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HomeMy WebLinkAbout01-0586 FX ~~ ~J .,.~"' -, -, '.",.-";,'., "'",, , '--': MELODY ZEHRING, Plaintiff : IN THE COURT OF COMMON PLEAS OF vs. : CUMBERLAND COUNTY, PENNSYLVANIA : NO. 2001- Silo CIVIL TERM WILLIAM BRANDO STRINE, Defendant : PROTECTION FROM ABUSE AND CUSTODY NOTICE OF HEARING AND ORDER YOU HAVE BEEN SUED IN COURT. If you wish to defend against the claims set forth in the following papers, you must appear at the hearing scheduled herein. If you fail to do so, the case may proceed against you and a FINAL Order may be entered against you granting the relief requested in the Petition. In particular, you may be evicted from your residence and lose other important rights. A nEARING ON TillS MATTER IS SCHEDULED ON Jf~ 0 ~AT ? : 3~,M" IN COURTROOM NO..::3 OF THE C BERLAND COUNTY COUR OUSE, CARLISLE, PENNSYL VANIA, You MUST obey the Order that is attached until it is modified or terminated by the court after notice and hearing. If you disobey this Order, the police may arrest you. Violation of this Order may subject you to a charge of indirect criminal contempt which is punishable by a fine of up to $ I ,000.00 and/or up to six months in jail under23 Pa.C.S. ~6114. Violation may also subject you to prosecution and criminal penalties under the Pennsylvania Crimes Code. Under federal law, 18 U.S.C. ~2265, this Order is enforceable anywhere in the United States, tribal lands, U.S. Territories and the Commonwealth of Puerto Rico. If you travel outside of the state and intentionally violate this Order, you may be subjectto federal criminal proceedings under the Violence Against Women Act, 18 U.S.C. ~ 2261-2262. You should take this paper to your lawyer at once, You have the right to have a lawyer represent you at the hearing, The court will not, however, appoint a lawyer for you, If you do not have a lawyer or cannot afford one, go to or telephone the office set forth below to fmd out where you can get legal help, If you cannot find a lawyer, you may have to proceed without one, CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY AVENUE, CARLISLE, PENNSYL VANIA 17013 TELEPHONE NUMBER: (717)249-3166 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 of1990. 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. You must attend the scheduled conference or hearing. '" ~ . - .. '"~S"~TH ~"" .--",., -~. -0--1 -~ ~ -'f"_'V '-" '" - '"'~ ~ ,~,~ '., - .. .., '.+ - ,0(.-,-" "0'<_, _,_""-'r,,,_' -k1; -~.."~ . ""'~'~-'^'---ll-_-'-."- '>of f""" r ror' FiLED~I);FICE. ')~ "1 "~ ,.~..,'" ."\ LO-fRY In 1 r- (.i~~! ')! ~-"'- 1 \ 1 l \ ,I,.., _ "._."It__ l\.. 0\ Jf\N29 PM 2:t,2 CUM8EHLI\ND COUNT{ PENNSYLV,ANIA - ~. . ,!"om~~NI~'~!(I~~;~~ _ _ ,1$"""'"'f~~"'''~~lWi>V<~_ " _ _ "'1:- _ '-"M'1~t:~~ ,..~",,~...Jt,;:- ~'''''''-'''-' ,,,~ "" ~- '" ., .~~ " -'" .,-" ," " ." ",""","'~' ""J" Melody Anne Zehring, Plaintiff : IN THE COURT OF : COMMON PLEAS OF : CUMBERLAND COUNTY, : PENNSYLVANIA v. : No. William Brando Strine, Defendant : CIVIL ACTION - LAW : PROTECTION FROM ABUSE : AND CUSTODY TEMPORARY PROTECTION FROM ABUSE ORDER Defendant's Name is: William Brando Strine Defendant's Date of Birth is: December 8, 1961 Defendant's Social Security Number is: 179-58-5124 Name(s) of All protected persons, including Plaintiff and minor children: 1. Melody Anne Zehring AND NOW, 0 1Ci'lt~T of January, 2001 upon consideration of the attached Petition for pr=X~n from Abuse, the court hereby enters the following Temporary Order: Plaintiffs request for a temporary protection order is granted, 1. Defendant shall not abuse, harass, stalk or threaten any of the above persons in any place where they might be found. 2, Defendant shall be evicted and excluded from the residence at: 817 Highland Court Mechanicsburg, P A 17050 or any other permanent or temporary residence where Plaintiff or any other person protected under this Order may live. Plaintiff is granted exclusive possession of the residence. Defendant shall have no right or privilege to enter or be present on the premises of Plaintiff or any other person protected under this Order. ~ -;-_' "" ,,' ,it.. _.', 3, Except for such contact with the minor child/ren as may be permitted under paragraph 5 of this Order, Defendant is prohibited from having ANY CONTACT with Plaintiff, or any other person protected under this Order, at any location, including but not limited to any contact at Plaintiff's school, business, or place of employment. Defendant is specifically ordered to stay away from the following locations for the duration of this order. Plaintiff's place of employment located at PHEAA, 1200 North 7th Street, Harrisburg, Pennsylvania, 4, Except for such contact with the minor child/ren as may be permitted under paragraph 5 of this Order, Defendant shall not contact Plaintiff, or any other person protected under this Order, by telephone or by any other means, including through third persons. 5, Pending the outcome ofthe final hearing in this matter, Plaintiff is awarded ternporary custody of the following minor child/ren: I. Alexis Nicole Strine 2. Brandon William Strine Until the final hearing, all contact between Defendant and .the child/ren shall be limited to the following: Plaintiff shall have primary physical custody of the children, Plantiff and Defendant shall share legal custody of the children. Defendant shall have partial custody of the children every other weekend and at other times agreed upon by the parties. Phone calls to the children from Defendant would not be considered a violation of this Order, The local law enforcement agency in the jurisdiction where the child/ren are located shall ensure that the child/ren are placed in the care and control of the Plaintiff in accordance with the terms of this Order. 