HomeMy WebLinkAbout01-2191 FX
Lynne McPhail Anderson,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
vs.
: NO. 2001- .2/ q J CIVIL TERM
Howard Maurice McKamey, III,
Defendant
: PROTECTION FROM ABUSE
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 HEARING ON TillS MATTER IS SCHEDULED ON ..4-;:;217 ~AT
3: 3il .aM., IN COURTROOM NO..-3 OF THE CUMBERLAND
COUNTY COUR'PHOUSE, 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 $1,000.00 and/or up to six months injail under 23 Pa.C.S. 96114. Violation may also subject you
to prosecution and criminal penalties under the Pennsylvania Crimes Code. Under federal law, 18
U.S.C. 92265, 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. 9 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 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 of 1990. For information about accessible facilities and reasonable
accommodations available to disabled individuals having business before the court, please contact
our office. All arrangements must be made at least 72 hours prior to any hearing or business before
the court. You must attend the scheduled conference or hearing.
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Lynne McPhail Anderson,
Plaintiff
: IN THE COURT OF COMMON
: PLEAS OF
: CUMBERLAND COUNTY,
: PENNSYLVANIA
v.
Howard Maurice McKamey III,
Defendant
: No. 01. J,ll)/ ~ 'T.........
: CIVIL ACTION - LAW
: PROTECTION FROM ABUSE
TEMPORARY PROTECTION FROM ABUSE ORDER
Defendant's Name is: Howard Maurice McKamey III
Defendant's Date of Birth is: January 22, 1952
N ame( s) of All protected persons, including Plaintiff and minor children:
I. Lynne McPhail Anderson
AND NOW, on 12th Day of April, 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 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 Plaintiffs 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 residence located at 20 Stephens Road, Apartment #B-3, Camp
Hill, Pennsylvania.
Plaintiff's place of employment located at West Shore Rehab, Popular
Church Road, Camp Hill, Pennsylvania.
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3. Defendant shall not contact Plaintiff, or any other person protected under this
Order, by telephone or by any other means, including through third persons.
4. The following additional relief is granted:
This Order shall be docketed in the office ofthe 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 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 and/or the minor child.
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 or the minor child.
5. A certified copy of this Order shall be provided to the police department where
Plaintiff resides and any other agency specified hereafter:
East Pennsboro Twp. Police
6. 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.
7. THIS ORDER APPLIES IMMEDIATELY TO DEFENDANT AND SHALL
REMAIN IN EFFECT UNTIL OCTOBER 12, 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. ~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.
~6113. 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 U.S.C. ~~2261-
2262.
NOTICE TO LAW ENFORCEMENT OFFICIALS
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This Order shaH 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 I through 3 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
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 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 weapon/s are evidence of a crime, in which
case, they shall remain with the law enforcement agency whose officer made the
arrest.
Judge
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Distribution to:
Legaf Services
Faxed & Mailed to PSP
Cumberland County Sheriff
Dauphin County Sheriff
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PFAD Number: TCl226225H
Lynne McPhail Anderson,
Plaintiff
: IN THE COURT OF COMMON
: PLEAS OF
: CUMBERLAND COUNTY,
: PENNSYLVANIA
v.
Howard Maurice McKamey III,
Defendant
: No. (f> I. .2) q J Ciu:J. ~
: CIVIL ACTION - LAW
: PROTECTION FROM ABUSE
PETITION FOR PROTECTION FROM ABUSE
I. Plaintiff's name is:
Lynne McPhail Anderson
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. Lynne McPhail Anderson
4. Plaintiff's Address is : 20 Stephen Road, Apt. B-3, Camp Hill, P A 17011
5. Defendant's Name is:
Howard Maurice McKamey III
6. Defendant is believed to live at the following address:
1145 Terry Drive, Steelton, PA 17113
7. Defendant's Date of Birth is:
January 22, 1952
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8. Defendant's Place of employment is:
Unemployed
9. Defendant is an adult.
10. The relationship between the Plaintiff and the Defendant is:
Current or former sexual/intimate partner
II. The defendant has been involved in a criminal court action.
12. The facts of the most recent incident of abuse are as follows:
On or about April 11, 2001, Defendant sat outside Plaintiffs residence in his
vehicle and when she came out of the residence, he threatened to throw a fire
bomb through the window. Plaintiff suffered reasonable fear of imminent serious
bodily injury.
13. 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 March 31, 2001, Defendant waited outside the bar for Plaintiff to
come out, grabbed her by the front of her shirt, and threw her onto the ground
causing her to hit her head on the cement curb. Plaintiff went back inside and
called a cab to take her home. When Plaintiff arrived at home, Defendant jumped
out at her and the cab driver and screamed at them. Plaintiff fled into the
residence and called the police. Defendant fled the area. Plaintiff suffered a
swollen face, black and blue eye, and a sore neck as a result of the incident.
On or about January 2001, Defendant came to Plaintiffs residence and demanded
she let him in. When Plaintiff refused to open the door, Defendant forced his way
in by breaking the windows with his fist and by kicking the door. When Defendant
entered the residence, he picked up a steak knife, and chased Plaintiff with it as
she attempted to lock herself in the bedroom causing her to fear for her life. When
the Plaintiff slipped outside the room, Defendant attempted to stab Plaintiff
leaving approximately 15 stab marks in the door as she moved around to dodge
the knife. When Defendant heard the police sirens, he threatened Plaintiff that
next time he would kill her. Plaintiff suffered a cut to her fmger as a result of the
incident.
