employment or the day
care facility of the parties' minor child,
5. The defendant agrees not to remove, damage, destroy, or sell any property owned
by the plaintiff' or jointly owned by the parties.
6. The defendant agrees to stay away from the plaintift's residence located at 10
Beale Avenue, Apt. C, Enola, Cumberland County, Pennsylvania, and any other residence the
plaintiff may in the future establish for herself.
7. The defendant, although entering into this Agreement, does not admit the
allegations made in the Petition.
S, The defendant understands that the Protection Order entered in this matter will be
in effect for a period of one year and can be extended beyond it original expiration date 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. The defendant understands that thi~ Order will
be enforceable in the same manner as the Court's prior Temporary Protection Order entered in
this case.
9. Violation of the Protection Order may subject the defendant to: i) arrest under 23
Pa.C.S. ~6113; ii) a private crimina1 complaint under 23 Pa.C.S. ~6113.1; iii) a charge of indirect
crimina1 contempt under 23 Pa.C.S. ~6114, pnni.h.hle by imprisonment up to six months and a
fine ofS1oo.00-S1,000,OO; and iv) civi1 contempt under 23 Pa.C,S. ~6114.1.
10. The defendant and the plaintiff agree to the entry of an Order providing for the
following regarding custody of their minor child, Jessie John Arnett:
a) The parties will share legal custody.
b) The mother will have primary physical custody of the child.
c) The tiuher will have supervised visitation with the child on dates and at
times mutually ag:-eed upon by the parties. The patema1 grm:dparents. Beth and
Ken Arnett, will supervise the father's visits with the child,
d) The mother and father agree that each shal1 notify the other immediately of
medical emergencies which arise while the child is in that parent's care.
e) The mother and father rea1ize that their child's well being is paramount to
any differences they might have between themselves. Therefore, they agree that
.neither party shall do anything which may estrange the child from the other parent.
U lI~IIrU,L COMPLAIr I r
I POLICE)
. ..~. eMP~AINrNO~B.EB-JYEAR---iYPE
~~ iCQll'Iplaml Numbl'r~ II Other P.ltllclpanls
~ > . I
',=f~.. . "I' J
"'.1..D"'." "'~.~a'. I
NUMBER
Robert V. Manlove
DISTRICT JUSTICE
MAGISTERIAL DISTRICT NO. 09- 1 _ 0 2
1507 Market Street
Camp Hill, Pa. 17011
f~C~~E~~-~~~B;~-liJCR2 ~Oo 0
---____J_
57794
OTN
COMMONWEALTH OF PENNSYLVANtA
Of.! ENfWH VS.
r
I,
Cpl. Stephan L. Resser
, \,'~'~I-';;;'~-'---;-.~-
NAMl
AND
AUOHf S~;
17070
Kenneth John Arnett
225 Umberto Street
New Cumberland, Pa.
of
East Pennsboro Twp. Police
/1.1,./111/1 ,k/l,lftlfl.'11/ ",,/1;0'1/. I '.'/'II'I.,;/t::rllll,1 ,',,!t.~I,~,J-:;;i,--:h~~
W/M/ DOB: 3-26-74
SSN: 161-70-6226
,.s ^
AKA
do hcrchy stalC:
(I) ~ I al'l'lI\C the ahll\'c n;lllll'u defendallt. wilt) li\c, at llle allure...... 'ct ftlrlh ;tht1\l' IlL
-- 0 I accu...c an indi\'illual Y,IHhl' l1al11e i... uukno\\1l to me hut who I' dc,nihcd a...
~
o hi... niCKname Of Jl\IPular dcsigl1alioll IS Unklhl\\1l to l11e and. Ihcn:ft1n:. I ha\L' lksignatcd him herein as JOhll
Doc; wilh \illlating Ihe p.:nal Iaw~ Ill' Ihe CIlI11I11IIIl\\l.:allllllf 1"'.'IlIl~)I\'allia ;11 1 0 W. Beale Ave.
EnolQ..,--E..~~j~tss.__penn?J;>Qro T~---2-.___n_~__~~____, ___ /-'_"11(1' H,ltli,./I,\1I1',IiII\l"'/ J
in _ Cumberland couur~ Oil or ahour -2"330 hrs. 11-15-97
Parlil'lpants w.:rc II/fhl"fI'III'I"/',Jffl'/{',llIf', Jlf,/.,'f/i.';rll,IOI<" Jhrl' "'I',',lfilll:.//;,"J,.HIt',,/.II'''Il',/oI'Ii'/,/III! Ke-~~e~~ John- Arnett
,
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I ~ I The aCh Cllllll11illeo h~ tile ,,,.cu,ed lIere, 0 INDIRECT CRIrlINAL CONTEMPT
The defendant violated the Protection from Abuse order 97-3510 Civil,
issued on July 8,1997, by the Honorable Judge J. Wesley Oler Jr. to wit:
defendant was ordered to stay away from the property, enjoined from physically
abusing and harassing the victim, Debra Sue Arnett. Defendant did throw an
object at the victim striking her in the chest.
