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MARYBETlI HARNER,
Plainlifr
IN TIlE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
v.
DAVID MICHAEL HARNER,
Defendant
,
NO. 98-j..7 7~. CIVIL TERM
PROTECTION FROM ABUSE
TEMPORARY PROTECTION ORDER
AND NOW, this Nil} day of March, 1998, upon presentation and consideration of the
within Petition, and upon finding that the plaintiff, Marybeth Harner, now residing at 1036 Mill
Road, Mechanicsburg, Cumberland County, Pennsylvania, is in immediate and present danger of
abuse from the defendant, David Michael Harner, the following Temporary Order is entered.
The defendant, David Micahel Harner (SSN: Unknown)(DOB: 06/06/66), now residing at
98 Front Street, West Fairview, Cumberland County, Pennsylvania, is hereby enjoined from
physically abusing the plaintiff, Marybeth Harner, or from placing her in fear of abuse.
The defendant is ordered to stay away from the plaintill's residence located at 1036 Mill
Road, Mechanicsburg, Cumberland County, Pennsylvania, a residence 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 communicating custody arrangements through a mutually agreed upon third
party.
The defendant is enjoined from harassing and stalking the plaintiff and from harassing her
relatives and the parties' minor children.
The defendant is enjoined from entering the plaintill's place of employment.
.".
The defendant is enjoined frolll dlllllaging or destroying lIny propcrty owned jointly by thc
parties or owned by thc plaintill:
A violation of this Order may subject the defeudaut to: i) arrest under 23 Pa.C.S.
~61l3; 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 imprisoument up to sill months
and a fine of$100.00-$I,OOO.00; and iv) civil contempt under 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 defendant has committed an
act of abuse or has engaged in a pattern or practice that indicates risk of harm to the plaintiff.
Shared custody of the parties' children, Natasha Belle Harner and Zachary David Harner,
is hereby awarded to the plaintiff, Marybeth Harner, pending further Order of Court after
conciliation conference, according to the following schedule: Mondays and Thursdays each week
from 4:00 p.m. until 7:30 p.m.; each Saturday from 10:00 a.m. until 7:00 p.m., and at other times
mutually agreed upon by the parties.
A HEARING SHALL BE HELD ON TJIIS MA TIER ON MARCH / S" ,1998,
AT ...3: 30 ? .M., IN COURTROOM NO. ~, 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 Sheriff's Department shall attempt to make service at the
plaintiff's request and without pre-payment of fees, but service may be accomplished under any
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.
MARYBETIIIIARNER.
Plaintil1.
IN TIlE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
v.
NO. 98-
CIVIL TERM
DAVID MICHAEL HARNER,
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 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. Any Protection Order granted by a Court may be considered in any subsequent
domestk relations proceedings, including custody actions.
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 up to $250.00 to reimburse one of
Legal Services, lnc.'s funding sources for Legal Services, lnc.'s representation of the plaintiff.
You have the right to be represented by counsel. 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.
CUMBERLAND COUNTY BAR ASSOCIATION
2 LIBERTY AVENUE
CARLISLE, PENNSYLVANIA 17013
TELEPHONE NUMBER: (717) 249-3166 or TOLL FREE: 1-800-990-9108
FAX: (717) 249-2663
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 ] 990. 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 before the court.
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MARYBETIIIIARNER,
Plaintitl'
IN TIlE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
v.
NO. 98- 1.:19'1
CIVIL TERM
DAVID MICIIAEL IIARNER,
Defendant
PROTECTION FROM ABUSE
PETITION FOR PROTECTION ORDER
RELIEF UNDER TilE PROTECTION FROM ABUSE ACT
23 Pa.C.S. ~6101 et seq.
A. ABUSE
I. The plaintifl: Marybeth I-lamer, is an adult individual currently residing at 1036
Mill Road, Mechanicsburg, Cumberland County, Pennsylvania 17055.
2. The defendant, David Micahcl Harner (SSN: Unknown){DOB: 06/06/66), is an
adult individual residing at 98 Front Street, West Fairview, Cumberland County, Pennsylvania
17025.
3. The defendant is the husband of the plaintiff and the father of the parties' two
minor children, Natasha Belle Harner and Zachary David Harner.