Iu or about 1999, Defendant kicked in the front door of Plaintiffs residence,
grabbed her by the neck, and attempted to throw her to the ground. During a
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separate incident in or about the same year, Defendant broke into Plaintiffs
apartment through a kitchen window. When Plaintiff awoke, Defendant stood
over her bed holding a knife over her head and threatened to kill her. Defendant
broke dishes, a TV, and a glass table, and stabbed the couch and mattress, where
Plaintiff was in bed, repeatedly with the knife causing her to fear for her life.
Defendant kicked Plaintiff in the stomach and punched her in her face. Defendant
was arrested and charged with simple assault.
Since approximately 1998, Defendant has abused Plaintiff in ways including, but
not limited to, the following: pulled her hair, choked, pushed, punched, slapped
and kicked her. On Several occasions, Defendant locked Plaintiff in a room for
extended periods of time up to eight hours, and did not allow her to eat or to use
the bathroom, spit on her, threatened to kill, and threatened her with a weapon.
14. The police department(s) or law enforcement agencies that should be provided with a
copy of the protection order are:
East Pennsboro Twp. Police
15. There is an immediate and present danger of further abuse from the Defendant.
16, 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. Prohi~t 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 Plaintiffs 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.
c. Order Defendant to pay the costs of this action, including filing and
service fees.
d. Order the following additional relief, not listed above:
Defendant is enjoined from damaging or destroying any
property owned by Plaintiff.
Defendant shall refrain from harassing Plaintiffs relatives and
her minor son.
Defendant shall pay $230.00 to one of MidPenn Legal Services
funding sources as reimbursement for litigation in this case.
e. Grant such other relief as the court deems appropriate.
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f. 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.
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avid Lopez, Attorney for PI nti
MID-PENN LEGAL SERVICE
8 Irvine Row
Carlisle, PA 17013
(717) 243-9400
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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:
~-I;' 01
4~ ~t,^ ~
Lynne M. Anderson, Plaintiff
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Lynne McPhail Anderson,
Plaintiff
: IN THE COURT OF COMMON
: PLEAS OF
: CUMBERLAND COUNTY,
: PENNSYLVANIA
v.
Howard Maurice McKamey III,
Defendant
: No. 01-2191
: CIVIL ACTION - LAW
: PROTECTION FROM ABUSE
CONTINUED TEMPORARY ORDER
AND NOW, this 19th Day of April, 2001, pursuant to 23 PaC.S. ~6107(c), the
terms and conditions of the Temporary Order issued on 12th Day of April, 2001, in
the above-captioned case are hereby continued in full force and effect until further
order of the court.
A hearing on this matter is scheduled for the May 30, 2001, at 9:30AM in
Courtroom 3 of the Cumberland County Courthouse, One Courthouse Square,
Carlisle.
Distribution To:
MidPenn Legal Services ~ -to
Fali@d &. I.Iliilea ta PSP I
Cumberland County Sheriff
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Lynne McPhail Anderson,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
vs.
: NO. 2001-2191 CIVIL TERM
Howard Maurice McKamey, III,
Defendant
: PROTECTION FROM ABUSE
MOTION FOR CONTINUANCE
The Plaintiff, Lynne Anderson, by and through her attorney, David Lopez of Mid Penn Legal
Services, moves the Court for an Order rescheduling the hearing in the above-captioned case on the
grounds that:
1. A Temporary Protection From Abuse Order was issued by this Court on April 12,
2001, scheduling a hearing for April 19, 2001, at 3:30 p.m.
2. The Cumberland County Sheriffs 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 the
defendant.
3. The plaintiff requests that the hearing be rescheduled to afford the Dauphin County
Sheriff time to effect service on the defendant.
4. 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.
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WHEREFORE, the Plaintiff requests that the Court grant this Motion and reschedule this
matter for hearing, and 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.
David Lopez, Attorney or R . tiff
MIDPENN LEGAL SER
8 Irvine Row
Carlisle, P A 17013
(717) 243-9400
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SHERIFF'S RETURN - OUT OF COUNTY
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CASE NO: 2001-02191 P
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND
ANDERSON LYNNE MCPHAIL
VS
MCKAMEY HOWARD MAURICE III
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:
MCKAMEY HOWARD MAURICE III
but was unable to locate Him
in his bailiwick. He therefore
deputized the sheriff of DAUPHIN
County, Pennsylvania, to
serve the within PFA, CONTINUANCE
On April
27th, 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
25.50
.00
62.50
04/27/2001
S~~
R. Thomas Kline
Sheriff of Cumberland County
Sworn and subscribed to before me
this 3 H. day of ~.