6, The following additional relief is granted: The Cumberland County Sheriff's Department shall attempt to make service at 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 Defendant by mail, This Order shall remain in effect until modified or terminated by the Court and can be extended beyond its original expiration date ifthe Court fmds that Defendant has committed an act of abuse or has engaged in a pattern or practice that indicates risk of harm to Plaintiff. Defendant is enjoined from damaging or destroying any property owned jointly by the parties or owned solely by Plaintiff, Defendant is to refrain from harassing Plaintiff's relatives, ,-.' ..,"~, -, ~ -'-,- , ~ .. , . '~ ~- ". 7, A certified copy of this Order shall be provided to the police department where Plaintiff resides and any other agency specified hereafter: Silver Springs Township Police Harrisburg City Police 8, The sheriff, police or other law enforcement agencies are directed to serve the Defendant with a copy of the Petition, any Order issued, and the Order for Hearing without prepayment of costs. The Petitioner will inform the designated authority of any addresses, other than the Defendant's residence, where Defendant can be served. The Prothonotary is directed to file this Petition and Order without prepaymentofcosm. 9. THIS ORDER APPLIES IMMEDIATELY TO DEFENDANT AND SHALL REMAIN IN EFFECT UNTIL JULY 29, 2002 OR UNTIL OTHERWISE MODIFIED OR TERMINATED BY THIS COURT AFTER NOTICE AND HEARING. NOTICE TO THE DEFENDANT Defendant is hereby notified that violation of this Order may result in arrest for indirect criminal contempt, which is punishable by a fine of up to $1,000.00 and/or up to six months in jaiL 23 Pa.C.S. ~61] 4. Consent of the Plaintiff to Defendant's return to the residence shall not invalidate this Order, which can only be changed or modified through the filing of appropriate court papers for that purpose. 23 Pa.C.S. ~6113. Defendant is further notified that violation of this Order may subject himJher to state charges and penalties under the Pennsylvania Crimes Code and to federal charges and penalties under the Violence Against Women Act, 18 U.S.C. ~ ~226]- 2262. NOTICE TO LAW ENFORCEMENT OFFICIALS This Order shall be enforced by the police who have jurisdiction over the plaintiffs residence OR any location where a violation of this order occurs OR where the defendant may be located. If defendant violates Paragraphs 1 through 5 of this Order, defendant shall be arrested on the charge ofIndirect Criminal Contempt. An arrest for violation of this Order may be made without warrant, based solely on probable cause, whether or not the violation is committed in the presence of law enforcernent. Subsequent to an arrest, the law enforcement officer shall seize all weapons used or threatened to be used during the violation of this Order OR during prior incidents of abuse. Weapons must forthwith be delivered to the Sheriffs office of the county which issued this Order, which office shall maintain possession of the weapons until further Order of this court, unless the weaporils are evidence of a crime, in which case, they shall remain with the law enforcement agency whose officer made the arrest. Ju ge ,J? L- ~" '-> ',"" - ~,.-'( ~': ' Distribution to: MidPenn Legal Services Faxed & Mailed to PSP ~ . ,-- -'0 . < ,~,_c ~~, " ~. PF AD Number: HD 1187859P Melody Anne Zehring, Plaintiff : IN THE COURT OF : COMMON PLEAS OF : CUMBERLAND COUNTY, : PENNSYLVANIA v. ; No. Dl- 5'6\p William Brando Strine, Defendant : CIVIL ACTION - LAW : PROTECTION FROM ABUSE : AND CUSTODY . PETITION FOR PROTECTION FROM ABUSE 1. Plaintiffs name is: Melody Anne Zehring 2. I, (the Plaintiff), am filing this Petition on behalf of: - myself 3. Name(s) of ALL person(s), including minor children, who seek protection from abuse. a, Melody Anne Zehring 4. Plaintiffs Address is : 817 Highland Court, Mechanicsburg, P A 17050 5. Defendant's Name is: William Brando Strine 6. Defendant is believed to live at the following address: 143 Huntley Drive, Harrisburg, PA 7. Defendant's Social Security Number is: 179-58-5124 8. Defendant's Date of Birth is: December 8, 1961 9. Defendant's Place of employment is: unemployed 10. Defendant is an adult. 11. The relationship between the Plaintiff and the Defendant is: Parents ofthe same children Ex-Spouse 12. The Plaintiff and the Defendant been involved in the following court actions: a, Divorce 13. Other details of the court action are: Plaintiff and Defendant were divorced in April 1998 in Dauphin County, 14. The defendant has been involved in a criminal court action, 15. The defendant is not currently on probation / parole 16. Plaintiff and Defendant are the parents of the following minor child/ren: a. Alexis Nicole Strine Age:11yrs 3mos Child's address is: 817 Highland Court , Mechanicsburg, P A 17050 b. Brandon William Strine Age:8yrs Child's address is: 817 Highland Court , Mechanicsburg, P A 17050 17. Plaintiff is seeking an Order of child custody as part of this petition. The following is a list of the children and where they have live for the past 5 years: a. Alexis Nicole Strine F or the past 5 years, this child has lived with: 4/00 to present- 817 Highland Court Plaintiff & Defendant Mechanicsburg P A 4/99 to 4/00- 611B Geneva Drive Plaintiff Mechanicsburg P A 4/97 to 4/996 Dartmouth Court Plaintiff & Dave Gephart York, PA ,,,, ~ -"- _J_ '--"-);,j 4/96 to 4/97 Cedar Village Plaintiff York, PA 4/93 to 4/96 5011 Lancaster