4. Since approximately February 1998, the defendant has attempted to cause and has
intentionally, knowingly, or recklessly caused serious bodily harm to the plaintiff, has placed the
plaintiff in reasonable fear of imminent serious bodily injury, and has knowingly engaged in a
course of conduct or repeatedly committed acts toward the plaintiff under circumstances which
have placed the plaintiff in reasonable fear of bodily injury. This has included, but is not limited
to, the following specific instances of abuse:
a) On or about February 22, 1998, when the plaintiff refused to reconcile with
the defendant, he threatened her in front of their 5-year-old daughter, Natasha.
saying, "You will fucking pay. 'Til death do us part; one of us will go down." As
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the plaint ill' was leaving and saying good-bye to Natashll, the defendant picked up
alllrge lire extinguisher, rnised it over his head causing her to fear he was going to
throw it at her and threatened her saying, "You'd better get the luck out of here or
somthing's going to happen." Fearing for her salety, the plaintil1'took Haven, her
friend Katie's 9-year-old son, lell the residence, and went across the street to the
defendant's parents' home. The plaintil1: fearing for her children's safety, asked
the defendant's mother to go to the delendant's house and make sure the children
were sale. The defendant followed the plaintil1'to his parents' house, slapped her
one the side of the heard, pulled a butcher knife from his jacket, and threatened her
saying, "I'm going to kill you before you ever leave me." As the plaintiff
telephoned the police for help, the defendant struck her in the eye while holding
the knife in his hand, and pinned her behind the kitchen table. When the plaintiff's
friend, Katie, tried to telephone the police again for help, the defendant chased her
out of the kitchen, grabbed her, and beat her with his lists about her head and
body. Katie's son, Haven, screamed and cried, traumatized by having witnessed
the whole incident. The East Pennsboro Township Police arrived and arrested the
defendant for assaulting and harassing both the plaintiff and Katie. The plaintiff
was transported by ambulance to Polyclinic Hospital where she was treated for
injuries she sustained as a result of this incident which included, but not limited to,
bruising, swelling, and soreness about her eye and face, a laceration under her eye,
and vision problems.. A preliminary hearing was held before District Justice
Manlove on March 4, 1998. The charges were bound over and a condition of the
defendant's bail was that he have no contact with the plaintiff.
b) On or about Febmary 21, 1998, the defcndant telephoned the plaintifl"s
residence repeatedly beginning at approximately 2:00 a.m., every 10 to 15 minutes,
at least 25 times,
c) On or about Febmary 15, 1998, while the plaintin' was visiting her friend,
Katie, the defcndant CllJl1e to Katie's home uninvited, pounded on the door
repeatedly, and yelled, calling the plaintifl. "pig" and other humilitating names.
Katie telephoned the police who arrived and told the defendant to leave.
d) On or about Febmary 8, 1998, the defendant invited the plaintiff to go
bowling with him and their children. When the plaintiff arrived at the defendant's
residence, he locked the door behind her, shoved her severnl times causing her to
against furniture, stmck her across the face with the back of his hand (backhanded
her), grabbed her by the neck, and choked her with such force that she could not
breathe as he repeatedly slammed her head against the noor. The plaintiff
sustained bruising and red marks on her neck and nose, difficulty swallowing,
soreness about her nose, throat, and head, and headaches as a result of this
incident.
5. 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.
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.
7. The plaintiff desires that the defendant be enjoined from harassing and stalking the
plaintiff, and from harassing her relatives, or the parties' minor children.
8. The plaintiff desires that the defendant be restrained from entering her place of
employment.
During thll plIst IiVll Yllllrs thll childrlln hllw rllsidlld with thll fiJllowing pllrsons and lit thll
following IIddrllsslls:
Nallle
Defcndllnt
Address Dates
~
98 Front Street October, 1997
West FlIirview, PA to the present
98 Front Street April, f 997
West Fairview, PA to October, 1997
98 Front Street March, 1997
West FlIirview, PA to April, 1997
98 Front Street JanulIry, 1997
West Fairview, PA to March, 1997
1132 State Road June, 1995
Duncannon, P A to January, 1997
1129 State Road February, 1994
Duncannon, P A to June, 1995
99 Front Street January 7, 1993
West Fairview, PA to February, 1994
Plaintifl"and defendant
Plaintiff, defendant, his brother,
JelrHarner, and the plaintilrs
sister, Sharon Trayer
Plaintiff, defendant, and his
uncle, Ben Stuart
Plaintiff and defendant
Plaintiff and defendant
Plaintiff, defendant, and his
parents
The plaintiff, the mother of the children, is Marybeth Harner, currently residing at f 036
Mill Road, Mechanicsburg, Cumberland County, Pennsylvania.
