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criminal contempt under 23 Pa.C.S. 86114, punishable by imprisonment lip to six months
and a fine orsIOO.OO-$I,OOO.oO: IInd iv) civil contempt under 23 Pa.C.S. 86114.1.
This Order shall remain in effect until modified or terminated by the Court and can be
extended beyond its original expil'lltion 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.
A HEARING SHALL BE HELD ON THIS MATTER ON
APRIL ;'7 ,I998,AT 1/:()tJ A .M., IN COlJRTROOM
NO....5 , OF THE CUMBERLAND COlJNTY COlJRTHOlJSE,
CARUSLE, PENNSYL VANIA.
hearing,
The plaintiff'may proceed without pre-payment of tees pending a fiu1her order after the
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,
The Carlisle Police Department shall be provided with a certified copy of this Order by the
plaintiff'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 probllble cause that this
Order has been violated, whether or not the violation is committed in the presence of the police
officer, In the event that an arrest is made, under this section, the defendant shall be taken
without unnecessary delay before the court that issued the order, When that court is unavailable,
MELISSA MAE NICKLE,
Plaintlll'
IN tHE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, IIENNSYLV ANIA
v,
ALIlERT RAY WILSON, JR"
Defendant
NO, 98,.
.. CIVIL TERM
PROTECTION FROM ABUSE
NOTICE
You have been sued in court. If you wish to detcnd against the claims set forth In the
following pages, you must take action promptly after this Petition, Order and Notice arc served,
by appealing 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 plaintifr You may lose money or property or other rights important to
you, Any Protection Order granted by a Court may be considered ill any subsequent
domestic 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 $25000 to reimburse one of
Legal Services, Inc,'s funding sources for Legal Services, Inc.'s representation of the plaintiff.
You have the right to he represented hy counsel, You should take this paper to your
lawyer at once. If you do not have a lawyer or cannot afford Olle, go to or telephone the
office set forth below to lind out where you can get legal .help.
CUMBERLAND COUNTY BAR ASSOCIATION
2 LIBERTY A VENUE
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 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 72 hours prior to any hearing
or business before the court,
slut and whore, rushed over to her friend's vehicle, reached into the back seat, and
repeatedly punched her friend, John, in the face, The delendant demanded that the
plalntifl' come with him, but learing Illr her safety and that of her friends, the
plainlilfrefused to go with him and dmve away with her friends,
Later the same day at approximately 10:00 a,m, the delendant telephoned
the plaintiff's residence repeatedly, made false accusations, and told her that he
was coming over. The defendant came to the plaintiff's apartment, knocked on
her door severaltim\~s, and repeatedly demanded to be let in, The plaintiff's sister,
who had been talking to the plaintitl' when the defendant arrived, heard her tell the
defendant to leave several times, became concerned for her sister's safety, and
telephoned the Carlisle Police for help, The police arrived and told the defendant
to leave and not to return to the plaintiff's residence. The plaintiff changed her
telephone number to deter the defendant from further contact with her, Despite
the police's warning to him not to return to the plaintiffs residence, the defendant
went back to her apartment on April 13, 1998, under the guise of returning a hat
to her and pleaded with her not to end their relationship,
b) On or about April 5, 1998, the plaintiff, who was lying in bed, heard a
noise, saw her bedroom window being raised, and when she went to the window,
saw the defendant at the window, She told him to leave, said that she did not want
to talk to him, shut the window and locked it. The plaintiff also noticed that the
screen on her kitchen window had been raised exacerbating her fear,
c) On or about March 30, 1998, the plaintiff asked the defendant to leave her
apartment several times; he refused, grabbed her by the arm, shoved her down
onto the couch causing her to hit her side on the arm of the couch, and continued
to push her down on the couch each time she tried to get up, The defendant
grabbcd thc plaintitfby thc arm again as she tricd to gct away from hilll, threw her
onto the couch scvcraltimcs causing her to fall on tbe 11001', pullcd her away from
the window as shc tricd to call out for hclp, and confincd hcr to the living room to
keep hcr from leaving thc apartlllcnt or using thc tclcphonc to call for help When
the defcndant repeatedly smashed a can of soda against his head, the plaintitl'tried