PROBABLE CAUSE:
At 2345 hours on 11-15-97 victim reported that she and her husband, def.
argued about his being away from home all day. Victim wanted to know where he
was. They argued. During this argument the def. threw various items and
kicked the wall causing damage. She did not know what hit her but thought
it may be a belt that was on the floor. She advised she had a very small
cut on her chest. She refused medical treatment.
all nf "hirh \\ae ;I!!aiml the peare ,\llll dl!!lIl1~ Ill' Ihl' ('OIllIllIIfI\\\..';Ilth of 1\'l1n,\I\illlla and nllllr,lry 10 lhe Arl of :\~~clllhl),
nr ill \illlallon of 6114 ilnd Ill' Ihl" ,\rl Ilf title 23
{,.......flr"l/ 1,\111' \1',.'1",11
llr the ()rdll1;IIll'l'1l1
,/'.,,:,:;,,,,:\.',,, ,/-\;\"..'!
(,l) a"~ Ihat a \\arr;lIll Ill' arn."1 nr a '111111111111' hl' 1""l.'d ,llld 111,11 Ihl' ,1l'l'U'l'd hl' ll'ljuirl.'d lu itll,,\\cr Ihe l'h,lrge,
ha\e made.
(.1) h'nf~ Ihal I Ill' lal'h ,el (Ilnh 111 till, l'lllllpLlIlIt ,Ill' 1Illl' ,II1d l"lllll'll III I Ill' hl',1 III 1l1~ ~llI\\\kd!!l' II/ Inl\lrm,lllllll
dill! h~llcr Ihl' \enlll..illl\1l I' lllildl' ,lIh1l'l'l III till' I\l'o,lIlll" III 'il'l'!IIlIl -ltIO-l III till' (.III1l~' ('t\~k IIX 1'.1 (' S
~ -l1)lJ-l) rl'l,llllI~ 11\ 1l1l'\\Ilrl\ 1.1I"llll';111I11\ Itl ,lulllllrllll"
Nov. 1 6, 1'1 97
/'/0# Jr-:-d.?~
r~"'lf"""""I"i'i":'
,\1"1) \()\\, Illl 1111, dall' II) Il\'1111\ Ih,' llltllpl.lllll 11,1' I1l'''ll 1'1"1'\'11\ lll1l1pkll'd ,111.1
\"lllll'd, ,llld IIl,1I Ihell' I' I'II1h,thk ~'.lIl',' "II l"ll.ll1l'~' II! 1'11\( \'"
,SI \1 I
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CRIMINAL COMPLAINT
(POLICE)
-~'
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"'. .'
....t. " '_'~'.aU
COMPLMNTNOMBEA~E A
Complaint Numbers if Olllor Parltclpants
TYPE
NU
EA
'?cl'I':rl~ V'. ; .1):1.-.'1'\
DISTRICT JUSTICE
MAGISTERIAL DISTRICT NO. '1'..1 _,,'~
15(~} '..lJ::~~"i.: .d'.l:~:;t
'-"':~\;'l,--' ': lll, t.'.1. 1", () 11
A 57794
INcfliENT NUMBER~UCA NO.
~7-11-115~ 2600
---- -------- -- --
TN
COMMONWEALTH OF PENNSYLVANIA
III II tmMH VS.
r-
1.._ ,.. J .
. d.' .
I . ,',' d 1/II,j,,11
t~^MI
AND
Al)DIH ~;~;
!':~nnotl\ John (,rllctt
225 U;'Il>~rto .,jtL"tlct
:;';'./ '~l1;;lborLltlu, "';~. 17070
of
,
j-';/,'/JII/I .1'-"""''''' ,,/,., dr' ", 1 './'1, ""~I'./ ",:d f~'t"':. ,,11I,1',-/IlI--;I~;;;-J---
:i.
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H~jA
AKA
,ili:1 00,1: :;-26-74
:;:;'T: 1(i1-7!J-G22G
do Ill'rdl) ,tilll':
(1)0,
_ 0
o lu!ol I1Idnamc or popular lk,i!!lI;lIhlll i... 1I11l..nO\\1l Itl Ill!: and. Ihcrl.:fmc. I h;l\C dCSIJ,:l1illCd him herelll a\ John
Doc; wnll \'iolallll~ the penall;I\\.'" or thl' ('lllllllllll1\\l'alth of Pl'nn...)h'allla at ~ n ,1, ...~;-...
_~~-.# ,". ." j_ 'J ',. _,,_____--.&..'_____. _____._.,.___,__~~I..,i",/ltl"II/,.;.,lf..III.'\ll.,I)
111 _.........:.~:-_c..:_:.:..J_....:..~.~"..__ ('oullly on or ahout ___~_~.:.- '. j 1- i ~~-,:,'j
~ P.lrlicipant, Wl'rc , " thaI' 111',,'I',ulI, /1,,/11/1. rf,I'I' 1111'1f I/olllln /r,."" "'I'I','I/lI~ /h,' '1.11'1,' "~I dh",,',/d,'/Id.ml/ _. ..
.; I, ~_
.ICCII"'t' thl' <lhml' llal1lt'd ,kkllll.1I11. \\1\11 IIH'''' ill thl' addrl.'...... '1.'1 Itlllh ahO\l' tlf.