She is married.
The plaintiff currently resides with the following persons:
Name
James and Doris Jean Trayer
Bill Cook
Jeremy Lehr
Relationshin
her father and step-mother
her step-brother
her nephew
The defendant, the father of the children, is David Michael Harner, currently residing at 98
Front Street, West Fairview, Cumberland County, Pennsylvania.
He is married.
The defendant currently resides with the Ibllowing persons:
Name
Natasha Belle lIarner
Zachary David Harner
Rehtlionshill
his dnughter
his son
14. The plnintifThas not previously participated in nny litigation concerning custody of
the above mentioned children in this or any other Court.
15. The plaintiff hns no knowledge of any custody proceedings concerning these
children pending before a court in this or any other jurisdiction.
16. 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.
17. The best interests and permanent welfare of the minor children will be met if a
shared custody schedule is granted to the plaintiff pending a conciliation conference scheduled in
this matter for reasons including:
a. The plaintiff has provided for the emotional and physical
needs of the children since their births and is a responsible parent
who can best take care of the minor children.
b. The defendant has shown by his abuse of the plaintiff that he
is not an appropriate role model for the minor children.
c. From October 1997, through late February 1998, the
plaintiff has had regular contact with her children several times each
week, and since March 4, 1998, the defendant has denied her access
to the children after she refused to drop criminal charges pending
against him relating to incidents of abuse referred to in this Petition
for Protection Order (see paragrnph 4{a)) and the charges were
bound over lor trial.
WHEREFORE, pursuant to the provisions of the "Protection from Abuse Act" of October
7, 1976,23 P.S. ~6101 et gm., as amended, the plaintilTprays this Honorable Court to grant the
following relief:
A. Grant n Tempornry Order pursuant to the "Protection from Abuse
Act:"
I. Ordering the defendant to refrain from abusing the plaintiff or from
placing her in fear of abuse.
2. Ordering the defendant to refrain from having any direct or indirect
contact with the plaintifl' including, but not limited to, telephone and
written communications, except for the limited purpose of communicating
custody arrangements through a mutually agreed upon third party.
3. Ordering the defendant to refrain from harassing and stalking the
plaintiff and from harassing her relatives and the minor children.
4. Prohibiting the defendant from entering the plaintitl's place of
employment.
5. Prohibiting the defendant from damaging or destroying any jointly
owned by the parties or owned by the plaintiff.
6. Ordering the defendant to stay away from the plaintifl's residence
located at 1036 Mill Road, Mechanicsburg, Cumberland County,
Pennsylvania, which the parties have never shared, and from any residence
the plaintiff may in the future establish for herself.
7. Granting shared custody of the minor children to the plaintiff
pending further Order of Court after conciliation conference, according to
the lollowing schedule: Mondays and Thursdays each week Irom 4:00 p.lII.
until 7:30 p.III.; each Saturday Irom 10:00 a.lII. until 7:00 p.III., and at other
times mutually agreed upon by the parties.
D. Schedule II hearing in accordance with the provisions of the
"Protection from Abuse Act," and, lIfter such hearing, enter an order to be in effect for a
period of one year:
I. Ordering the defendant to refrain from abusing the plaintiff or from
placing her in fear of abuse.
2. Ordering the defendant to refrain from having any direct or indirect
contact with the plaintiff including, but not limited to, telephone and
written communications, except for the limited purpose of communicating
custody arrangements through a mutually agreed upon third party.
3. Ordering the defendant to refrain from harassing and stalking the
plaintiff and from harassing her relatives and the minor children.
4. Prohibiting the defendant from entering the plaintiffs place of
employment.
5. Prohibiting the defendant from damaging or destroying any
property jointly owned by the parties or owned by the plaintiff.
6. Ordering the defendant to stay away from the plaintiffs residence
located at 1036 Mill Road, Mechanicsburg, Cumberland County,
Pennsylvania, and ordering the defendant to stay away from any residence
the plaintiff may in the future establish for herself
7. Ordering the defendant to reimburse the plaintiffs out-of-pocket
losses suffered as a result of the incidents which occured on or about
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ARYBElll HARNER.
!'Iaintifl'
IN TIlE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
v.