to run ti'om the mom, bUI he grabbed her by the back of the neck and pulled her
back into thc room During this incident the defendant grabbed the plaintiff's
sweat pants, broke the drawstring and elastic, threatened to rape her, threw her to
the 11001', straddled her, and threatened to kill her as he choked her, As the
plaintiff tricd to get away from the dcfcndant, hc slapped her on the side of her
head and facc with such force that she collapsed on the 11001', The plaintiff sought
medical treatment at Carlisle Hospital Emergcncy Room on March 31, 1998, Thc
plaintiff sustaincd a perforatcd eardrum, chest wall contusion, bruising and
soreness about her neck, arms and torso, and a laceration on her knee as a result of
this incident. The plaintiff was referred to a specialist for ongoing treatment of her
perforated eardrum,
d) In or about January 1998, the defendant pushed and shoved the plaintiff
about, backed her against the kitchen counter, and threatened to kill her as he
choked her,
e) Since approximately December 1997, the defendant has abused the plaintiff
in ways including, but not limited to, pushing and shoving her about, pulling her
hair, yelling at her in a threatening manner, and threatening to send members of his
family after her causing her to fear for her safety,
5, The plaintiff believes and therefore avers that shc is in immcdiate and present
danger of abuse from the defendant and that she is in need of protection from such abuse,
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2, Ordering the defendant to refl'ain from ha,'ing any direct 01' indirect
contact with the plaintill' including, but not limited to, telephone and
written communications,
), Ordcring the dcfcndant to rcfrain from harassing and stalking the
plaintiff and from harassing hcr rclat ivcs.
4, Prohibiting the dcfcndant from cntcring the plaintiff's placc of
employment
5, Ordcring the dcfcndant to stay away from the plaintiff's rcsidcnce
locatcd at 207 South Hanovcr Street, ApI. 1, Carlisle, Cumbcrland County,
Pennsylvania, and any residence the plaintiff may in the future establish for
herself
B, Schedule a hearing in accordance with the provisions of the
"Protection from Abuse Act," and, after such hearing, enter an order to be
in effect for a period of one year:
I , Ordering the defendant to refrain from abusing the plaintiff or from
placing her in fear of abuse,
2, Ordering the defendant to reITain from having any direct or indirect
contact with the plaintifl' including, but not limited to, telephone and
written communications,
), Ordering the defendant to refrain from harassing and stalking the
plaintiff and from harassing her relatives,
4, Prohibiting the defendant from entering the plaintiff's place of
employment,
5, Prohibiting the defendant from damaging or destroying property
jointly owned by the parties or owned by the plaintiff,
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The defendant shall reimburse the plaintiff directly for her lost wages of $3 79, ()~ in the f(mn of a check
. or money order, made payable to the plaintiff, mailed to her mailing address, The total amount of lost
wages of $379,()5 shnll be reimbursed to the plaintill' within thirty (30) days of the entry of the
Ilrotection Order, in the form of a lump sum or payments of $94,76 to be made to the plllintifl' each
Friday, over a period of four (4) weeks,
In addition, the defendant shall reimburse the total cost of the plaintiff s medical bills incurred
as a result of the incident on or about March 30, 1998, which arc not covered by her medical insurance
by making payments directly to her or to the service providers (Carlisle Hospital, Russell A. Macaluso,
M,D" and any other service provider who may provide medical treatment to the plaintiff for injuries
she sustained as a result of this incident), The plaintiff shall provide the defendant with copies of any
and all medical bills to be reimbursed, and he shall pay the bills within 30 days of receipt of each bill,
An award under this chapter shall not constitute a bar to litigation tor civil damages tor injuries
sustained from the acts of abuse giving rise to the award or a finding of contempt under this chapter,
7, Court costs and fees are waived,
8, This Order shall remain in effect lor 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 harm to the plaintil[ This Order shall be enforceable in the
same manner as the Court's prior Temporary Protection Order entered in this case,
9, A violation of this Order may subject the defendant to: i) arrest under 23 Pa,C,S,
~6113; ii) a private criminal complaint under 23 Pa,C.S, ~6113, I; iii) a charge of indirect criminal
contempt under 23 Pa,C.S, ~6114, punishable by imprisonment up to six months and a fine ofS I 00,00-
$1,000,00; and iv) civil contempt under 23 Paes ~6114.1,
. ...~ "....