St Plaintiff & Defendant Harrisburg P A Defendant moved out of the residence on January 23, 2001 b. Brandon William Strine For the past 5 years, this child has lived with: 4/00 to present- 817 Highland Court Plaintiff & Defendant Mechanicsburg P A 4/99 to 4/00- 611B Geneva Drive Plaintiff Mechanicsburg PA 4/97 to 4/996 Dartmouth Court Plaintiff & Dave Gephart York, PA 4/96 to 4/97 Cedar Village Plaintiff York, PA 4/93 to 4/96 5011 Lancaster St Plaintiff & Defendant Harrisburg P A Defendant moved out of the residence on January 23, 2001 18. The facts of the most recent incident of abuse are as follows: On or about January 23, 2000, Defendant threatened that he is capable of doing nasty things to Plaintiff exacerbating her fear because of his recents threats to hurt her and physical abuse of her, 19. Prior incidents of abuse that the Defendant has committed against Plaintiff or the minor child/ren, (including any threats, injuries, or incidents of stalking) are as follows: On or about January 22, 2001, Defendant called Plaintiff numerous times after she asked him to stop, When Plaintiff told Defendant she was going to calJl the police, Defendant threatened that if she did, he would hurt her, On or about January 20, 2001, Defendant approached Plaintifffrom behind and bit her on the ear causing pain, On or about the first week of January 2001, Defendant walked by Plaintiff, slapped her in the head, and left the residence causing Plaintiff to suffer a headache, From September 2000 to December 2000, on several occasions, Defendant screamed in Plaintiffs face, called her vile names, clenched his fists causing her to fear he was going to hit her, and threatened to hurt her, During the Summer of 2000, Defendant grabbed Plaintiff around her throat, -" -", ,-, ,-- ~" ~ - "-" ., --, {"'i.-w",c',". _~i, '-' ,,," --. ,oi<' .> choked her and knocked her down onto the bed. Defendant forcefully stuck his finger in Plaintiff's ear and threatened that if she messed with his freedom, he would hurt her, Plaintiff had pain and soreness about her throat and ear as a result of this incident. Defendant left the residence from mid July 2000 to mid August 2000. From April 2000 to July 2000, Defendant called Plaintiff vile names, blocked the doorways so she could not leave, hid her car keys, and hid the telephones from her, Since approximately 1989 through the present, Defendant abused Plaintiff in ways including the following: pulled her hair, slapped her in the face, kicked her in the stomach when she was about 8 weeks pregnant, and choked her, Defendant threatened to do to her what O,J, did to Nicole causing her to fear for her life, Several times, Defendant threatened Plaintiff that if Plaintiff left him, he would kill her and chop up her body so no one would find her. Defendant kicked and slapped the family puppy. 20. The police department(s) or law enforcement agencies that should be provided with a copy of the protection order are: Silver Springs Township Police Harrisburg City Police 21. There is an immediate and present danger of further abuse from the Defendant. 22. Plaintiff is asking the court to evict and exclude the Defendant from the following residence: 817 Highland Court Mechanicsburg, P A 17050 Rented By:Melody Zehring and William Strine 23. FOR THE REASONS SET FORTH ABOVE, I REQUEST THAT THE COURT ENTER A TEMPORARY ORDER, and AFTER HEARING, A FINAL ORDER THAT WOULD DO THE FOLLOWING: a. Restrain Defendant from abusing, threatening, harassing, or stalking Plaintiff and/or minor child/ren in any place where Plaintiff may be found. b. Evict/exclude Defendant from Plaintiff's residence and prohibit Defendant from attempting to enter any temporary or permanent residence of the Plaintiff. c. Award Plaintiff temporary custody of the minor child/ren and place the following restrictions on contact between Defendant and child/ren: Plaintiff has primary physical custody, Plaintiff and Defendant have shared legal custody, Defendant shall have partial custody of the children every other weekend and at other times agreed upon by the parties, Phone calls to the children by Defendant shall not be deemed a violation ofthe Order. . ........ .~. ".- '.'-.,,;,,' '_.'" _~_:J. ~_~~~. 'l--" ~'-""""'T~'''"~~H'~' "")'1' . .,L;.o.':.............."L..:.J..ot. ~.... I ! d. Prohibit Defendant from having any contact with Plaintiff and/or minor child/ren, either in person, by telephone, or in writing, personally or through third persons, including but not limited to any contact at Plaintiff's school, business, or place of employment, except as the court may find necessary with respect to partial custody and/or visitation with the minor child/ren, e. Order Defendant to pay the costs of this action, including filing and service fees. f. Order the following additional relief, not listed above: Defendant shall not harass Plaintiffs relatives. Defendant shall not damage or destroy any property owned jointly by the parties or solely by Plaintiff. Defendant shall pay $250.00 to one of MidPenn's funding sources as reimbursement for litigation in this case. g. Order the police or other law enforcement agency to serve the Defendant with a copy of this Petition, any Order issued, and the Order for Hearing. The petitioner will inform the designated authority of any addresses, other than the Defendant's residence, where Defendant can be served. Date: I jolt ft / I / Respectfully submitted, ~~ MID-PENN LEGAL SERVICES 8 Irvine Row Carlisle, P A 17013 Distribution to: MidPenn Legal Services Fax and Mail PSP VERIFICATION I verifY that I am the Petitioner as designated in the present action and that the facts and statements contained in the above Petition are true and correct to the best of my knowledge. I understand that any false statements are made subject to the penalties of 18 Pa.C.S. ~4904, relating to unsworn falsification to authorities. Dated: ~[ 0 I ~Q~~ Melody Zehring, I tiff , F!LED-~O~F!CE f':")c r:'L)(-'il- !