NO. 98-1295 CIVIL TERM
DA VID MICHAEL HARNER,
Defendant
PROTECTION FROM ABUSE
PROTECTION ORDER
AND NOW, this 7../l'~ day of March, 1998, upon consideration of the Consent Agreement
of the parties, the following Order is entered:
I. The delendant, David Michael Harner, is enjoined from physically abusing the
plaintiff, Marybeth Harner, 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 wrillen communications, except where
necessary concerning the children; for example, facilitating custody arrangements, sharing
information regarding the children, alien dance at school o( sporting events, etc.
3. The defendant is ordered to refrain from harassing and stalking the plaintiff and
from harassing the plaintiff's relatives.
4. The defendant is prohibited from entering the plaintifl's place of employment.
5. The defendant is prohibited from damaging or destroying any property owned by
the plaintiff or jointly owned by the parties.
6. The defendant is ordered to stay away ITOIllthe plaintifl's residence located at 1036
Mill Road, Mechanicsburg, Cumberland County, Pennsylvania, which the parties have never
shared, except for the limited purpose of transferring custody during which times the dellmdant
shall remain in his vehicle, and the defendant is ordered to stay away from any residence the
plaintiff may in the future establish for herseU: except lor the limited purpose of transferring
custody during which times the defendant shall remain in his vehicle.
7. The defendant is ordered to reimburse the plllintifl's out-of:pocket losses suflered
liS II result of the incident which occured on or IIbout February 22, 1998, including, but not limited
to, the losses listed on the attached sheet marked Exhibit A. The defendant shall commence
payment of losses within thirty (30) days of the entry of the Protection Order in the above-
captioned matter. The total amount of losses shall be reimbursed directly to PinnacleHealth
Hospital, East Pennsboro Township Ambulance Company, and any and all costs incurred from
medical services providers directly related to treatment provided to the plaintiff for injuries she
sustained as a result of the above incident. Total amount of losses to be re-imbursed within six
(6) months of the entry of the Protection Order. An award under this chapter shall not constitute
a bar to litigation for civil damages for injuries sustained from the acts of abuse giving rise to the
award or a finding of contempt under this chapter.
S Court costs and fees arc waived.
9. This Order shall remain in eflect 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 this
case.
10. A violation of this Order may subject the defendant to: i) arrest under 23 Pa.C.S.
~6] 13; ii) a private criminal complaint under 23 Pa.C.S. ~6f 13.1; iii) a charge of indirect criminal
contempt under 23 Pa.C.S. ~61 ]4, punishable by imprisonment up to six months and a fine of
$100.00-$1,000.00; and iv) civil contempt under 23 Pa.C.S. ~6114.1.
II. The East Pennsboro Township and Lower Allen Township Police Departments
shall be provided with certified copies of this Order by the plaintifJ's 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 cOllrt thut isslIed the order. When that cOllrt is unuvaifuble, the
defendant shall be tuken before the appropriute district justice. (23 Pa.C.S. ~61/3).
By the COllrt,
Joan Carey
LEGAL SERVICES. INC.
Attorney for PluintitT
Gary L. Kelley, Attorney for Defendunt
132 Wulnut Street
Harrisburg, PA /7/0/
(717) 238- J 484
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Kevin A. Hess, Judge
5. The mother and lalher shall share custody of the children during the Christmas
holiday on an alternating basis each year, with one parent having the children on Christmas Eve
frolll noon until Christmas Day at noon and the other parent having the children on Christmas Day
at noon until December 26th at noon. The mother shall have the children on Christmas Eve from
noon until Christmas Day alnoon in 1998.
6. The mother shall have the children from 10:00 a.m. until 7:00 p.m. on Mother's
Day and the father shall have the children on Father's Day from 10:00 a.m. until 7:00 p.m.
7. Each party shall have the right to have the children for two weeks summer
vacation each year (including a maximum of two weekends). The parties shall provide each other
with 30 days advance notice of intent to exercise their vacation period and the address and
telephone number where the children shall be staying.
8. The custodial parent shall provide transportation for the transfer of custody unless
otherwise agreed upon by the parties.
9. The mother and father, by mutual agreement, may vary from this schedule at any
time but the order shall remain in elfect until further order of court.
10. The mother and father shall notity the other of all medical care the children receive
while in that parent's care. Each parent shall notity the other immediately of medical emergencies
which arise while the children are in that parent's care.