MELISSA MAE NICKLE,
11laintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
v,
NO. 98-2120 CIVIL TERM
ALBERT RAY WILSON, JR,
Dofendant
PROTECTION FROM ABUSE
CONSENT AGREEM ENT
This Agreement is entered on this J;Z1tay of April, 1998, by the plaintil1: Melissa Mae
Nickle, and the defendant, Albert Ray Wilson, Jr The plaintil1' is represented by Joan Carey of
LEGAL SERVICES, INC'.; the defendant is unrepresented but is aware of his right to have an
lIlIorney, The parties agree that tlk following may be entered as an Order of Cour\.
I, The defendant, Albert Ray Wilson, Jr, agrees to refrain from abusing the plllintitT,
Melissa Mae Nickle, 01' from placing her in fear of abuse,
2, The defendant agrees not to have any direct 01' indirect contact with the plaintiff
including, but not limited to, telephone and wrillen communications.
3. The defendant agrees not to harass and stalk the plaintiff and not to harass the
plaintiff's relatives,
4, The defendant agrees not to enter the plaintiff's place of employment,
5, The defendant agrees to stay away from the plaintifl's residence located at 207
South Hanover Street, Apt, I, Carlisle, Cumberland County, Pennsylvania, and any residence the
plaintiff may in the future establish for herself.
6, The defendant agrees to reimburse the plaintiff's out-of:pocket losses suffered as a
result of the incident which occured on 01' about March 30, 1998, including, but not limited to, the
losses listed on the attached sheet markcd Exhibit ^ The defendant agrees to commence
payment of losses to the plaintiff within five (5) days of the entry of the protection Order in the
above-captioned matter The defendant agrees to reimburse the plaintiff directly for her lost
wages of $379,05 inlhe form of a check 01' money order, made payable to the plaintiff, mailed to
her mailing address The defendant agrees to reimburse the plainlin' the total amount of her lost
wages within thirty (30) days of the entry of the Protection Order, in the form of II lump sum or in
payments 01'$94.76 mailed to the plainlilTeach Friday, over II period of four (4) weeks,
In addition, the defendant agrees to reimburse any IInd all medical expenses related to
injuries the plaintiff sustained as a result of the incident which occured on or about March 30,
1998, which are not reimbursed by her medical insurance coverage and/or related costs incurred
prior to the effective date of her medical insurance coveruge, The defendant agrees to make
payments directly to the plaintiff and/or to the service providers (Carlisle Hospital, R WC
Corporation, Carlisle Imaging, CVS Pharmacy, Russell A. Macaluso, M,O, and any other service
provider who may provide medical treatment to the plaintiff for injuries she sustained llS a result
of this ineident), The plaintill' will provide the defendant with copies of medical bills to be
reimbursed, and he agrees to pay the bills within thirty (30) days of the receipt of each bill,
7, The defendant, although entering into this Agreement, does not IIdmit the
allegations made in the Petition,
8, The defendant understands that the Protection Order entered in this matter will be
in effect for a period of one (1) year and can be extended beyond that time if the Court finds that
the defendant has com milled an act of abuse or has engaged m a pattern or practice that indicates
risk of harm to the plaintiff, The defendant understands that this Order will be enforceable in the
same manner as the Court's prior Temporary Protecti(m Order entered in this case,
9, Violation of the Protection Order may subject the defendant to: i) arrest under 23
PaC,S, ~6lI3; H) a private criminal complaint under 23 Pa,C,S, ~6113.1; Hi) a charge ofindirect
criminal contempt under 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, *6114.1.
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~wc EftERSENCY PHYSICIANS
13 BROOkMOQO AVE SUITE J
CARLISLE, PA 17013
717/249-9432
F.d.r.1 10 I 23-22~9396
Itl.ll.d 81.1'.Inl
10/01/91 - .12/31'"
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Prlnt.d. 04/22/9' 2.45'H
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Oob, 06/24166
0008092-0001 SP SS AeellDI 100374
NICkLE. HELISSA ft. SSN I 178.'4-4227
207 S HANOVER STREET
APTl
CRRLISLE. PA 17013
7171236-3662
NrCkLE, HELISSR H.