I i1l'l'U"',' all 11Idl\Idu,II \\Ihl"'l' II II nil.' I... IIl1klhl\\lI It I Illl' hUI wht) "dl'",cflhl'd iI....
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The ;Icls Cl1llll11ilteu hy thl' an'u...et.l \\l're: @
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all of which were
or in \'illlalion of
againsl Ihe pl'aee illld dignity "f the
~11" and
{,\'I'I'II"I//
('omIlHlll\\Callh of Pelllhyl\ania
tlf the Act of r i tIt!
and
23
contrary tn the Act of Assemhly.
ISI/Io \,',fl"'I/
or the
Ordinance of
1/',.11114,1/.\'11/1'4/111\/,11//
(J) I ."k that a warr;IIH of arr..:,1 or a SUI11I1HHl'" he i......Ut:u and that the an:usl'd he rl'l{uired 10 answer the dlarges
I h:.. e made.
(4) nrify thai thl' fach Sl'1 forlh in this ctll11plaint are trUI.' and correl'l III Ihe hl'...t "r my knowledge or infofmation
and hcliel'. ThiS \'crifil.:aliol1 is made ,uhjel'l to the pl'nallil'''' of Section 4904 of the Crimes ('oue (I X Pa, C. S.
~ 49(4) relating to unsworn fabifil'atiol1 to authnitll.'s.
. .
1 .)'1 .....-.:__
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A/;(Wr> e:{'1<.I~ - , ~
\'I~'I'llljrl'" f.m/,.l/Ihllll!
A ND NOW, .111 II", ,laiC
\'crifil'u, and that there" prohahle cau...e
_, 1'1 _____. I cerllf}
I'm I......U.tI\CI.' tlf prill. 1.'''''''.
Ihe complaint ha... hl'cn pwpl'rl) ctllllpll'ted ;lnd
f tI,I~IIII'f/,I! "11m, f}
"'II:;u~;-;;;l7:ij';;--;;,-;j'- --- ,--------
ISL\II
r
",^'j
SUMMONS
(Rule 110)
YOl) AIlE COMMANDED TO APprAR nErORE
UNDEIlSIr,NID AT
,--
SERVICE OF PROCESS
SIl1l1l1l"1I' 'l'I\l'd hI,. l"t.'llllll'\! molLl. It'llllll Il'll'I!'1 Il'ljUl''I\l'd
., 11.,'
,," ,01
I ... II ~ " .111/ ,,' I
101 a plt.ltnl,".l' V h".ulny upun lIUI (,JuHlin", III Ihu ,Ihllltll Illllljll.11Il1 .11 ("111011'1 I"
law II you 1.111 III dppt'.lI .11 lhl' 11m" arlll pl;l(,e, ..... ..l.lh.d "huye. a ...,.ut,lIIt Will
be I'.>\utld lur yuur IIlle.,t nilll Will hit !Iotll at Ihe pfcllRumtfy hl',lllnCl Vou hol'''' lIu!
ughl 10 be frtpu.t.enlrct hy .1 IdWYOI ,inti., you cannul allmll a lawyt~f om! Will hI!
....Iqnltd 10 f(!plr!ot'nl you
Sllllllll11lh Il"llllll~'d 1l1hldl\l'IC~1 '1n the
\1.1\ III
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(.,1.11 j',,' II
i',i Ai I
'\'I'f1,II",,'I
_.-;-,,/1;,,-
~---^'''iI;;. '1 "'^l 111',11(0. I
1',',\l114'."1I111'"III.
RETURN OF SERVICE
UlIMIW,1 COMi'LMJI
(POLICE)
,. ~
~~
~~~..
57745
C.~MPLAIN~~~MBER_ ]YEAR--TYPE
Complmnt Numbers II Other P,ullcipanls
NUMBER
Robert V. Nunlove
DISTRICT JUSTICE
MAGISTERIAL DISTRICT NO. 09-1-02
1901 Stute Street
Cump Hill, PA 17011
fNCiDEN'n'~UMBER UCR NO. OTN
97-07-258 2600
I. _I''l'L~I-"--~tevel1 CoveJ:"<laleL.u162.0._.
(\;/III""'-II'IIIIIlJ
NAME
fIND
AUDll[SS
COMMONWEALTH OF PENNSYLVANtA
UU INDArH VS.
r
Kenneth John Arnett
last known address of:
22 S. Eno1a Drive
Eno1a, PA 17025
DOB: 03/26/74
SSN: 161 70 6226
or
East Pennsboro Towndshi.Q..Policc..[)9.E.t.
fl""IlI(' d"l'lII1I11PII""'~'.'1l1 "'/"I'\.-II/"f,J1/./fh,ll/ll,j/\ljfJ./IlI'!"1/1
IlSA
A K A
uo hcrchy ,latc:
(I)~ I ;ICl'U,C till: .1110\'1: named defcndanl,' \\IHI 11\"1.." at the addrc..., '1'1 Itlfth.i1htl\l' ~lr.