I I. Neither party shall do anything which may estrange the children 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 children's love or respect for the other parent. Neither party shall
make disparaging statements about the other in the presence of the children nor permit third
parties to do so.
By the Court,
~~.rJ.L
/ Kevin A. Hess, Judge
Joan Carey
LEGAL SERVICES, INC.
Attorney for Plaintiff
Gary L. Kelley, Attorney for Defendant
132 Walnut Street
Harrisburg, P A 17101
(717) 238-1484
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MARYBETH HARNER,
Plaintilr
IN TIlE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
v.
NO. 98-1295 CIVIL TERM
DAVID MICIIAEL HARNER.
Defendant
PROTECTION FROM ABUSE
CONSENT AGREEMENT
This Agreement is entered on this
'81"-- day of MlIrch. 1998, by the plaintil1:
Marybelh Harner, and the defendant, David Michael Harner. The plaintiff is represented by Joan
Carey of LEGAL SERVICES, INC.; the defendant is represented by Gary L. Kelley, Attorney at
Law. The parties agree that the following may be entered as an Order of Court.
I. The defendant, David Michael Harner, agrees to refrain from abusing the plaintiff,
Marybeth Harner, or from placing her in fear of abuse.
2. The defendant agrees not to have any direct or indirect contllct with the plaintiff
including, but not limited to, telephone and written communications. except where necessllry
concerning the children; for example, facilitllting custody arrangements. sharing information
regarding the children, attendance at school or sporting events, etc.
3. The defendant agrees not to harass and stalk the plaintill' and not to harass the
plaintiffs relativesJlnd tl." 11I;1101 child,,,,,. ~ Jj~.
4. The defendant agrees not to enter the plaintiffs place of employment.
5. The defendant agrees not to damage or destroy any property owned by the plaintiff
or jointly owned by the parties.
6. The defendant agrees to stay away from the plaintiffs residence locatlllt at ] 036
Mill Road, Mechanicsburg, Cumberland County, Pennsylvania, which the parties have never
shared, except lor the limited purpose of transferring custody at which times the defendant agrees
to remain in his vehicle, and the defendant agrees to Slay away from any residence the plaintiff
may in the litture establish lor hersell: except for the limited purpose of translerring custody at
which times the defendantllgrees to remain in his vehicle.
7. The defendant agrees to reimburse the plaintill's out-ol:pocket losses sul1ered as a
result of the incident which occured on or about February 22, 1998, including but not limited to,
the losses listed on the attached sheet i:;~ked (;:~b~ '&l ~~~dant agrees to commence
payment oflosses tertII! "1,,;,,t;I1' within Iiw ~ days 01 the entry of the Protection Order in the
above-captioned matter. The total amount of losses shall be reimbursed directly to Pinnacle
Health Hospital, East Pennsboro Township Ambulance Company, and any and all costs incurred
from medical services providers directly related to treatment provided to the plaintil1'lor injuries
IoTA<- ~ou..V\-r 6€ loSSES '-0 ~
she sustained as a result of the above incident. ~E.' ~~; ~6E=\.ll ~~V\~~rr~~~~.AW-
8. The delendant, although entering into this Agreement, does not admit the ;\1L.....'E "
allegations made in the Petition.
9. The defendant understands that the Protection Order entered in this matter will be
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 ofharm to the plaintiff. The defendant understands that this Order will be enforceable in the
same manner as the Court's prior Temporary Protection Order entered in this case.
10. Violation of the Protection Order may subject the delendant 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$IOO.OO-$I,OOO.OO; and iv) civil contempt under 23 Pa.e.S. ~6114.1.
II. The dcfend~nt agrees to !1(lrlr~f.g hig Bellavio, nw!5(1IJillo (lIIt;"r BAd v:ul\;lI\..e ;11 his
IdalivlI:tllip:) by \';IIL""riIlS illLv (I,.... bl\tter~r tr{"~tmeAt pn:>!;JUIII Lluuugh TH;:,~I~I Ludu';ldll Se,p,licCii,
968 CCIIlUlY Ehiv<;, Meehanicgbllrg, P.'. 17Q;}, Telcllhene. (717) 795-8JJ8, aRd r~ll1aiAiRg-iA
gr81l1l1lRtil relea&ed by th~ropi.t. T(.1~ hC-FE-A~, ~S CC5
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