207 S HRNOVER STREET
APT 1
CARLI SLE, PR
717/2~Ni62
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Code Dmrlptlon
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03/3/190
HICr.LE. "ELISSR ",
99203C CONVENIENT CARE
1.00 3~.00
~MO EHLY
CC
Curr.nl 8.1.nCII rotall Fro. 10/01/97 Thru 12/31/99
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2494746
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CARLISLE IMAGING ASSO
PO Box 100
CerliBle
P.I\ 17013 0100
I ACCOUNT IAMOUNT DUElcLOSE DATE/PAGE
-~-----__N______----___________w____
444640-7 I 24.00 I 04/21/98 I 01
~~----~--'----------------~--------"--
Melissa M Nickle
TO: 207 S Hanover Street
Carlisle,PA 17013
03/31/98 rjc Melissa 71020
--------------------~~----------~_.._--------~~-----------------~~----~-------
DATE fDR.l PATIENT ri?ii.OC CDE I
DESCRIPTION
DIAG I AMOUNT
Chest, 2 View Front & Later 786.50
24.00
.
Posl." hi branCl fa~ transmittal memo 7
~M_~-~"_----~---________~_W____M~_~___~__________~___________~.._~____________
PAY THIS AMOUNT --) I
24.00
4044640-7
ACCOUNT NOlcURRENT I 31-60 r 61-90
.----------------------------------------------------------
0,001
91-1201 OVeR 120
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COMMONWEALTH OF PENNSVL~ANIA
oouNrt OF CUMBERLAND
, I'
Mog, 0101 No,
SUMMONS
CRIMINAL COMPLAINT AND
PROBABLE CAUSE AFFIDAVIT
OOMMONWEAL TH OF
PENNSYLVANIA
VS.
OJ HIm.: tiM,
09201
PAULA P CORREAL
1 COURTHOUSE SQ
CARLISLE PA 17013
717 240 6565
DEPENDANT'
-"
r_,
NAME 1M AOOnl.iSS
GEORGE RAY WILSON
ALB~RT RAY WILSON JR
234 MULBERRY AVE
CARLISLE PA 17013 0000 00
AKAI
Dooi<et No.:
OeteFlled: (I\-~ 9'g
DTN:
*'
Rtglttr'lklnN\lmber
I _...., Num",
L
R.8.A.: WM 30
ORI NO.: PA0210200
AnnulI Stlclc,r Number
OLN Number
SID Number
I
L
Compllllnl Number. II olh" P'rlk:!~nl.
1
I 19980900267 CAR
Ineldenl Number
D.O.B.: 09 09 1967
8.8.#: 198
I
UCR Number
3642
56 8559
I
~
DI..rlct Attorn.y'. OfficI _ Approved -Ol'approved becauII:
(The Dlst~ot Attorney may require that Ihe complaint, arrest warrant affidavit, or both be approved bl' the attorney for the Commonwealth prior to IllIng,
Pa.A.Cr.P,107.) Whan the affiant Is not a police offloer as dellned In Aule 51(C) and the ollonse(s) chargod Includo(s) a misdemeanor or felony which
dosl not Involve a olear Ind prssent danger to any parson or the community. the complaint shall be submitted to ths a<<ollley for the Commonweslth, who
shsllepprove or disapprove without unreasonable delay).
(tUueOI")
(Slonllur.)
I (Nomoo"""nl) PO MA'M'HEW J KENNEDY BADGE 27
of CARLISLE PD
residing at 53 WEST SOUTH ST CARLISLE PA 17013
do hereby atate: (check appropriate erea)
1. ...x. I accuse the above named defendant. who lives allhe address selforth above or.
-- I accuse an Individual whose name Is unknown to me but who Is described as
- I accuse the defendant whose nama and popular designation or nickname Is unknown to me and whom I
have therefore deSignated as John Doe
with ~lgl~n~H~f'WPl ~~Hr.,Commonwealth of Pennsylvania at: CARLISLE
{PIaCe<polilicalsubdlvlllonb
in (County) CUMBERLANO on Dr about 09 06 1998 0 04 HRS
Participants were: (II there were pMlclpanls place their names here. repealing name of above delendant)
2. The actl committed by the accused were:
(Set forth a lummary of the laot. sufflclsnt to advlss the delendant 01 the nalure 01 the ollen.e charged. Nellher ths evldenoe nor the st.tute
ellage<llv violated need be cited. nor shall. ollallon of the statute allegedly violated, by IIsell, bs sufflclenl. In a eummary oase, set lo~h a
cllstlon of the speclllo seollon and sub-section of the statute or ordinance alleyedly violated).