-..'0 I ;u:cusc all individual whose lIa111e I' UII~IHl\\1I 10 lIle hut will) is dc...cnhcd as
.<.
o hi... nidn.ll11c nr popular UCSi1!IIi1IHIll j... Ullkl1tl\\11 In me ,111\..1. Ihcrdi.H\~. I ha\c dc,igniltcd him herein as John
~ Doc; with violating Ih~ p~nall;l\\s t\f lh~ CtllT1l1hlll\\~alth of P~III1,~hallia al 10 W. Beale Avenue, Enola,
~ East Pennsboro Township ____.________~_. 11'101<i' 1'"1111,,,/.\/1",111/1/"'1}
~ III Cumberland (""'"IlY "11""1111'\11 07/24/97 from approx. 1830-
:: Participants werc Ilflll,'f"ll,'f"I'dfll<I/"lIIlll'f,/,,'II""if'loIOII" llor,' r"/~',I."'I~ 11;'-II,iI,,,..I,lhdi,-.I,.,,'II,I.mIJ Kenneth John Arnett 2030
I ~) The act, C"lIl111illed hy the acc\I,ed \lere, 0 INDIRECT CRININAL CONTE~IPT
The defendant violuted the Protection From Abuse Order, #97-3510 Civil,
issued on July 8, 1997, by the Honorub1e Judge J. Wesley Oler Jr., to wit: the
defendant was ordered to stay away from the residence of and to refrain from
harassing and stalking the victim, Deboruh Sue Arnett. The defendant drove past
the victim's r~sidence, a dead end road, three times and did display his middle
finger of his left hand to the victim while driving pust one time.
PROBABLE CAUSE: On 07/24/97, ut upproximately 2043, the victim, Deborah Sue
Arnett, called county to advise that the accused was repeatid1y driving past her
residence. The victim stuted she observed the accused drive past her residence
three separate times, one time showing his middle finger to her, from the 2nd
floor living room window of her apartment.
all or \\hich \\ere again,t the peacc and dl!;!nity or till' ('tlllll1ltll1\\calth III" PCIlIl...yl\ania i.llld cnntrary tll tile Act Ill' A......cmhly.
or in \inlation nf 6114 and of thl' Act of Title 23
1,'1,',11"'1/ I \,,'t ,"', !I"I/ I
or the ()n.JlIlalll'e of
11"'/111.,,1'11,1, .111/,/.1/1'
(3) a...J.. Ihal i.l \\arranl nl" .!ITl.....1 llr ;1 "'lIllll11llll' he i......uetl and Ihal till' ,1I.:cu...ed he rt.'ljuirt.'L1 III ;lIh\\l'r the l'l1argt.'...
ha\t.' madt.'.
(4)
\crif) thai I Ill' Lll"h "'l.t rnrlh III thi... l't1lllplallll ;lIl'
and hl'lId nil... \L'nfll'i.ltloll I' Illillh.' ,uhl,.ct h' 11lL'
* -1911-1) 1"l'LIIIlll! III Ulh\\tlnl fal'lflCIIl\\Jl hI aUlhtlntlL"
lruL' .llld l'olrL'd II' tilL' he'l n1' Ill) ~no\\kdl!l' nr Inhlflnatltlll
pl'na1t iL" Ilf SL'l'l \lHl -190-1 of I liL' ('rilllL" ('tlllt.' (I S 1',1, (.. S
.J.U1Y44
. 1'1 97
~-"I.d~~-;;;:t, d?.o
Al\'D ~O\\", 1111 1111.. dillL' II), Il'l'lIll~ llll' l'lllllJ'l.lllll 1i.1' bL'l.:n tHlll'L"ll~ L'tlllll'lL"I.'d ,1Ill!
\L'rJl'll'd. alld tll;tl thl.'rl' h J'rnb.lhk L',lLhl' 1'111 1",U.llll'l' \\1 J'I11L'1''\'\
I SI .\1
1\1.ll'P!,'I/,/!/l,'!I-","
1/,,:,;1'>: 1:.'I..,'r'"!ll
h, 'I', 1" ..,
.:r,:
I.
'.,1:\, i,I,(] Ilil'
':! ii'
" r'
1'; ,'hllllll,1f ~ Ill' :11 ,'1;' ;\ il
','J1>., ~:I !" .,
I;;,""
(:') "
'.
\,-: fur;, ,I. {jt:U"I! . ,':11 ',:"
";'
"
,"
1',1..
(POLICE)
.~
.
COMPLAINTNUMBEff YEAR
TYPE
HUMB R
Ho!wrc 'I. J.\i\nlovc
DISTRICT JUSTICE
MAGtSTERIAL DISTRICT NO. O!l-leO~:
1901 Strlt~ 5tr.p~t
Curnp lIill, r.>A 17011
Complalnl Numbers II Other Participanls
A 57745
OTN
COMMONWEALTH OF PENNSYLVANIA
or" r flOMJ! 'IS.