~lJ,.:'OT('RY \. I , "".1,, I ,~,!., Ii). o I .Jf,1'J 29 MIll :/.7 CUM3lJilihD COU~ PENNSYLVAJ\)!A ' a I .~ ~ . j " 1 ~! :m , , , ~ I j I .~ i :11 (fI :;' ~ $ ,j I . I ~ P~lA{4 Le,t<! ~ILO ~ fj-fl N4 ~(JwJ 3,'33f1fYL-, ~tcl r-/I?aJ let!.f:f}- ;29-tij f:;M L '5, f~,;29 111 ~'d"c(C f? /,Pf-fJ/ ,_,_ L ~ ~""' , ~ ~" , I~ " ---",,"- ~ -~ .. 01/29/81' MON 15:33 FAX 7172406573 CUMB CO PROTHONOTARY 141001 ******$****$*************** *U MULTI TN REPORT u* ******$********$*********** TX/RX NO INCOMPLETE TX/RX TRANSACTION OK 2427 [ 01] 9p2405331 [ 03]9p2438026 [ 04]92490779 CENTRAL PROCESS LEGAL SERVICES PSP ERROR ~.' . I' I , OFFICE OF THE PROI'IiCNlTARY CUMBERLAND cctlN'lY OOUR'ItIOOSE ONE o:xJRTHOOSE SQUARE CARLISLE. PA. 17013-3387 (717) 240-6195 FAX (717) 240-6573 '1'0: LS c.~, PeoceS5. p~ STATE POLICE V I ATE LEe 0 PIE R !"AX N: 117-249-0779 FRCM: CURTIS R. LONG RE: PPA ORDERS MESSAGE : I ___L " ! ; , 10 -'IfI4I--. 00. OF PAGES (INCLUDING COVER SHEET) 'Ihis llESSOg< is illteuBi mly fix tre \.00 of t:te irrliv.iW:ll. cc Entity to ...tril:h :is :is.ilb. 'rl, crd I'fEI:{ antlln :infarIratim ttat :is ~. cmf:id=llt:iDl .:rn ~ fron dj':f'l.....rre urE:" "IT'li"'*'l.. Ja.r. rf t1-e x:re'er: of th:is" W is rot tie interlrl o;ci.p:imt, ~ are tel:8:7{ rotifiEd ltet Bfo/ dissEfl\iratil:n. cJ.i.stritubm ('JC uwin:;J cff. this CImnrw::al:jrn i!,; strictly {I'ctrlbil1:rl. If 'P.l \"a've ra:eLWl1 1h.1S . ..___ _,~ ..-.1-''''' 'c ;1YTT"A""li"tF'lv hi tela:h:re ad tel1Jrn Ite crigirel ~ lD l.6 ~ J~,.~..-__ , ~ ~,~ . SHERIFF'S RETURN - OUT OF COUNTY " . \ CASE NO: 2001-00586 P COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND ZEHRING MELODY VS STRINE WILLIAM BRANDO R. Thomas Kline , Sheriff or Deputy Sheriff who being duly sworn according to law, says, that he made a diligent search and and inquiry for the within named DEFENDANT , to wit: STRINE WILLIAM BRANDO but was unable to locate Him in his bailiwick. He therefore deputized the sheriff of DAUPHIN County, Pennsylvania, to serve the within PROTECTION FROM ABUSE On February 9th, 2001 , this office was in receipt of the attached return from DAUPHIN Sheriff's Costs: Docketing Out of County Surcharge Dep. Dauphin Co 18.00 9.00 10.00 30.50 .00 67.50 02/09/2001 ~~ R. Thomas Kline Sheriff of Cumberland County Sworn and subscribed to before me this j"J1t::- day of 1-.R,... "'] oWv/ A.D. q Q.~ ~ '"-J Prothonotafy .~'~ F'W,1o!; ~ - [ ~ ---~ ~~'"' ,. - "" '-, .r._ , , In The Court of Common Pleas of Cumberland County, Pennsylvania Melody Zehring. VS. William Branda Strine NO.01-586 Civil Now, 1/29/01 , 20 0 t) , I, SHERIFF OF CUMBERLAND COUNTY, P A, do hereby deputize the Sheriff of Dauphin County to execute this Writ, this deputation being made at the request and risk of the Plain.. tiff. j/A'/t.. . . r~-~(;~t! Sheriff of Cumberland County, P A Affidavit of Service Now , ,20_, at o'clock M. served the within upon at by handing to a copy ofthe original and made known to the contents thereof. So answers, Sheriff of County, PA Sworn and subscribed before me this _ day of 20 '- COSTS SERVICE MILEAGE ~ AFFIDA VIT $ $ ~" ~ . "- ~ 1...1, ~.' -- "~ j''''~-,- @flite of tlrt ~4triff \ . Mary Jane Snyder Real Estate Deputy William T. Tully Solicitor Ralph G. McAllister Chief Deputy Michael W. Rinehart Assistant Chief Deputy Dauphin County Harrisburg. Peunsylvania 17101 ph: (717) 255-2660 fax: (717) 255-2889 Jack Lotwick Sheriff Commonwealth of Pennsylvania ZEHRING MELODY vs County of Dauphin STRINE WILLIAM B PERSONAL SERVICE Sheriff's Return No, 0266-T - -2001 OTHER COUNTY NO, 2001-586 I, Jack Lotwick, Sheriff of the County of Dauphin, State of Pennsylvania, do hereby certify and return, that I made diligent search and inquiry for STRINE WILLIAM B PERSONAL SERVICE the DEFENDANT named in the within PFA, CUSTODY, NOTICE OF HEARING & ORDER and that I am unable to find him/her in the County of Dauphin, and therefore return same NOT FOUND, February 5, 2001 PER AUDREY MELLISH, MOTHER OF DEFENDANT STATES DEFENDANT DOES NOT LIVE AT 143 HUNTLEY DR" HBG, PA, HE JUST USES THE ADDRESS FOR HIS MAIL, MOTHER DOES NOT KNOW HIS WHEREABOUTS, RETURN NOT FOUND TO CUMBERLAND COUNTY PER PAULA TO MARTINA ON 02-05-01, "-,'"."';.' le(J~\ 1?ROTHONOTARY ?j~ Sworn and subscribed to before me this 5TH day of FEBRUARY, 2001 Sheriff of Dauphin County, Pa, By Deputy Sheriff Sheriff's Costs: $0.00 PD 00/00/0000 RCPT NO ,. .. ~ '"""' -...._i~\- , MELODY ZEHRING, Plaintiff : IN THE COURT OF COMMON PLEAS OF vs. : CUMBERLAND COUNTY, PENNSYLVANIA : NO. 2001- '5 P>b CNIL TERM : PROTECTION FROM ABUSE AND CUSTODY WILLIAM BRANDO STRINE, Defendant NOTICE OF HEARING AND ORDER YOU HAVE BEEN SUED IN COURT, rfyou wish to defend against the claims set forth in the following papers, you must appear at the hearing scheduled herein. rf you fail to do so, the case may proceed against you and a FINAL Order may be entered against you granting the relief requested in the Petition. In particular, you may be evicted from your residence and lose other important rights. . AHEARING ON TIDS MATTER IS SCHEDULED ON ~.