** INDIRECT CRIMINAL CONTEMPT - CSA1990 CTS 1
THE ACTOR DID VIOLATE THE PROTECTION FROM ABUSE ORDER
NUMBER 98-2120
THE ORDER WAS SIGNED BY THE HONORABLE EDWARD E. GUIDO
THE ORDER WAS DATED 04/28/98
Copy, OI."lcl Justice
Doltmdanl
Rolurn of Service
Police
4197Wp
'.
CARLISLE PD
PROBABLE CAUSE AFFIDAVIT
INCIOENT NUMBER: 19380900267 CAR
CHARGE (S) :
23 6113
DA~E: 09/06/1998 OTN:
PG 1
#CTS
1
A
INDIRECT CRIMINAL CONTEMPT - CSA1990
COMMONWEALTH VS ALBERT
INFORMATION:
RAY
WILSON
JR
ON 9/06/98 AT 0004 liRS, I RESPONDED TO A FIGHT CALL OUT IN FRONT
OF THE MOOSE LODGE ON E HIGH ST. WHEN I ARRIVED, I FOUND THE
FIGHT NOT ACTIVE AND BARRY CLARK STANDING BY HIMSELF. CLARK SAID
THAT ALBERT WILSON JR. ( AKA. GEORGE WILSON) HIT HIM IN THE HEAD
WITH A BO'I'rLE.
CLARK STATED THAT HE WAg GETTING OUT OF HIS TRUCK TO PICK UP HIS
GIRLFRIEND, MELISSA NICKLE, AFTER SHE GOT OFF WORK. AS HE WAS
OETTING OUT HE LOOKED BACK OVER HIS SHOULDER AND SAW WILSON.
WILSON THEN HIT CLARK IN THE FACE WITH A BO'I"I'LE, KNOCKING CLARK
BACK INTO THE CAB OF HIS TRUCK. WILSON THEN FLED THE SCENE ON
FOOT.
.
I THEN SPOKE WITH NICKLE, WHO WORKS AT THE MOOSE 1,ODGE, SHE SAID
THAT SHE HAS A PROTECTION FROM ABUSE ORDER ACTIVE ON WII,SON.
NICKLE SAID THAT WILSON HAD CALLED HER EARLIER IN 'I~E DAY AND
THE ORDER STATES THAT HER HE IS NOT TO SHOW UP AT HER PLACE OF
EMPLOMENT.
CLARK STATED THAT WILSON PULLED UP TO HIM EARLIER IN THE AFTER-
NOON AND MADE THREATS IN REOUARDS TO NICKLE.
.
I VERIFIED THAT THE PFA IS STILL ACTIVE AND THAT WILSON IS NOT
PERMITTED TO BE AT NICKLE'S PLACE OF EMPLOYMENT, WHILE SHE IS
THERE. CHARGES ARE BEING FILED AGAINST WILSON.
I ASK THAT A WARRANT OF ARREST BE ISSUED AND THAT THE ACCUSED BE REQUIRED
TO ANSWER THE CHAROE(S) I HAVE MADE IN THE ABOVE AFFIDAVIT.
TO, OR AFFIRM, THE WI'fHIN AFFIDAVIT UPON MY KNOWLEDGE, INFORMATION
, AND ON I ON ::Jar' &, , 19Q~ ,
, WHOSE OFFICE IS THAT OF
~'~/
. ~-- ' ..~~~
SIGNA OF AFFyIlT
/I1"ff!Kt"; J 4--~,."t: D Y
PRINT /
1 COPY - BUREAU OF POLICE
2 COPIES - DISTRICT JUSTICE
~.'..' EAL,TH OF PENNSYLVANIA
" ~ PUMBEALANO
,,,_,i, ,j,., :~
e "
~Pl!t",' 09201 '
SUMMONS
CRIMINAL COMPLAINT AND
PROBABLE CAUSE AFFIDAVIT
COMMONWEALTH OF
PENNSYLVANIA
VS.
l>J_'Hon,
PAULA P CORREAL
1 COURTHOUSE SQ
CARLISI.E
717 240 6565
DIFeNDANT,
-,
r........'