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@fiit1~ of :t4t ~4triff
Willian1 T. Tully
Solicitor
J. Daniel Basile
Chief Deputy
Michael W. Rinehart
Assistant Chief Deputy
Mary Jane Snyder
Real Estate Deputy
Dauphin County
Harrisburg, Pennsylvania 1710 I
ph: (717) 255-2660 fax: (717) 255-2889
Jack Lotwick
Sheriff
Commonwealth of Pennsylvania
ANDERSON LYNNE MCPHAIL
vs
County of Dauphin
MCKAMEY MAURICE HOWARD III
Sheriff's Return
No. 1086-T - -2001
OTHER COUNTY NO. 01-2191
AND NOW: April 24, 2001
at 10:30AM served the within
PFA ORDER FOR CONTINUENCE
upon
MCKAMEY MAURICE HOWARD III
by personally handing
to HIM
2 true attested copy(ies)
of the original
PFA ORDER FOR CONTINUENCE
and making known
to himlher the contents thereof at DAUPHIN COUNTY SHERIFF'S OFFICE, RM 104
FRONT & MARKET STS.
HARRISBURG, PA 17101-0000
DEFENDANT NOTIFIED OF EXCLUSION FROM 20 STEPHEN RD., APT.B-3, CAMP HILL.
DEFENDANT LEFT SHERIFF'S OFFICE TO TURN HIM SELF OVER TO A DETOX CENTER.
ON FRONT ST. IN HARRISBURG. SAYS HE IS AN ALCOHOLIC & NEEDED HELP.
1145 TERRY DR., STEELTON IS HIS FATHER'S ADDRESS.
.;'
Sworn and subscribed to
before me this 25TH day of APRIL, 2001
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So Answers,
Jf~
PROTHONOTARY
Sheriff. of Dauphin ~ou>>lt:' Pa.
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By
Deputy Sheriff
Sheriff's Costs: $0.00 PD 00/00/0000
RCPT NO
MILLER
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In The Cou.rt of Common Pleas of Cu.mberland County, Pennsylvania
.-
.'Lynne McPhail Anderson
VS.
Howard Maurice McKamey, III
No. 01-'-2191 Civil
Now, 4/16/01
,20 10 rQ-, I, SHERIFF OF CUMBERLAND COUNTY, PA, do
hereby deputize the Sheriff of
Dauphin
County to execute this Writ, this
deputation being made at the request and risk ofllie Plaintiff ~;A/!
., ~~~At:~t
Sheriff of Cumberland County, PA
Affidavi.t of Service
,Now
,
,20_, at
o'clock
M. served the
within
upon
at
by handing to
copy oftheOliginal
a
and made Imown to
the contents thereof.
So answers,
Sheriff of
ConDry, PA
Sworn and subscribed before
me this _ day of
20
'-
COSTS
SERVICE
MILEAGE
A.FFIDA VIT
$
$
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1ft The Court of Common Pleas of Cumberland County, Pennsylvania
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Lynne McPhail Anderson
VS,
Howard Maurie McKamey, III
No. 01-2191 Civil
(Order for continuance)
Now,
4/19/01
,20041, I, SHERIFF OF CUMBERLAND COUNTY, PA, do
hereby deputize the Sheriff of DAUPH I N
County to execute this Writ, this
deputation being made at the request and risk ofthe Plaintiff.
" ~~~~~,
Sheriff ofCurnbeTland County, PA
Affidavit (If Service
Now
,
, 20_, at
0' 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
methis_dayof ,20_
COSTS
SERVlCE
MILEAGE
AFFIDAVIT
$
$
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04/12/01 THTJ 1~:21 F~~ 717 240 6573
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CUMB CO PROTHONirlTARY.
141001
***************************
*n MULTI TN REPORT ***
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TX/RX NO
INCOMPLETE TX/RX
TRANSACTION OK
2567
01]9P2405331
03]9p2438026
04]92490779
CENTRAL PROCESS
LEGAL SERVICES
PSP
ERROR
OfFICE OF tHE PROTIiCNJrAfl\'
CUMBERLAND C<XJNTY COIJRTHroSE
ONE CCXJR11iCXJSE SQUARE
CARLISLE. PA. 17013-3387
(717) 240-6195
FAX (717) 240-6573
V I ATE LEe 0 PIE R
TO:
n ... I LJ /VI.I'.I-.s.
PA STATE POLICE . ~.w~~. r~.~a$~.-
FAX ":
717-249-0779
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!'RCM:
CURTIS R. LONG
RE:
PFA ORDERS
MESSAGE :
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Lynne McPhail Anderson, ,
Plaintiff
: IN THE COURT OF COMMON
: PLEAS OF
: CUMBERLAND COUNTY,
: PENNSYLVANIA
v.
Howard Maurice McKamey II
Defendant
.
: No. 01-2191
: CIVIL ACTION - LAW
: PROTECTION FROM ABUSE
FINAL ORDER OF COURT
Defendant's Name is: Howard Maurice McKamey II
Defendant's Date of Birth is: January 22, 1952
Name(s) of All protected persons, including Plaintiff and minor children:
I. Lynne McPhail And1i)b \
AND NOW, this' Co the court having jurisdiction over the
parties and the sub ct-matter, it is ORDERED, ADJUDGED and
DECREED as follows:
Upon agreement of the parties for the entry of a consent order, this order
will be entered without any admission of liability by the defendant and
without a finding of abuse by this court:
Plaintiffs request for a fmal protection order is granted.
1. Defendant shall not abuse, stalk, harass, threaten the Plaintiff or any
other protected person in any place where they might be found.
2. Defendant is prohibited from having ANY CONTACT with the
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 employement. Defendant is specifically ordered to
stay away from the following locations for the duration of this order.
Plaintiffs residence located at 20 Stephens Road, Apartment #B-3,
Camp Hill, Pennsylvania.