&r. <0 ~AT 31 30. ~ .M., IN COURTROOM NO. 3 OF THE CUMBERLAND COUNTY COuRTHOUSE, CARLISLE, PENNSYLVANIA. You MUST obey the Order that is attached until it is modified or terminated by the court after notice and hearing. rfyou disobey this Order, the police may arrest you. Violation of this Order may subject you to a charge of indirect criminal contempt which is punishable by a fine of up to $1,000.00 and/or up to six months injail under 23 Pa.C.S. ~6114. Violation may also subject you to prosecution and criminal penalties under the Pennsylvania Crimes Code. Under federal law, 18 U.S.C. ~2265, this Order is enforceable anywhere in the United States, tribal lands, U.S. Territories and the Commonwealth of Puerto Rico. If you travel outside of the state and intentionally violate this Order, you may be subject to federal criminal proceedings under the Violence Against Women Act, 18 U.S.C. ~ 2261-2262. You should take this paper to your lawyer at once. You have the right to have a lawyer represent you at the hearing. The court will not, however, appoint a lawyer for you; If you do not have a lawyer or cannot afford one, go to or telephone the office set forth below to f'md out where you can get legal help. If you cannot f'md a lawyer, you may have to proceed without one, CUMBERLAND COUNTY BAR ASSOCIATION . 2 LIBERTY AVENUE, CARLISLE, PENNSYLVANIA 17013 TELEPHONE NUMBER: (717)249-3166 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 of1990. 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. You must attend the scheduled conference or hearing. ~~.,.L" " I... =- ~ I!l~'-' Melody Anne Zehring, Plaintiff : IN THE COURT OF : COMMON PLEAS OF : CUMBERLAND COUNTY, : PENNSYLVANIA v. : No. William Brando Strine, Defendant : CIVIL ACTION - LAW : 'PROTECTION FROM ABUSE : AND CUSTODY TEMPORARY PROTECTION FROM ABUSE ORDER Defendant's Name is: William Brando Strine Defendant's Date of Birth is: December 8,1961 Defendant's Social Security Number is: 179-58-5124 Name(s) of All protected persons, including Plaintiff and minor children: 1. Melody Anne Zehring AND NOW, on ~th Day of January, 2001 upon consideration of the attached Petition for Protection from Abuse, the court hereby enters the following Temporary Order: Plaintiff's request for a temporary protection order is granted, 1. Defendant shall not abuse, harass, stalk or threaten any of the above persons in any place where they might be found. 2, Defendant shall be evicted and excluded from the residence at: 817 Highland Court Mechanicsburg, P A 17050 or any other permanent or temporary residence where Plaintiff or any other person protected under this Order may live. Plaintiff is granted exclusive possession of the residence. Defendant shall have no right or privilege to enter or be present on the premises of Plaintiff or any other person protected under this Order. .'- ' .. , , .o~, 3, Except for such contact with the minor child/ren as may be permitted under paragraph 5 of this Order, Defendant is prohibited from having ANY CONTACT with Plaintiff, or any other person protected under this Order, at any location, including but not limited to any contact at Plaintiff's school, business, or place of employment. Defendant is specifically ordered to stay away from the following locations for the duration of this order. Plaintiff's place of employment located at PHEAA, 1200 North 7th Street, Harrisburg, Pennsylvania, 4, Except for such contact with the minor child/ren as may be permitted under paragraph 5 of this Order, Defendant shall not contact Plaintiff, or any other person protected under this Order, by telephone or by any other means, including through third persons. 5, Pending the outcome of the final hearing in this matter, Plaintiff is awarded temporary custody of the following minor child/ren: 1. Alexis Nicole Strine 2. Brandon William Strine Until the fina1 hearing, all contact between Defendant and the child/ren shall be limited to the following: Plaintiff shall have primary physical custody of the children, Plantiff and Defendant shall share legal custody of the children. Defendant shall have partial custody of the children every other weekend and at other times agreed upon by the parties. Phone calls to the children from Defendant would not be considered a violation of this Order, The local law enforcement agency in the jurisdiction where the child/ren are located shall ensure that the child/ren are placed in the care and control of the Plaintiff in accordance with the terms of this Order. 6, The following additional relief is granted: The Cumberland Connty Sheriff's Department shall attempt to make service at Plaintiff's request and without pre-payment offees, but service may be accomplished nnder 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 Defendant by mail. This Order shall remain in effect nntil modified or terminated by the Court and can be extended beyond its original expiration date if the Court finds that Defendant has committed an act of abuse or has engaged in a pattern or practice that indicates risk of harm to Plaintiff. Defendant is enjoined from damaging or destroying any property owned jointly by the parties or owned solely by Plaintiff, Defendant is to refrain from harassing Plaintiff's relatives, _,,,,,,,I 'i.. J." " 7. A certified copy of this Order shall be provided to the police department where Plaintiff resides and any other agency specified hereafter: Silver Springs Township Police Harrisburg City Police 8. The sheriff, police or other law enforcement agencies are directed to serve the Defendant with a copy of the Petition, any Order issued, and the Order for Hearing without prepayment of costs. The Petitioner will inform the designated authority of any addresses, other than the Defendant's residence, where Defendant can be served. The Prothonotary is directed to file this Petition and Order without prepayment of costs. 