I,.
p'r~Jr-: .__~;t f>v~.QY~.!lc...J62..Q..._._ M_
(\,SII/I"II,frli,Jl/II
flAME
AND
^[}l1ll[~;S
I
Kennoth John Arnett
1aot known addreBo afl
22 s. Ena1a Orive
F.nola, PA 17025
DOB: 03/26/74
n~N: 161 70 ~~26
uf ,-1~u.~t P'~lln..:.iLc}ro l'.u!illdhim;J .E~,::.L,n~L
(ldnlltfllk,.,lrtlll"Il/'" 1Il:!"I" I ""'fnl'llIl'd '1".lI~J7ifl'lll 1//"""/11"// J
flSA
AKA
do herehy "a'c:
(I) {J I HCl.:lISC lhe alhl\'c nameu lIdcndanl. \\ho live, at the .llltlrc" set forthaho\'c or,
_ 0 I ;ICt'use all individual whose name IS unknown 10 me hilt \\htl i... uc...cnhcd as
-E.
~ 0 hb nickname or popular dcsi~llaliol1 j, unknown 10 lI1e and. Ihcn:rorc. I
c
!:~ Doc; with \'inlatill~ lhe penal la\\s llf the ('nl11l1lollweallh of l''':l1ll...yhania at
<
~ 1~,H;t {>Plill.,l)t)Tn 'i'o\4n!",11i ~'1
~
,.
.c
"
ha\e
Ifl
uesignated him herein as Jnhn
~1 U"il~P ;"\"f~nnf', j':nol."'l.
(/'/'III'./~I//li'd/ ."i/lbdill\i"I/)
in t'II:1"~,,"r I ,.'.H~ ('ollnl~' 011 or ahout
Part ici pant s were f,f Ihal' Ilt"I' I'llfll' 'f',/IIh./,foll t' /It..if /l1lml'\ lit fl', "'/"'111111>; Iii,' I/ll/llt' ,., '/""1/' .1.kl/d.JIII!
f.J.]j:14/fJ"J rrt"lf\! ;"\ppro~'"
:\J~:1nut:h Br,hr, Arnr~tt
1lno-
<:030
(2)
The acts committed hy the aCI.:useLl werc: 0
,
,
I;;Dlj~:':C'tl CHli.il:'lAL Ctl;J'fL!.lPT
'the dcfpuo..nt violat'~d th:: t't:oL.-.ct,;.inn F,~:r~""l b.hh:-:~' l)rd"~r, lf97-3510 Civil,
ir;:::-und un July 2, 1~.17, b:' i.:hl~ .ii:oJ~nr'-lJlj,. Juc!q,~ w. ~:r~!;l~~y OllJr .1r., to wit: thl~
Qf"tpJldunt W.1:J -.>ruf'rf'd 1.:.\., t!'".:...,..~ d.~,;d:. ;:tJI.'JIU th.~ rf ~~dc:1c:,~ 0:: '-4n1.3 to refrain ironl
ha.r:l:1:1ilHj o"lnl! stillk..in'-j th'~ ..,i~tiJl, ot-:b()~:dh :)Ut~ .:-~r~"2tt, IJtiaf:! Jrlr~:~ndant drove pl'\3t
the victim':3 1:',~5idl'HC'{1, .1 dr-.HI (~'ld l".)('~(l, th::::p,"_, ti!'1(':'~' nnd did (!iEplil~.' hi3 lniddle
ii~IJ(H.. (Jr h~~ Inrt hilClll tn tl1~~ '.'~ct~il:l ;::,11,31 dr:,'}i.l~,'j p;u;t '''It.l t.ir!",r~.
~"aOIJ^ULE C,\U3Jo,: Or, O'l/:~~/91, d' ;-<:;p;:n:",i.~;,it;.~_~l..... 2(l4J, t.i.:, V.let-L'n, !)e-l1()rah ::;b'"
I'~lrr.(: tt, cc:.l1:!d Cvl1'1t~,. i.~(.\ :td'.r,i L~" tit -,~ ~ "..:li',,:! il~(;ur;(~d w.-.:. !"~P"":lt idly dri"vi:lJ pcl:;l., h'.Jr
rcniu-?l1cp.. 'l'hh viet :':-:l ct~; l~~u :,,#:\." 0ph~\r'.''';~'i tllt, ,.l.cr..\t~'\.:(l dri 'It' ~hult hE;~r r;~!}idenr:,~
t:hr('t~ ~:j(~L'll.~t:e.e LiiJ~S, 01\f' t t!~f~ ;-ho\'1'in'j' ..1i;:; !,15.,'!{'; l~~' :: i;Hjer T.(l h."'"" :!:'["o!:\ tIV" ~TlU ·
floor. living roon lliiHlot.,' ;,1- tF r "ii.},l~~t'lo!"~;:t.
all of which were against thc p"ace ami digl1it~ \If thc ('OIllIlHH\\\..:alth of
or in violation of 6J' 4 and of till.' Al't
(SC'l/j'!IJ} (S/Ih Il'lI/,m J
P..:nll'~ I\ania and COIllrary to the Act of Assemhly.
or
,.".: 1-1 ~ ?)
or the
Ordinance or
1f',,!ifll,lf\/I!II/IlI\I,"'!
(.1) I ask that it warrant of arrest or a ~1I11l1ll01l\ h..: i......ul.'d and Ihat the al'cu...ed he req,uireu to ;Inswer (he charges
I have made.