Plaintiffs place of employment located at West Shore Rehab,
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Poplar Church Road, Camp Hill, Pennsylvania.
3. Defendant shall not contact the Plaintiff, or any other person protected
under this Order, by telephone or by any other means, including
through third persons.
4. The following additional relief is granted as authorized by ~6108 of the
Act:
This Order shall remain in effect until modified or terminated by
the Court aIid can.,lle extended beyond its original expiration date
if the 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 or the
minor child.
The court costs and fees are waived.
5. A certified copy of this Order shall be provided to the police
department where Plaintiff resides and any other agency specified
hereafter:
East Pennsboro Twp. Police
6. THIS ORDER SUPERSEDES:
1. ANYPRIORPFAORDER
7. All provisions of this order shall expire on: November 1, 2002
NOTICE TO THE DEFENDANT
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.
VIOLATION OF THIS ORDER MAY RESULT IN YOUR ARREST
ON THE CHARGE OF INDIRECT CRIMINAL CONTEMPT WHICH
IS PUNISHABLE BY A FINE OF UP TO $1,000 AND/OR A JAIL
SENTENCE OF UP TO SIX MONTHS. 23 PA.C.S. ~6114.
VIOLA TION MAY ALSO SUBJECT YOU TO PROSECUTION AND
CRIMINAL PENAL TIES UNDER THE PENNSYL VANIA CRIMES
CODE.
THIS ORDER IS ENFORCEABLE IN ALL FIFTY (50) STATES, THE
DISTRICT OF COLUMBIA, TRIBAL LANDS, U.S. TERRITORIES
AND THE COMMONWEALTH OF PUERTO RICO UNDER THE
VIOLENCE AGAINST WOMEN ACT, 18 U.S.C. ~2265. IF YOU
TRAVEL OUTSIDE OF THE STATE AND INTENTIONALLY
VIOLATE THIS ORDER, YOU MAY BE SUBJECT TO FEDERAL
CRIMINAL PROCEEDINGS UNDER THAT ACT. 18 U.S.C ~~2261-
2262. IF THE BRADY INDICATOR PARAGRAPH APPEARS IN THE
ORDER, YOU MAYBE SUBJECT TO FEDERAL PROSECUTION
AND PENALTIES UNDER THE "BRADY" PROVISIONS OF THE
GUN CONTROL ACT, 18 U.S.C. ~922(G), FOR POSSESSION,
TRANSPORT OR RECEIPT OF FIREARMS OR AMMUNITION.
NOTICE TO LAW ENFORCEMENT OFFICIALS
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 locat~d, shall enforce this order. An arrest for violation of
Paragraphs I through 3 of this order may be without warrant, based soley
on probable cause, whether or not the violation is committed in the
presence of the police. 23 Pa.C.S. ~6113.
Subsequent to arrest, the police officer shall seize all weapons used or
threatened to be used during the violation of the protection order or during
prior incidents of abuse, The Cumberland County Sheriff shall maintain
possession of the weapons until further order of this Court.
When the defendant is placed under arrest for violation of this order, the
defendant shall be taken to the appropriate authority or authorities before
whom defendant is to be arraigned. A "Complaint for Indirect Criminal
Contempt" shall then be completed and signed by the police officer OR
the plaintiff. Plaintiffs presence and signature are not required to file the
complaint.
If sufficient grounds for violation of this order are alleged, the defendant
shall be arraigned, bond set and both parties given notice of the date of the
hearing.
, " . ,,~-, . l!i!!',ll 'i
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George
If entered pursuant to the consent of Plaintiff and Defendant:
avid Lopez, Attorney fo . . ff
MlDPENN LEGAL SERVI S
8 Irvine Row
Carlisle, PA 17013
hi 1Jt. UI(i~
Howard M. McKamey Ii ~
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Lynne McPhail Anderson,
Plaintiff
. .
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY,PENNSYL VANIA
v.
CIVIL ACTION - LAW
: NO.01-2191
CIVIL TERM
Howard Maurice McKamey II,
Defendant
: PROTECTION FROM ABUSE
PETITION TO AMEND
The plaintiff, Lynne McPhail Anderson, by and through her attorney, David Lopez, of
MIDPENN LEGAL SERVICES, requests the following:
I. A Temporary Protection From Abuse Order, in the above case was entered April
12,2001 and a Continuance was entered on April 19, 2001.
2. Throughout the Temporary Protection From Abuse Order and the Continuance,
the defendant's last name was misspelled as Howard Maurice McKamey, III.
3. The correct spelling is Howard Maurice McKamey, II.
WHEREFORE, the plaintiff requests that the Temporary Protection From Abuse Order of
April 12, 2001, and the Continuance of April 19, 2001, be amended to reflect the above terms.
David Lopez, Attorney for aint
MIDPENN LEGAL SERVICES
8 Irvine Row
Carlisle, P A 17013
(717) 243-9400
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OFFICE OF THE PROI'HCN:YrMY
CUMBERLAND cnJNI'Y COUJmiOOSE
ONE CXXJRTHOOSE !;QUARE
CARLISLE, PA. 17013-3387
(717) 240-6195
FAX (717) 240-6573
V I ATE LEe 0 PIE R
TO:
PA STATE POLICE ~ Cc:"t. PlloU..U.