9. THIS ORDER APPLIES IMMEDIATELY TO DEFENDANT AND SHALL REMAIN IN EFFECT UNTIL JULY 29,2002 OR UNTIL OTHERWISE MODIFIED OR TERMINATED BY THIS COURT AFTER NOTICE AND HEARING. NOTICE TO THE DEFENDANT Defendant is hereby notified that violation of this Order may result in arrest for indirect criminal contempt, which is punishable by a fine of up to $1,000.00 and/or up to six months injail. 23 Pa.C.S. ~6114. Consent of the Plaintiff to Defendant's return to the residence shall not invalidate this Order, which can only be changed or modified through the filing of appropriate court papers for that purpose. 23 Pa.C.S. g6113. Defendant is further notified that violation of this Order may subject him/her to state charges and penalties under the Pennsylvania Crimes Code and to federal charges and penalties under the Violence Against Women Act, 18 V.S.C. gg2261- 2262. . NOTICE TO LAW ENFORCEMENT OFFICIALS This Order shall be enforced by the police who have jurisdiction over the plaintiff's residence OR any location where a violation of this order occurs OR where the defendant may be located. If defendant violates Paragraphs 1 through 5 of this Order, defendant shall be arrested on the charge of Indirect Criminal Contempt. An arrest for violation of this Order may be made without warrant, based solely on probable cause, whether or not the violation is committed in the presence oflaw enforcement. Subsequent to an arrest, the law enforcement officer shall seize all weapons used or threatened to be used during the violation of this Order OR during prior incidents of abuse. Weapons must forthwith be delivered to the Sheriff's office of the county which issued this Order, which office shall maintain possession of the weapons until further Order of this court, unless the weapon/s are evidence of a crime, in which case, they shall remain with the law enforcement agency whose officer made the arrest. copy FROM RECORD 1 RUE reof I here unto set my Milo tn.TestifllOIl., ..... .Y. w. ~..cou.' ..rt.. ..CarI..... _. '. I!J... 1 a. 'WHt~tf... .'. u2, JIal ~ ~. . g/~:1 ' ProltfOOtJlBt:r BY THE COURT: ~J ~f..~ j , JA/O\ \liUdge Date ~.~~< -~= ~~-",,, , ~ ~ : >. """"""""",-" Distribution to: MidPenn Legal Services Faxed & Mailed to PSP ~- ~~ . ''''~ ';t'll''''~''-,,):' PFAD Number: HD1187859P Melody Anne Zehring, Plaintiff : IN THE COURT OF : COMMON PLEAS OF : CUMBERLAND COUNTY, : PENNSYLVANIA v. : No. William Brando Strine, Defendant : CIVIL ACTION - LAW : PROTECTION FROM ABUSE : AND CUSTODY PETITION FOR PROTECTION FROM ABUSE 1. Plaintiff's name is: Melody Anne Zehring 2. I, (the Plaintiff), am filing this Petition on behalf of: - myself 3. Name(s) of ALL person(s), including minor children, who seek protection from abuse. a. Melody Anne Zehring 4. Plaintiff's Address is : 817 Highland Court, Mechanicsburg, P A 17050 5. Defendant's Name is: William Brando Strine 6. Defendant is believed to live at the following address: 143 Huntley Drive, Harrisburg, PA 7. Defendant's Social Security Number is: 179-58-5124 8. Defendant's Date of Birth is: December 8, 1961 ~_. - ^>"~" - ~ ~"~ ~~~ ---, 9. Defendant's Place of employment is: unemployed 10. Defendant is an adult. II. The relationship between the Plaintiff and the Defendant is: Parents ofthe same children Ex-Spouse 12. The Plaintiff and the Defendant been involved in the following court actions: a. Divorce 13. Other details of the court action are: Plaintiff and Defendant were divorced in April 1998 in Dauphin County. 14. The defendant has been involved in a criminal court action. 15. The defendant is not currently on probation / parole 16. Plaintiff and Defendant are the parents of the following minor child/ren: a. Alexis Nicole Strine Age:11yrs 3mos Child's address is: 817 Highland Court, Mechanicsburg, P A 17050 b. Brandon William Strine Age:8yrs Child's address is: 817 Highland Court , Mechanicsburg, P A 17050 17. Plaintiff is seeking an Order of child custody as part of this petition. The following is a list of the children and where they have live for the past 5 years: a. Alexis Nicole Strine For the past 5 years, this child has lived with: 4/00 to present- 817 Highland Court Plaintiff & Defendant Mechanicsburg P A 4/99 to 4/00- 611B Geneva Drive Plaintiff Mechanicsburg P A 4/97 to 4/996 Dartmouth Court Plaintiff & Dave Gephart York, PA *- L ." -""~ ..;.d.v_...........'" ~'- 4/96 to 4/97 Cedar Village Plaintiff York, PA 4/93 to 4/96 5011 Lancaster St Plaintiff & Defendant Harrisburg P A ' Defendant moved out of the residence on January 23, 2001 b. Brandon William Strine For the past 5 years, this child has lived with: 4/00 to present- 817 Highland Court Plaintiff & Defendant Mechanicsburg P A 4/99 to 4/00- 611B Geneva Drive Plaintiff Mechanicsburg P A 4/97 to 4/996 Dartmouth Court Plaintiff & Dave Gephart York, PA 4/96 to 4/97 Cedar Village Plaintiff York, PA 4/93 to 4/96 5011 Lancaster St Plaintiff & Defendant Harrisburg P A Defendant moved out of the residence on January 23, 2001 18. The facts of the most recent incident of abuse are as follows: On or about January 23, 2000, Defendant threatened that he is capable of doing nasty things to Plaintiff exacerbating her fear because of his tecents threats to hurt her and physical abuse of her. 19. Prior incidents of abuse that the Defendant has committed against Plaintiff or the minor child/ren, (including any threats, injuries, or incidents of stalking) are as follows: On or about January 22, 2001, Defendant called Plaintiff numerous times after she asked him to stop. When Plaintiff told Defendant she was going to call the police, Defendant threatened that if she did, he would hurt her. On or about January 20, 2001, Defendant approached Plaintifffrom behind and bit her on the ear causing pain. On or about the first week of January 2001, Defendant walked by Plaintiff, slapped her in the head, and left the residence causing Plaintiff to suffer a headache. From September 2000 to December 2000, on several occasions, Defendant screamed in Plaintiffs face, called her vile names, clenched his fists causing her to fear he was going to hit her, and threatened to hurt her. During the Summer of 2000, Defendant grabbed Plaintiff around her throat, ~ ~ . """-~ .......