''l..L'.' .'f
. 1'1 ..:.u-
lruc and corrl.'ct tn the hest or my knowledge or information
pellallie, Ilf Seclillll 41}O~ of Ihe Crime, Cllde (IX Pa. C. s.
/1 ,"l
,. /
--~~-
/j":
;" /
I.
to' / .. / '-,~ ~
; y-:\'I,l,'l/l'II""""(IIIII/,I,IIIIIII//J
//.10
(4)
I verify that the f;ICls set rnnh in this clllnplaint arc
:tnu helief. This verificalion is madc suhjl.'l'I to the
~ 49(4) relating (0 unsworn falsificali\lll to i1utlwritics,
AND NOW. <Ill 11m Jale
\erified, anti that Ihere is prohahlc \.'ausc for
, II) . 1 cerllfy
i......uilnc\.' llj' IHOCl.'''''.
Ihc \..nmplaint ha, nC\.'1\ proj1..:r1~ cOlllpleted and
/\(,II:I\'t"I</'O/,'fl<l)
- ~-~----Ij~~.~';;~'" I~;rh~;,t;'-'-'._'
(Sb\ I.l
I"
11"
SUMMONS
(Rule 110)
YOU ARE COMMANDED TO APPEAR RHORE
UNDERSIGNED AT
I'^'
SERVICE OF PROCESS
SUlllllhlll\ \\'I\\'d 11\ ~'~'rtl' It.\\ 111.11\, 1~'1lI11l 1\'\'l'lIH It'qll\'\lt'd,
,I"
,:"
)'1
1\,"'Ii,,;"",/
lor .1 prl'tlmm,lIy IW;lIlf1q upun Ihe ch.lIlJ1'\ III Ihe .Ihove cnmpl.llnt a((:lJ,dlllq 10
tol-'l 11 YOll 1,111 I', .lfllI"'" .11 Ih,' limo .,nct Illace. .lli ..I.lled ahIIVI'. .1 w.lll.lnl Wilt
lu! 1'.',\jI'lIIOl yum 01111.\1 11;111 WIll hc "l!l ;11 Ihe plehnUlldlY hl~dlln<J Ynu h,lvC lht'
!lIJhl tlllu' II.pll",I'""'11 hy ,I I.I-'lyt'l .1111111 you (dnn"l .lllnld .1 I.lwym CUll! WIll he
......IIJlwtl to "'IiIl'~"I\' Y""
SUIllIHIIII\ IrlllllI\'d tlllllt'll\~'lt'(lllll lll~'
d.l) III
1'1
",II ,II
1',lt,l:
1\/1'11.11101,' ,
';';,I,-:i
',.t.'.
',,1.
"
CliIMlrJI,L Cm.IPLAIIH
(POLICE)
COMPLA1NT~NOMBER~YEAR
Complalnl Numbers II Olher P.lrllclpilnls
.' ~
M~.
i 1,+':..' """
. -':.
"-..' 'I", ,tt{'j '-
TYPE
NUMBER
Robert V. Manlove
DISTRICT JUSTICE
MAGISTERIAL DISTRICT NO. 09-1-02
1901 State Street
Camp Hill, Pa. 17011
INCIDENT NUMBER
97-07-2609
UCR NO.
2600
orn
57747
I, . .l'.atr()lIT1ilIU!.obert. L._ Nipple. ___
j\.lIIlo""/llfil/l/l/
COMMONWEALTH OF PENNSYLVANIA
IlUl NilAN! VS.
r
Kenneth John Arnett
506 Third Street
',!JUliE,;S West Fairview, Pa. 17025
NAME
AND
of EasUennsboro 'r,ownslJ.!2..1'9Ji.<=!!_ Q.ep;gj:.fl1ent.
(1.1,'/lIlft '/'"I',lIfllJ,'III'I',It:OI,l tl'l',n,"lfl'd,/lr.II,.':tli.,j/,/,h,/nlli"1I1
IlSA
AKA
W-M-23
DOB: 03-26-74 SSN: 161-70-6226
un herdl}' 'tatc:
(I) Ia I ;II:I:IISC the i1htln~ n;lIl11'J lkh:IHlallt. \\110 II\c\ at thl' address Sl'l fllrlh aIHl\C or,
_ 0 I an:use ;Ill indi\idual \\hl1\l' nallle IS Unknll\\11 In IllC hut \\hll j, dcs\.:rihcd ii'
i'.
,
~
,.