"
RE:
PFA ORDERS
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FIIX H:
717-249-0779
I'RQol :
CURTIS R. LONG
MESSAGE :
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LYNNE McPHAIL ANDERSON, : IN THE COURT OF COMMON PLEAS OF
Plaintiff :CUMBERLAND COUNTY, PENNSYLVANIA
V.
: NO. 01-2191 CIVIL TERM
HOWARD M. McKAMEY II,
Defendant CHARGE: INDIRECT CRIMINAL CONTEMPT
~ER OF COURT
AND NOW, this ~ Clay of JULY, 2001 this Court certifies that the
attached complaint has been properly completed and verified, and there is probable cause
for this issuance of process. In consideration of the attached Commonwealth's Petition, a
WARRANT IS ISSUED FOR THE ARREST ofthe Defendant, HOWARD M.
McKAMEY II.
Ifthe defendant is found during normal Courthouse hours, the defendant is to be
brought immediately before the Court. If not found during Courthouse hours, the
defendant is to be taken to the on-call District Justice and bail set pursuant to the Rules of
Criminal Procedure.
Defendant has a right to be represented by an attorney. If the defendant cannot
afford an attorney, upon request one will be assigned to represent the defendant. The
assessment of costs to be determined by the Trial Judge subsequent to trial.
By the Court,
PJ.
Jonathan R. Birbeck
Chief Deputy District Attorney
HOWARD M. McKAMEY
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LYNNE McPHAIL ANDERSON,
Plaintiff
:IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYL VANIA
V.
01-2191 CNIL TERM
HOWARD M. McKAMEY II,
Defendant
CHARGE: INDIRECT CRIMINAL CONTEMPT
COMMONWEALTH'S PETITION FOR A HEARING ON CHARGES
OF INDIRECT CRIMINAL CONTEMPT
Jonathan R. Birbeck, Chief Deputy District Attorney of Cumberland County,
Pennsylvania, brings the following Petition for a hearing on charges ofIndirect Criminal
Contempt:
1. A Protection from Abuse Order was issued by the Court. A true and correct
copy of the Order is attached.
2. The defendant's violation ofthis Order is averred in the attached criminal
complaint
3. The victim requests the filing of an Indirect Criminal Contempt Charge.
4. The District Attorney's Office approves the filing of this criminal complaint
5. The Commonwealth is requesting a hearing on the charges ofIndirect
Criminal Contempt pursuant to 23 Pa.C.S.A. ~ 6113.
6. The plaintiff and/or the defendant may seek modification of the Order based
on the filing ofthis petition as the Court deems appropriate following the trial
in addition to any other sentence. 23 Pa.C.S.A. ~ 6113.
WHEREFORE, the Commonwealth requests the defendant be commanded to
appear before the Court on the charge of Indirect Criminal Contempt
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Jul 02 01 05:27a
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EAST PENNSBORO .POLICE
p.2
POLICE
CRIMINAL COMPLAINT
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF; Cun1ber1and
isterlal Di'triot NUIIler; 09-1-02
P1s't1"1r;t JUS;tlce NefJE!:Ha1. ~"'t V a Manlove
I'OSS; 1901 State Street
Canp Hill, ~ 17011
COMMONWEALTH OF PENNSXLVANIA
VB.
l.\"""""
(717) 761-0583
DEFENDANT:
NAME and ADDRESS
r B:Ml\lID M. M:::I<l\MEY II -,
1145 TERRY DR.
~rrlN, PA. 17113
Docket No,:
L
-!
~t" SeX _'s D.O.B.
IX! ~"t:Lo 01/22/1952
cfl:l"'l:bntls Vdlicle Infol'l1'6tltn:
plate Nurber State Reg;IrtI"QtiQr1 sticket-<""VYY>
Def<nlant'. SOCI.l securIty N""'r ~'$ SID
169-44-2579
tis Driver's License NUICer
C<IlpLaint/lrcldent Nu1I>er
2001-06-651
District Attorney's Office n Approved n Disapproved because:
(lhe district ottlll'nOY IIIlY ~Ire'-u;;it the CQ1P\.;nt,~, WOrrttlt offidavit, or both be 8AlI'Owci tIy the at","",>, for tile l:aIIn:n<<lOltf1 prier to
fili'~. Pa.R.Cr-.P. 107.)
l. iWSr:an Tr'ilckil'll ~r
sto..
PA 15399069
N1BRS Code
(NaTe Of A.ttorney tor WIULUllo:I:Iltrl . Io1lease fJrmt or 1)'pI)
I, PrIM. '!OlD M. BIISHOI'Ui:
(NM1e of Affllrl1:"Pl.... Print or T)!le)
of :East Pennsba t
Cldsntify 0eI:isr1:mint Dr ~ .""""'I!d .m ""lm"" lUQ1V\S,cn)
do hereby stato:(cheek the appropriate box)
1. IXI I accuse the above named defendant, who lives at the addrelllS set forth above
o I ac<:ulle an defendant whose name Is unknown to me but who Is descrIbed as
{S'9'in'll"e or AUOmey TOr OJmJ:lr'leal tlU
(Dote)
1615
(Oft,,:... Baclle ~/l.D.)