~" Co "~ ~....~.-~ choked her and knocked her down onto the bed. Defendant forcefully stuck his f'mger in Plaintiffs ear and threatened that if she messed with his freedom, he would hurt her. Plaintiff had pain and soreness about her throat and ear as a result ofthis incident. Defendant left the residence from mid July 2000 to mid August 2000. From April 2000 to July 2000, Defendant called Plaintiff vile names, blocked the doorways so she could not leave, hid her car keys, and hid the telephones from her. Since approximately 1989 through the present, Defendant abused Plaintiff in ways including the following: pulled her hair, slapped her in the face, kicked her in the stomach when she was about 8 weeks pregnant, and choked her. Defendant threatened to do to her what O.J. did to Nicole causing her to fear for her life. Several times, Defendant threatened Plaintiff that if Plaintiff left him, he would kill her and chop up her body so no one would f'md her. Defendant kicked and slapped the family puppy. 20. The police department(s) or law enforcement agencies that should be provided with a copy of the protection order are: Silver Springs Township Police Harrisburg City Police 21. There is an immediate and present danger of further abuse from the Defendant. 22. Plaintiff is asking the court to evict and exclude the Defendant from the following residence: ,,817 Highland Court , Mechanicsburg, P A 17050 Rented By:Melody Zehring and William Strine 23. FOR THE REASONS SET FORTH ABOVE, I REQUEST THAT THE COURT ENTER A TEMPORARY ORDER, and AFTER HEARING, A FINAL ORDER THAT WOULD DO THE FOLLOWING: a. Restrain Defendant from abusing, threatening, harassing, or stalking Plaintiff and/or minor child/ren in any place where Plaintiffmay be found. b. Evict/exclude Defendant from Plaintiff's residence and prohibit Defendant from attempting to enter any temporary or permanent residence of the Plaintiff. c. Award Plaintiff temporary custody of the minor child/ren and place the following restrictions on contact between Defendant and child/ren: Plaintiff has primary physical custody. Plaintiff and Defendant have shared legal custody. Defendant shall have partial custody of the children every other weekend and at other times agreed upon by the parties. Phone calls to the children by Defendant shall not be deemed a violation of the Order. """.1,.. - .c...J " .. .""~..-_""",,-.. d. Prohibit Defendant from having any contact with Plaintiff and/or minor child/ren, either in person, by telephone, or in writing, personally or through third persons, 'including but not limited to any contact at Plaintiff's school, business, or place of employment, except as the court may find necessary with respect to partial custody and/or visitation with the minor childlren. e. Order Defendant to pay the costs of this action, including filing and service fees. f. Order the following additional relief, not listed above: Defendant shall not harass Plaintiff's relatives. Defendant shall not damage or destroy any property owned jointly by the parties or solely by Plaintiff. Defendant shall pay $250.00 to one of MidPenn's funding sources as reimbursement for litigation in this case. g. Order the police or other law enforcement agency to serve the Defendant with a copy of this Petition, any Order issued, and the Order for Hearing. The petitioner will inform the designated authority of any addresses, other than the Defendant's residence, where Defendant can be served. Date: I j<>?1/a / ! / Respectfully submitted, ~~ MID-PENN LEGAL SERVICES 8 Irvine Row Carlisle, PA 17013 Distribution to: MidPeun Legal Services Fax and Mail PSP -4;,- ~.i~ J ~ " "' ~'~~.~ ~ "'l''''';'~' VERIFICATION I verify that I am the Petitioner as designated in the present action and that the facts and statements contained in the above Petition are true and correct to the best of my knowledge. I understand that any false statements are made subject to the penalties of18 Pa.C.S. g4904, relating to unsworn falsification to authorities. Dated: ~( 0 I ~z~~~~ . @IE) lririJ "- ~ ~ IJIii1j ~ {- .I~ .. ",!JI!f ,~----- - I', .,,; I,.' OFfiCE Of r~E S CUMBLRi,\"C co~f~~V JnH 29 3 03 PH '01 !'J-' 1';' . v ,,\rl[. j), r PENNSYLVANIA " -. .' -" , "" ~, ~- '" "~- c_ -,'"' ,~=,---~~. ~~., ,""~, "-.--M'."ll " t3'JV {rvti :=1 :.~ ;~'"'l , ,-"i .~q~~'~~rl1lr .= _ ,__ .~~,~~..,.m,,_ ~_"~_~~'_"Il'~~;mffl!roWl~'!I-'"111Wj!,l!!:Ili''i~~~~'~!~'!!HI~~r~!_ ,8", ._,~ >'-',.."