<
~
o hi" nickname 1\[ pOflular dc,i~l\atillll is 1I11l.1l1l\\1l III IllC alll!. thcrdi.lrl', I h;l\c lk,ignalcd him hercin a~ Jl)hn
Doc; with \iolatin~ Ihc pl'llal I;l\\~ Ill' the ('tll11l1hlll\\C;lllh of Pl'llIhy!\ania ilt \~est Beale Avenue, Enola
East Pennsboro Towno?Jli2....--__~____________ ____..______"--IT'i.~" /\,II/h,l/ Sljl~ItII\I""1
in .9JJ!lb,..gr:land___~_ e,,"ntl "n '" ah'"11 2jOO__h.911rs 07-2.~-97
Part ici pallt s wcre (1IIh,'f,' II ,.t,' (',IT/I' Il',lnt" ,./,/,,' I/;,'!f lidO"', I;, t,'. ",/,,',Jlil/~ rl!. I!./I/!,' "10110.11,' ,I, ',,:d,/'rll
-
~
Ke~neth John Arnett
The acl, c"n1lnilled hy Ihe acclI,ed were, 0 INDIRECT CRIMINAL CONTEMPT
The defendant violated the Protection from Abuse Order 97-3510 Civil, issued on July 8,
1997, by the Honorable Judge J. Wesley Oler Jr., to wit: defendant was ordered to stay
away from the residence of and to refrain from harassing and stalking the victim, Debra
Sue Arnett. Defendant driving his girlfriends red Chevrolet Camaro attempted to run over
the victim while she was at her vehicle parked on West Beale Avenue. Victim was holding
their 14 month old son.
12 )
PROBABLE CAUSE: On 07-25-97 at approximately 2400 hours the victim, Debra Sue Arnett,
arrived at her residence. After getting their 14 month old son out of her vehicle she
noticed that the drivers door of her vehicle was not locked. She opened th~ drivers door
when the defendant operating a red Chevrolet Camaro came west on West Beale Avenue.
Defendant almost struck the victim with the Camaro. Victim was holding their 14 month
old son.
all or \\ hich \\cre
or in \illlalillll Ill'
ill!ain"t thc peacc alld lllgllity III' tile ('Olllllltlll\\l'alth or Pcnll\yl\allla and contrary to thc Act of ,,\"'''',:ll1hly,
6114 and "r the Acl "r TH1" ,~
/.\,',11""1 j,\I." ,,','.."/1
or the Ordinancc 1'1'
11'..IIII"II'll.', ,/ill""1I1
(3) a"J.. tll;lt il \\arrant l\r ;trre...t llr a ...lIl11l1h'lI... hl' l"lIl'd illal Ihal Ihe al'l.:lhl'd he rl'qlllrl'd tll all\\\l'r the Cll;lrl!l''''
have madc,
( 41
\cnfy Ihilt thl' r.ll'h "'L'I lilrlh III thi... l'lHllplilillt arl'
illld helll.:! I hi... \l'nficathlll i... made 'lIhlL'l'l In Ihl'
* 41HI-l1 rL'Jatlll~ tll t11l\\\urll t"aJ...lfll'atinn In ;llItht1nlll''''
trill.: ;tlld l'\lfTl.:L'1 In thl.:' hl"1 III tll~ k'hl\\led~1.: tl[ IIlftll'l11athlll
I'o~ )'0.1"'" 4'I~q "I tho em11e, e",1e II~ 1',1 e S
,,, ",1<\ ( \"4,~"
. III
:\NI) ~()\\'. 111\ Ih" d.ltl' II), I L'l'IIi1~ till' l'tlllljll.111l1 11.1... hl'l'll I'ltlllL'rl~ l'lllIll'lclL'd illld
\L'llllL'd, illld Ihilt thnl' I' phlh.lhk l'iltl'l.:' hll 1"I\;llll'l' III pril(l'"
{SI .\1 I
1 11,/1.';'/,/I./:'I,'!I'.I'
if..""". 1,-,'/:../,'
",11'(111...,
ORlGtNAL. SfE REVERSE SIDF FOn 'ii\I',EP t....,; 'or;T~." "'';
CRIMINAL COMPLAINT
(POLICE)
COMPLAINT NUMBER
YEAR
TYPE
NUMBER
Rcbert V. 1':Cnlovc
OISTRICT JUSTICE
MAGISTERIAL DISTRICT NO. 09-1-0~
1~1 Stlll!tl Str-,et
Ca.'P BiB. I'n. 17011
Complaint Numbers il Othor Pmliclpanls
A 57747
INCIDENT NUMBER
97-07-2609
UCR NO,
;>600
o
COMMONWEALTH OF PENNSYLVANIA
DU rNOMH V5.
I. Pi'ltn.lf11.1rt HcJ~LL-.L. tOy':I.L~__
(\'/"1.',,/,1"'111111
NAME
AND
AlJIJIIL';S
r
Kenneth John Arnett
S06 Third Street
Went Fairvicw, Pa. 17025
of E~'v,t r'-rr:n:..=ix)t-o 'f".r'llt:H", ~~l."U').L:!Jl~~lt__
(1;/.'//111. dl''',I1II1/'''"'''.l.l:I''/(l'rt'f''I'\I'II/I',/lHl.t/~'!II/1111 1/1/1'/11/11"11 I
IlSA
AKA
\....~1-23
00Il: 03-26-74 SSW: 161-70-6226
do hereh)' stale:
(I) lik I acclIse Ihe aho\'e nameu Jcfcnllanl, \\htl lives at the ;uldn.:" set forth aho\l.,' Of,
_ 0 I accuse all indiviuual whose name is unt..lhmll III lIle hut wlit) is dc...'.:nh\:ll .1' ____.