PA0210300
(Pc 'co iIIIB"Y lRl NUlblr) (Or ginatlrQ ~ case N (OCA))
o I accuse the defendant whose name and popular designation or nickname is unknown to me and whom I have
therefore designated as John Do<;
with violating the penal laws of the Commonweslth of Pennsylvania at 20 STEPHEN RD, API'. B- 3
CAMP HILL FA. ,El\SI' PENNSB:lRO 'IOWNSHIP (plllClt"""Litical S\IldM.i<II\J
in CI..1I1'Iber1and Coun~ on 01' about 06-29-2001 Kr 0530
Participants were: (If there were participants, place their names here, repeating the name of the above defendant)
IK:MARD M. MCIOlMEY" II
2. The acts committed by the accused were:
(sot fcrth . _ of the facto :;o.rff;ci.." to &<Moo tll< def..mrt of thel10tllre of the off<nl;o ~. A eftatl... to the statute a\l_~y \(;01_
withaJt IlUb, ilii nul lSUfflc.:ltfll.. In lit WmWI1'Y QlI6e. )IIJIJ RUSt cfte tt'le ~ifte $CCtfQ-, ard ~im Of the etetutC;'or ordinonco Ql\~y VI9\Qt;c:I.)
'ltle DEFENI:lilNT violated the PR<1I'ECl'ICN FRCM ABl.lSE ORDER if;01-2191 CiviL 2001, issued an
JUNE 6 2001, by the Honorable Judge Georse E. Hoffer, to WIT: 'llle defendant was
ordered to stay away fran the residtanee and to :refrain frcm haraSSing = stalking
the victim, LYNNE.l\NIll!:RSCtl". '!'HE DEFEND!\NT DID ARRIVE AT 'lEE VIcr:tMs API'. KI: 0530
H:XJRS AND WAS OIJI'SIDE YE:I.L:n'O FUR 'lEE vrcrlM 'IO WAI<E UP. '!HE DEFSNlJANT WENr 'IO ~
FRCNI' OOOR J\ND Wl\NTED 'ID SPlW< WITH '1lIE VICl'lM. TIlE VIcr:rntI REFllSIlri 'ro SPEl\K WITH
HIM. THE IJEI'El.'IDl\Nr OPENED ~ SCIlElEN IXOR, AND ADVISED HE WAS OO:JN3 'ID <El' HER.
TIlE ~ l?ONOlED '!HE FRONI' JXX)R AND THEN LEPI' '!HE AREA.
Aa'C 412A-(SIOO)(~i",)
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Jul 02 01 05:27a
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EAST PENNSBORO "POLICE
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Defendant Name: llI:lWARO M. M:IQ\\IIEY II
Docket Number:
POLICE
CRIMINAL COMPLAINT
all of which were againllt the peace and dignity of the Commonwealth of Penllsylvania and contrary to the Act
of Assembly,. or in violation of 1.. 6111 of tho Title 23 1
(S~ct;on) (S~ectlon) (PA St,~ute) (counts)
2. of the
(Sect;on) (SUbs.ct ion) CPA Stotute) (counts)
l_ of the
(Section) (Subsectfon) CPA St.tute) (counts)
4_ of tho
(Ser;ticn) (Subsection) (PA Statute) <counts)
3. I ask that a warrant of arrest Or a Sl)mmons be issued and that the defendant be required to answer the charges
I have made. (In order filr a wal'l.1IlJt of arrest to issue, the attached affida'Vit of prob&hle cause must be completed
and sworn to before the ~ authoril;yJ
4, I veritY that the faem set forth in this complaint are true and correct to the best of my knowledge or information
and belief. This verification is made subject to the penalties of Section 4904 of the Crimes Code(18 PA. C.S.
S 4904) relating to unsworn falsidcation to authorities.
~1L.~. ~~~~. o.~
AND NOW, on this date , I certify the complaint has been properly
completed and verified. An llfiidaVlt 01 probable cause must be compreteiI in order for a warrant to issue.
lM~&l~~erla~ Dls~rlC~l
AOPC 41~-(4/96BICr.product;on)
SEAl.
(!66ulng AYtnQ~l~YI
2.3
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JU1 02 01 05,27a
EAST PENNSBORO ,POLICE
p.4
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Dooket Number:
POLICE
CRIMINAL COMPLAINT
r----
Defendant Name, FIJWARD M. I"Otl\MEY II
AFFIDA VIr of PROBABLE CAUSE
o:np.(rnc. NO. 2001-06-651
ON 6-29-2001l'J 0600 HOURS OFFICER GlillX)$ AND l: RECEl:VED A (N,L ro J!I1I!a:;!' L'XNL'$
ANDERSON Kr 20 STEPHEN lID. API'. B3, I ARRIVFD Cl\l TIlE SCENE AND MElI' '!HE VICl'IM WHO
W1\S l:NSIOE HER AIIr. 'mF. VIcTIM AD\IISI!iD Kr 0530 HOURS saE HEARD ':mE DEFENDl\Nl' OiJ'I'SIDE
'll:lE REAR OF HER APr. YELLING FOR l-lER. ro SPmK WITH KIM. THE DEFINlANl' C'l\I'IHl '!O THE
FRONT JXX:lR OF HER JWr. AND I'l.!\S ~ POR HER 'l"O SPE!\K wrm KIM. 'lHE VICl'IM ADVISED
IIlM ro Lli'AV2 SHE 002S IDl' ~ ANY'l'HllI'S ro IX) WI'IH KIM. 'IHE ~ DID OPEN THE
SCREliN IX'OR, AND P!lNOlED mE wmrow OF HER PRCNI' rroR. 'IHE WINOOW WllS PllISTIC AW IT
Wl\S POSHED ~ FR:lIl THE FRAME. THE DEFEml\Nl' DID SLAM 'l.lIE SCREJ;N rroR SHOT AND I'l.!\S
U\I3T SEEN ~ IXJWN STEI?HElIT lID.