......,"'"-"';:i "' , ,^'n' -.' ~,J,,,,,,,L .,"""'"" . '"' ,,~ '< ~; [Till f'; \ 1 MELODY ZEHRING, Plaintiff : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYL VANIA vs. : NO. 2001-586 CIVIL TERM WILLIAM BRANDO STRINE, Defendant : PROTECTION FROM ABUSE AND CUSTODY ORDEl FOR CONTINUANCE AND NOW, this~ day of February, 200, upon consideration of the attached Motion for Continuance, the matter scheduled for hearing on February 6, 2001, by this Court's Order ofJanuary 29,2001, is hereby continued generally. This Order is entered without prejudice to either party to request a hearing. The Temporary Protection Prom Abuse Order shall remain in effect for a period of eighteen months from the date it was entered or until further Order of Court, whichever comes first. By the Court, Joan Carey LEGAL SERVICES, INC. Attorney for Plaintiff William Strine Pro Se Defendant . ,- " _"_,~ "^",~-,,,~"-~,.'h'" '" ,",'~+ _,_,' C;'l~ ,'t""" \'.' aIr L;) f- ,,1\' l Q ,c_,_, il" -\... I'll! ,,'" n(;'J''1'N cUt,;\\);:\\,-,~~;L\)J}-;';;'~ ' ' PEN;'l:) 11.: ,,,lilt', ,XUII). ..D-,_~,,_ ~liilF.lii'~~~~!!mJlI'~ _'!iiI'-'~~~-"""",,,__lfl1~'~~'l-,,"'G(iWj""""""W'i'-;'~"'"'-l'"''-'', ," -. ~,- ~"- IDlOOIT ~ "'i'"'ijWi~iP~r1"!Wlk-j;lffii-\'1'10H1il'1jjf~'lfi'\7"'!j,;"''''''';-::iij",''f~'t!,\,~""$~"""'$ ""-~. - -" - .,;,,~, -,~ :" , . MELODY ZEHRING, Plaintiff : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYL VANIA vs. : NO. 2001-586 CIVIL TERM WILLIAM BRANDO STRINE, Defendant : PROTECTION FROM ABUSE AND CUSTODY MOTION FOR CONTINUANCE The Plaintiff, Melody Zehring, by and through her attorney, Joan Carey of Mid Penn Legal Services, Inc., moves the Court for an Order continuing generally the hearing in the above-captioned case on the grounds that: 1. A Temporary Protection From Abuse Order was issued by this Court on January 29, 2001, scheduling a hearing for February 6,2001, at 3:30 p.m. 2. The Cumberland County Sheriff's Department deputized the Dauphin County Sheriff to serve Defendant with a certified copy of the Temporary Protection From Abuse Order and Petition for Protection From Abuse. The Dauphin County Sheriff has been unable to effect service on Defendant. 3. The Plaintiff requests that the Temporary Protection From Abuse Order remain in effect for a period of eighteen months from the date it was entered or until further Order of Court, whichever comes first. .,1,. , .......=k_~. , . , " ,__:h.~. ~"."' 1 '-r.~j;f~{' WHEREFORE, the Plaintiff requests that the Court grant this Motion and continue this matter generally, and that the Temporary Protection From Abuse Orderremain in effect for a period of eighteen months from the date it was entered or until further Order of Court, whichever comes first. o Carey, Attorney for MIDPENN LEGAL S 8 Irvine Row Carlisle, PA 17013 (717) 243-9400 ~~" "''',,1_ - .. ""~W"J''''. ..... '-' Melody Zehring, : IN THE COURT OF COMMON PLEAS OF Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA vs. : NO. 01-586 CIVIL TERM William Brando Strine, Defendant : PROTECTION FROM ABUSE AND CUSTODY WDER TO VACATE AND NOW, thi~~ day of February, 2001, upon Plaintiff's Petition to Vacate Order and Withdraw Action: 1. This matter is dismissed without prejudice. 2. Costs of this proceeding are waived. 3. The Temporary Protection From Abuse and Custody Order entered on January 29,2001, is hereby vacated. By the Court, nt Judge Distribution to: Joan Carey, Attorney for Plaintiff MidPenn Legal Services L!ap;'IO ' Q;)-/()-O I R}<S iMJ~, ~ 10 CP~LS- OJ),,-/2-() J ~>> William Strine Pro Se Defendant ,'- rlii\, III ~ PSP "-' I ~'- ~ ,.. . "-,, '.' ~" '"'".n-oJ',- ~ '--"L.Y ."" ~'. OTT -'JI:iiif!]-' ',j'-:t ft -:D--(;;)I~~~'~Yfl~F{y ~ /,",,-,' \...;~. !,"-. 0\ FER 1 2 hi i: S ,,,,,,,,,,,\,,,\,.1 C1 it\t":-~~-I':""'; !.,:-i[ ; G, \j'U'i 1 JVi\i\Uc- ,"--' J.,.... , FENNSYLV/\N\/\ . 111 ,~ ~,"^,~)l!li~~~~_ffiMi~I~~,'iW''U,;I~ "~, lJWJ71~-!:m~!tR\g,"~.~'<"",~~'f'I' "'I~'~:"'''~i''''''''':1\1''1R'lwc'';,1'fmr,g"r~f~h~W,~~lsnl'i#''''J'~',~'-':';a*~~~ ~~d'" ,. ~~, ., .-'I -'-~' ,-, .-, Melody Anne Zehring, Plaintiff : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA vs. : NO. 2001-586 CIVIL TERM William Brando Strine, Defendant : PROTECTION FROM ABUSE AND CUSTODY PETITION TO VACATE ORDER AND WlTHDRA W ACTION The Plaintiff, Melody Zehring, by and through her attorney, Joan Carey of MidPenn Legal Services, requests that the Court vacate the Temporary Protection From Abuse and Custody Order in the above-captioned case on the grounds that: 1. A Temporary Protection Order was issued by this Court on January 29,2001, scheduling a hearing for February 6, 2001, at 3:30 p.m. 2. To the best of plaintiff's knowledge, that the defendant has relocated to Texas; therefore, she does not wish to pursue a Protection From Abuse Order at this time. 3. At this time Plaintiff requests that the Temporary Order entered on January 29, 2001, be vaca1i,d and the matter be withdrawn without prejudice. WHEREFORE, Plaintiff requests that the Court grant the relief requested, vacate the Temporary Protection From Abuse and Custody Order, and withdraw the matter without prejudice. ~ Carey, Attorney tI MIDPENN LEGAL S 8 Irvine Row Carlisle, PA 17013 """"'+, ~. .~ " t. ," 0'-' '.A ., -< ik YERIFICA TION I verifY that I am the Petitioner as designated in the present action and that the facts and statements contained in the above Petition are true and correct to the best of my knowledge. I understand that any false statements are made subject to the penalties of18 Pa.C.S. ~4904, relating to unsworn falsification to authorities. Dated: ~/qIDI r '-flU~~ ~~;4t1f- Melody Zehring lain -~.,b- "- ~ L' alllill:lrr,...;~ 02/12/01 MON 15;21 FAX 717 240 6573 ClIMB Co PROTHONOTARY' . ~001 *************************** u* MULTI TN REPORT u* ********************~****** TXlRX NO INCOMPLETE TX/RX TRANSACTION OK 2453 01]9p2405331 03]9p2438026 04]92490779 CENTRAL PROCESS LEGAL SERVICES PSP ERROR . OFnCE OF 'I1iE PIlC1I'HQ\K)TARV CUMBERL1\ND axJNl'Y OXIR1HOOSE ONE o:xJR'IHOOSE SQUARE CARLISLE. PA. 17013-3387 (717) 240-6195 FAX (717) 240-6573 VIA TELECOPIER cP LS TO: PA STATE POLICE FAX ~: 717-249-0779 ") ~: CURTIS R. LONG RE: PFA ORDERS MBSSAGE: .2.. f .:II.. 00. 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