-"
~ 0 his nicknOllllc or popular dcsi~l1allon IS unllhlwll 10 me illld, therefme. I
s.. Doc; with \'iolating the penal laws llf thc Ctllllllhlll\\Calth of PCl1Ihyhallla at
"
to
,
~
f~n.t l.Jf'nn.,ht"'l"'nT'~il":lt :-.
ha\'c designatcd him herein as John
_~~t ['oC'f)1.... l\vCnl..lC, Fpola
(1'/0101' n,/IfII-.sI,\'/lf'lh"\I"fl)
~
"
in ("I-dvwi.,jlr Coullt} Oil or ahoul
Participants were (II tlWT/.' "1""1'.1'/1'11"'''/1,/,1".,' /111'1' tI(l//h'\ hi 'c', 'I,/~',lfjll-': fir,' lloilll"II/.lh,,\,',{dl'll,{,'III}
;"(AI hC1~r~
O'i-2~97
(2)
TI1C acts conunitled hy the accused werc: 0 J~~D'!ru:'[..."f~'
K('nn"th _18hn f\.cr,,,tt
(;J::1 ~~ 1.~~,1.. (X"'~r:"?T
1"1-2 d:;:O[UI{~\ilt \'lc,ltlt.::(.; tile Pr:-otcoctic..n fi~O]. },rlL:;C: Ccc4"1r lJ7-351(' '=1\'J j, i~SCC<1 on July il,
1~:::7, cy ~h~ f;,,',n:)r~t1~ ...!I~(";I.J .:. ';~C!Q'I' Gl.~c .J"", to V!t.: l:-ctcnl1ant va3 OLC:ere(i to Std)"
ilway from th\:~ I;o:::-lizml....t:. (.t ,"Pi..: t.:.i..' t"c.L:~".; I' ~l:1. ~\..;,l["il::':~ i nl:; ;'fIC' st;,.j l-:.i ri:J the victim, r.~:'Ctl
~lle ;\melt.. ~.ant crlv":1~j ill.f' qi:,Jfcil}f1Lt:.. !.:t'l.:. :"jl~'./l-olct C"'~t'O ntt.e.1ptl'f3 to run \.1\1~r
the \'li:tlffi wh~li! CoLIC \&Ii.lt: ':It ;1'2-17 vc~~cl-:~ ''''~II:'l~L~'': (=1 ~'.t'...~'>t !~p.ali.: .\v(Jn\l"~. Vi;:tim 1,1,)6 ho\cunc.~
ti'cir Ii; n<'lClt~l r)lcJ !'Cll.
~~()r..."u:.LL, (-:;"CSE: C:n 07-L~-,)7 '-,L :"~'i::t(Ji:~;...Jt~l ~ :'!~-:":..; ;,OUC.3 the; viet I.hI, ~bi:" &"C Acnctt,
orri V,-(--at 11e:7 ::l!t;Jc.c.c,:. ;\ft eL- ':Ic:tt. 'dl~ t,lf" L jl+ i..c:mth Ole. SO:-l evt of ni"~t. vchiclE' aha
notic.:-:a thilt tlte :-,rIVr:r~ t'-:'::= lJ'l l)t.:>t- ;'t:hiclt'; ~1~':~ !:ct ,L:;.-::l..c>o(.:. She O:X:rICG the (~riveL'D c;oor
\rWhe!l tr.c ccf('\;-)('.,nt O[:.ec:lt.:n\., .) l..'t~{: c..~H.'\'::-0l,..t Ci\'lr)C::J ..:. -:'-''2 ....'C's.~ C-':1 'i;ost ~.palc .'\v<..arn.H."'.
Dct'(!;lc.ant ,:,l;T{)!.~t ~truc~ tn<? Vl....t~~ ...''..t':1 t1~p w:.c.!~'c. ...icl:r.. \r:::IS 11;.:J]c';a'J ti1eic l,~ IIcnth
uJt: son.
all of which were against the peace
or in violation or hj 1 A
(SI'tli,III)
and digl1lt) l,f (hc ('ol11l11ol1\\e<lllh llf Penll~yh';llIia and ctlnlrar~
and Ill" the Act of f'\l..tl...., 23
10 the Acl or Assemhly,
(Sill, II'fl<ll/1
or the
Ordinance 01"
1I'"IIf1t,lf ,''lid, .1111\'''1/)
(.1) ask lhat it warn.lnt of arre,t or a ..uml1llllh hc Issueu and that the accu..cd he required III answer thc charges
havc made.
(4)
I verify that the facts set forth in this clll11plaint Me
and belief. This \erificalion is nlildc suhjecl to the
* 49(4) relating to unSWllrn falsification to authorities,
1'1
truc and Cllfreel hI thc hest Ill" 111) ~l1llwlcdge or informatilHl
pen.II"'~Ur .,~eclion ~}()4 of the Crime, Code IIX I'a. C S.
, \
.~__~~_~.. 'i{,.';'
{,"l/t:1I11'1tfl,,,(( "ml'I.I!I/.1I/11
AND NOW, on Ihi, date
verified, and that there is
, 1'1 __. I cerllfy
rrohahle eau,e ft'r issuance of I'fll~'CSS.
thc l'l1l11 pI a 111 t hilS hCl'n pft1perly ctll11plcted anu
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