PA 17013
NAME .nd ,AOOllll88
AKA,
ALBERT RAY WILSON JR
234 MULBERRY AVE
CARLISLE PA 17013 0000 00
GEORGE RAY WILSON
O:>c~et No.:
Osle Flied:
OTN:
".
A.8.A.:
WM 30
D.O.B.: 09 09 1967
8.8,#: 198
810 Number
L
UCA Numbtr
~642
56 8559
AtgIIt'IIIonNumbtt
~Num'"
I
Annu.1 ,911cll., Number
OLNNumber
I
Complain! Numbers it olher PlrHlllpln!.
L
Incld4lnl Numbtr
19980900267 CAR
ORI NO.: PA0210200
Dlltrlct Attorney'. OfficII _ Approv.d -Ol.approved becauII:
(The otllr1ct Attorney msy require that the complaint, arrest warrant affidavit. or both be approved by the attomey lor the Commonwsalth prior to filing.
Pa,A.Cr.P. 107.) When the affiant Is not a pollee offlcsr as dellned In Aule 51 (C) and the offense(s) oharged Inoluds(s) a mlsdemesnor or fslony which
does nollnvolve a claar and present danger to any person or the community, the complaint shall be submitted to the attorney for the Commonwealth, who
lhelllpprove or disapprove without unreasonable delay).
IIUutlD.I.)
(SIQrlftlUr')
1,IN,mo"AH."') PO MATTHEW J KENNEDY BADGE 27
of CARLISLE PD
residing at 53 WEST SOUTH ST CARLISLE PA 17013
do hereby state: (check appropriate area)
1. -!. I accuse the above named defendant, who lives at the address sat 'onh above or,
_ I accuse an Individual whose name Is unknown to me bu. who Is described as
_ I accuse the defendant whose name and popular designation or nickname is unknown to me and whom I
have therefore designated as John Doe
CARLISLE
with ~lgl~n9l1~-wPIIAwA.nf the..Commonwealth of Pennsylvania at:
CPaRL~SL)!; (Plac..polllic" Subdlvl.lonl
In (County) CUMBERLAND on or about 09 06 1998 0004 HRS
Participants were: (If there were participants place their namss hsre. repaatlng name 01 above defendant)
2. The act. commItted by the acculld were:
(Sat forth a summsry of the facts sufficient to advise tho delandant 01 ths nature of the offense charged. Neither the ovldence nor the ltatute
allegedly violated need be cited. nor shall a citation of the statute allegedly violated, by Ilself, be sufficient. In a summary cue. sat forth a
citation of the specific section snd sub.sectlon of the statute or ordinance allegsdly violated).
.. INDIRECT CRIMINAL CONTEMPT - CSA1990 CTS 1
THE ACTOR DID VIOLATE ~~E PROTECTION FROM ABUSE ORDER
NUMBER 98-2120
THE ORDER WAS SIGNED BY THE HONORABLE EDWARD E. GUIDO
THE ORDER WAS DAT~D 04/28/98
Copy, Dlstr~1 JuSl1ce
Delandenl
AeMn 01 Service
Pol~.
~1lI7wp
c"~,-,,
"' . ;,.k,."
!
\'0".";/.,,..
INCIDENT NUMBERl
CHARGE (S) 1
23 6113
CAlUJISLE PD
PROBABLE CAUSE AFFIDAVIT
19980900267 CAR
DATE: 09/06/1998
OTN:
PO 1
#CTS
1
A
INDIRECT CRIMINAL CONTEMPT - CSA1990
COMMONWEALTH VS ALBERT
INFORMATIONl
RAY
W:J:LSON
JR
ON 9/06/98 AT 0004 HRS, I RESPONDED TO A FIGHT CALL OUT IN FRONT
OF THE MOOSE LODGE ON E HIGH S'l'. WHEN I ARRIVED, I FOUND THE
FIGHT NOT ACTIVE AND BARRY CLARK STANDING BY HIMSELF. CLARK SAID
THAT ALBERT WILSON JR. ( AKA. GEORGE WILSON) HIT HIM IN THE HEAD
WITH A BOTTLE.
.
CLARK STATED THAT HE WAS GETTING OUT OF HIS TRUCK TO PICK UP HIS
GIRLFRIEND, MELISSA NICKLE, AFTER SHE GOT OFF WORK. AS HE WAS
GETTING OUT HE LOOKED BACK OVER HIS SHOULDER AND SAW WILSON.