OFFICER Gl'JIX)S AND I DID 0IElCK TIlE ARE!l, FOlil. '!HE: lJEFENDi\NI' AND BE WllS ror
UXA'IED. I DID TI\KE THE VICj:'IM 'IO I'lJRI< AT WJ:m' ~ HEALTH AND RIH\S.
'IHE PCI:S <XMaTl'ED BY TIlE DF.Ff'1NDANT WERE m VIOlATICl\l OF A PROl'ECl'Ia-l FRCM ABl.lSE
ORDER # 01-2191 ISSOED JUNE 6, 2001.
1, Pl'tM. '1UJl) M. BfI500RE , BEING DULY SWORN ACCORnING TO
LAW, DEPOSEANl) SAY THAT THE FACTS SET FORm IN THE l?"OREGOlNG AFFIDAVIT ARE
TRrn: AI\lD CORRECT TO THE BEST OF MY KNOWlJIDGE, INFORMATION AND BELIEF.
~"i, lfri:~~. or't:;antl ~~
Sworn to me and subsclibed before me tbJos
day of
Date
, District. .rustice
My commission ex.pin,"S first Monday of Janusr.Y,
SEAL
AOPC 412C'(11i24i99)(reproduct;co)
8-3
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, ;
Lynne McPhail Anderson,
Plaintiff
: IN THE COURT OF COMMON
: PLEAS OF
: CUMBERLAND COUNTY,
: PENNSYLVANIA
v.
Howard Maurice McKamey II
: No. 01-2191
Defendant
: CIVIL ACTION - LAW
: PROTECTION FROM ABUSE
FINAL ORDER OF COURT
Defendant's Name is: Howard Maurice McKamey II
Defendant's Date of Birth is: January 22,1952
.
Name(s) of All protected persons, including Plaintiff and minor children:
1. Lynne McPhail AndiiJb \
AND NOW, this )..,.A>> fo. the court having jurisdiction over the
parties and the sug;a1t~s ORDERED, ADJUDGED and
DECREED as follows:
Upon agreement of the parties for the entry of a consent order, this order
will be entered without any admission ofliability by the defendant and
without a finding of abuse by this court:
Plaintiff's request for a final protection order is granted.
1. Defendant shall not abuse, stalk, harass, threaten the Plaintiff or any
other protected person in any place where they might be found.
2. Defendant is prohibited from having ANY CONTACT with the
Plaintiff, or any other person protected under this Order, at any
location, including but not limited to any contact at Plaintiffs school,
business, or place of employement. Defendant is specifically ordered to
stay away from the following locations for the duration of this order.
Plaintiff's residence located at 20 Stephens Road, Apartment #B-3,
Camp Hill, Pennsylvania.
Plaintiff's place of employment located at West Shore Rehab,
, , ,
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Poplar Church Road, Camp Hill, Pennsylvania.
3. Defendant shall not contact the Plaintiff, or any other person protected
under this Order, by telephone or by any other means, including
through third persons.
4. The following additional relief is granted as authorized by ~61 08 of the
Act:
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 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 Plaintiffs relatives or the
minor child.
The court costs and fees are waived.
5. A certified copy of this Order shall be provided to the police
department where Plaintiff resides and any other agency specified
hereafter:
East Pennsboro Twp. Police
6. THIS ORDER SUPERSEDES:
1. ANY PRIOR PF A ORDER
7. All provisions of this order shall expire on: November 1, 2002
NOTICE TO THE DEFENDANT
" - -. ,-
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VIOLATION OF THIS ORDER MA Y RESULT IN YOUR ARREST
ON THE CHARGE OF INDIRECT CRIMINAL CONTEMPT WHICH
IS PUNISHABLE BY A FINE OF UP TO $1,000 AND/OR A JAIL
SENTENCE OF UP TO SIX MONTHS. 23 PA.C.S. ~6114.
VIOLATION MAY ALSO SUBJECT YOU TO PROSECUTION AND
CRIMINAL PENALTIES UNDER THE PENNSYLVANIA CRIMES
CODE.
THIS ORDER IS ENFORCEABLE IN ALL FIFTY (50) STATES, THE
DISTRICT OF COLUMBIA, TRIBAL LANDS, U.S. TERRITORIES
AND THE COMMONWEALTH OF PUERTO RICO UNDER THE
VIOLENCE AGAINST WOMEN ACT, 18 U.S.C. ~2265. IF YOU
TRA VEL OUTSIDE OF TtIE STATE AND INTENTIONALLY
VIOLATE THIS ORDER, YOU MAYBE SUBJECT TO FEDERAL
CRIMINAL PROCEEDINGS UNDER THAT ACT. 18 U.S.C ~~2261-
2262. IF THE BRADY INDICATOR PARAGRAPH APPEARS IN THE
ORDER, YOU MAYBE SUBJECT TO FEDERAL PROSECUTION
AND PENALTIES UNDER THE "BRADY" PROVISIONS OF THE
GUN CONTROL ACT, 18 U.S.C. ~922(G), FOR POSSESSION,
TRANSPORT OR RECEIPT OF FIREARMS OR AMMUNITION.