WILSON THEN HIT CLARK IN THE FACE WITH A BOTTLE, KNOCKING CLARK
BACK INTO THE CAB OF HIS TRUCK. WILSON THEN FLED THE SCENE ON
FOOT.
.
I THEN SPOKE WITH NICKLE, WHO WORKS AT THE MOOSE LODGE, SHE SAID
THAT SHE HAS A PROTECTION FROM ABUSE ORDER ACTI\~ ON WILSON.
NICKLE SAID THAT WILSON HAD CAroLED HER EARIJIER IN THE DAY AND
THE ORDER STATES THAT HER HE IS NOT TO SHOW UP AT HER PLACE OF
EMPLOMENT.
CLARK STATED THAT WILSON PULLED UP TO HIM EARLIER IN THE AFTER-
NOON AND MADE THREATS IN REGUARDS TO NICKLE.
.
I VERIFIED THAT THE PFA IS STILL AC'l'IVE AND THAT WILSON IS NOT
PERMITTED TO BE AT NICKLE I S PLACE OF EMPLOYMENT, WHILE SHE IS
THERE. CHARGES ARE BEING FILED AGAINST WILSON.
'I ASK THAT; A WARRANT OF ARREST BE ISSUED AND THAT THE ACCUSED BE REQUIRED
TO ANS~~'THE C~GE(S) I HAVE MADE IN THE ABOVE AFFIDAVIT.
~~ .- "
.,' TO, OR Jl,FFIRM, THE WITHIN AFFJDAVIT UPON MY KNOWLEDGE, INFORMATION
B~IE " AND ION I ON . .sf f7'" ft' , 19 ~ ,
B FORBI ". \ .', 1 WHOSE OFFICE IS THAT OF
~~~A
lI/"lrlN'tv J KE'NN'f,j;) Y
PRINT I
1 COPY - BUREAU OF POLICE
2 COPIES - DISTRICT JUSTICE
,~
, .
MMONWEALTH OF PENNSYLVANIA
I9TY OF: CUMBERLAND
....fI. 01,1. No.:
NOTICE OF
PRELIMINARY HEARING
OOMMONWEAL TH OF
PENNSYLVANIA
09-2-01
OJ NIlmt; Hon
PAULA P. CORREAL
Add,... EAST WING - COURTHOUSE
1 COURTHOUSE SgUARE
CARLISLE, PA
''''phon. (717) 240-6564 17013-0000
VS.
DE. F~ZD~T:
rl ,/,
C .l:t.,-/-,
)NAME .net AOOHeoo '
1/ 0-. (j)&~._-,
()
L
~~A~<.~(
DooketNo,: ~
Date Filed:/' /
/) . (1- 0 (/ f
( ,,-1-;'. .~J- ",
,-..{/\,,--lt~.-;-
(Charge)
/'()
C/\
(Charga)
NOTICE TO DEFENDANT
A complaint has been lIIed oharglng you with the offense(s) set forth above and on the attached oopy 01 the
oomplalnt. A preliminary hearing on these oharges has been soheduled lor: ,., ,
Ii .
/ PI -- ii r.). '(i.\ . -
Oate: 1/ aoe:\1,......'6(.' . /'C,,4.Av
Time: , S ' f-. (.~(~",.( I/:~~y_ --;' I S/'
. - t::) f'
II you lail to appear lit the time and plaoe above, a warrant will be Issued lor your arrest.
At the preliminary hearing you may:
1, Be represented by oounsel:
2. Cross-examine whnesses and Inspeot physlo,,1 evldenoe offered against you;
3, Call whnesses on your behall other than whnesses to testify to your good reputation only,
oller evidence on your behail and testify;
4. Make written notes 01 the prooeedlng, Dr have your counsel do so. or make a stenographlo,
meohanloal Dr eleotronlo reoord 01 the prooeedlngs,
If you cannot Ifford to hire In Ittorney, one mlY be eppolnted to repr..ent you. Pi.... contlct the
office of the dlltrlot JUltlcl for Iddltlonlllnformltlon reglrdlng the appointment of In Ittorney.
If you Ire dlllbled Ind require 1..lltlnee, pi.... contlet the Mlglet"'11 Olltrlct office at tl1tl
Iddrl.. Ibove.
II you have any questions, please call the above office Immediately. ,,'
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& / ~ Oate ( ___)/ (trtA.j(''---' "'<.,) ,,,.r: ,.r/A.-.' Dlstrlot Justloe
My commission expires lir~CliiY of January. 2000. SEAL
AOPC 829-94
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I' .OTN' OJ No:
CC No: OJ Docket No:
Commonwealth vs. (Deflmdant Name and Address)
Albert Wilson JI',
234 Eut MU.lbeI'I'y AVClntlO
Oaolhle, PonnHylvnnl(! 1,!vlJ
Daia of Charge(s):
f ...~-q f/
I Jo.mu 0, OOlltopou1oB
~"J.V,UUU,IJV ..
NEXT COURT ACTION f) Da~ Time! LociMIon . A
Cj'~/.o)-H (,!>or,.,. *"4 ~ _
,~.~-tlS ,
q-/l)-q~ 3;~M' T;r~I-t.
, the underllgned lurely, have po~ted lecurlly In the amount
TYPES OF SECURITY
o Ca~Equlvale",
o -..:..,% Cash ..
Q.Gov't Boarer Bonds
tfSurety Bond
o Realty wlln Commonwealth
o Realty Outside Commonwealth
" 'I have read this Information, and I acknowledge that I, my personal representatives, successors, heirs and assigns are
jo!/1jY rn~e~~aIlY bound with the defendant and any other sureties to pay to the Commonwealth of Pennsylvania the sum of
$ ~ v . , which Is the full amount of the monelary condition of release In the event the ball bond Is forfeited,
I understand that when a monetary condition of release Is Imposed, If the defendant appears at all times required by the
court and satisfies all the other conditions set forth In the ball bond, then upon full and final disposition of the case, this bond
shall be void. If the defendant falls to appear as required or to comply with the conditions of the ball bond, then this bond
shall remain In full force, and the full sum of the monetary condition of release may be forfeited, the defendant's release
may be revoked, and a warrant for the defendant's arrest may be Issued.
WARRANT OF ATTORNEY: RECOGNIZING THAT I AM WAIVING CERTAIN IMPORTANT RIGHTS,
INCLUDING THE RIGHT OF PREJUDGMENT NOTICE AND HEARING, 111 accordanc3 with the law, I do hereby
empower any aUorney of any court of record within the Commonwealth of Pennsylvania or elsewhere to appoar for me at any
tlma, and with Dr without declarations flied, and whether or not the defendant be In default, to confess judgment against me.
and In favor of the Commonwealth of Pennsylvania for use of the county, and lis assigns, during any term or session of a court
of record of the county for the full dmount of the monetary condition of release set forth on the first page of this ball bond, '
and cosls, I understand that any real estate which I have posted as security In this case may be levied upon to collect the
amount confessed, I waive and release any right of Inquisition on that real estate, voluntarily condemn It, and authorize the
Prothonotary, upon a Writ of Execution, to enter my VOluntary condemnation. I also agree that any real estate posted by me
In this case may be sold on a Writ of Execution. I hereby forever waive and release any and all errors which may arise In any
proceeding to confess judgment In this case, waive all rights of stay of execution, and waive all laws now In force or laws
passed In the future which exempt real or personal property from execution.
Since i\ copy of this ball bond and warrant of attorney Is being flied In the defendant's case, It shall not be necessary
to file the original as a warrant of aUorney, notwithstanding any law or rule of court to the contrary, '
I have read this Instrument carefully and know that It Is true and correct,
IS South Hunovof' Str.oet
Darlille, Pen.,8ylvaniu 17U13
(SI IUI' 01 SU"ly, ,lgMd In all ball,lluallons. .cept ADA)
(Addless 01 SUIGly, SUIIIIy Campi'n., or Otf.ndanll
Sworn (alllrmod) and subscrlbod before me
this day 01 ,19 .
~
~, I (SeAL)
~"oo,,~., ~
My commission expires first Monday of January,
, Refund of Cash ball (less ~n,' ball related fees Dr commissions allowed by law and reasonable costs, If any, of / /
administering the oash ball program) will bo made within 20 days after full and final disposition,
. Refund of all other types of ball will be made promptly after 20 days following full and final disposition (Ps.R.Cr,P.4015)
, Bring Cash Ball Receipt to Clerk of Courts or Issuing Authority.
AOPC 414A5.97
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