NOTICE TO LAW ENFORCEMENT OFFICIALS
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, shall enforce this order. An arrest for violation of
Paragraphs I through 3 of this order may be without warrant, based soley
on probable cause, whether or not the violation is committed in the
presence of the police. 23 Pa.C.S. ~6113.
Subsequent to arrest, the police officer shall seize all weapons used or
threatened to be used during the violation of the protection order or during
prior incidents of abuse. The Cumberland County Sheriff shall maintain
possession of the weapons until further order of this Court.
When the defendant is placed under arrest for violation of this order, the
defendant shall be taken to the appropriate authority or authorities before
whom defendant is to be arraigned. A "Complaint for Indirect Criminal
Contempt" shall then be completed and signed by the police officer OR
the plaintiff. Plaintiff's presence and signature are not required to file the
complaint.
If sufficient grounds for violation of this order are alleged, the defendant
shall be arraigned, bond set and both parties given notice of the date of the
hearing.
- -- ,,"---,
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, George
If entered pursuant to the consent of Plaintiff and Defendant:
avid Lopez, Attomey fo
MIDPENN LEGAL SERVI
8 Irvine Row
Carlisle, PA 17013
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Howard M. McKamey Ii I
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COMMONWEALTH OF PENNSYLVANIA)
SS:
OCA:
COUNTY OF CUMBERLAND
)
TO: R. Thomas Kline, Sheriff, or any duly authorized law enforcement officer.
RE: HOWARD M. McKAMEY II
1145 Terry Drive
Steelton, PA 17113
DOB: 01/22/1952 SEX: M
HT: 601 WT: 163
EYES: BRO HAIR: BLK
FBI: 153865NBO
RACE: BLACK
DOCKET #: 01-2191 CIVIL
SSN: 169/44/2579
OLN: 15399069PA SID: 288-50-10-7
OTN:
VIOLATION OF INDIRECT CRIMINAL CONTEMPT
WHEREAS, the above-named defendant allegedly violated his protection from abuse
order on
June 29, 2001, the indirect criminal contempt was
filed by Ptlm. Todd M. Bashore of East Pennsboro Township Police Department.
WHEREAS, this Court on
July 2, 2001 directed a Arrest
Warrant be issued for the apprehension of the defendant.
This is therefore to command you to arrest the defendant above and bring him/her
before at Carlisle, Pennsylvania, without unnecessary delay to be dealt with according
to law.
WITNESS the undersigned Judge, at Carlisle, this
2nd
day of
July, A.D.,. 2001.
(4 G~~o~r ~ PJ.
A T;FJ::ST: . '";) ~
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PROTHONOTARY .
(SEAL) .
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LYNNE MCPHAIL ANDERSON,
Plaintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
V.
CIVIL ACTION - LAW
HOWARD M. MCKAMEY, II,
Defendant
NO. 01-2191 CIVIL TERM
IN RE: INDIRECT CRIMINAL CONTEMPT
ORDER OF COURT
AND NOW, this 7th day of August, 2001, it is ordered
and directed that the defendant appear for hearing in this
matter on August 14, 2001, at 3:00 p.m., in Courtroom No.3
of the Cumberland County Courthouse. Pending further
proceedings, bail is set in the amount of $100.00.
By the Court,
~~ ,/lJ.
Kj A. Hess, J.
Jonathan Birbeck, Esquire
Assistant District Attorney
Ellen Barry, Esquire
Assistant Public Defender
probation
Victim Services
Sheriff
CCP
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I r FICATION OF BAIL I
" ,..0 DISCHARGE CP,lERM&NO 01-2191 Civil
COMMONWEALTH VS (Defendanr Name and Address) CHARGE(S} I DATE OF CHARGE(S)
Howard Maurice McKamey, II'
1145 Terry Drive
Steel ton PA 17113 Indirect Criminal Contempt of PFA
D ROR (no surety) D Nominal Bail
[j Bail (total amount set, if any) $ 100.00 .
o Conditions of Release (aside from appearing at court when required:) NEXT COURT ACTION
DATE AND TIME I LOCATION Colu.. UUUlh .tI:>. 3
8-14-01 @ 3:00 pm CUIlb. Co.
, TO: 5a Detention Center D Other
I hereby certify that sufficient bail has been entered
D By the defendant ex On behalf of the defendant by:
(attach addendum, if necessary) Howanl M. McKimey - Father
SECURITY OR SURETY (IF ANY)
D Surety company (Name & Address of Surety) (License No.)
o Professional Bondsman . Refund of cash bail will be made within 20 days after
D Realty final disposition, (Pa,R.Cr.P. 4015(b))
iii Other Cash $100.00 . Refund of all other types of bail will be made promptly after
20 days following final disposition. (Pa.R.Cr.P, 4015(a))
JUDGE OR ISSUING AUTHORITY . Bring Cash Bail Receipt to Clerk of Court.
Kevin A. Hess, J.
DISCHARGE THE ABOVE,NAMED DEFENDANT FROM CUSTODY IF
APPEARANCE OR BAIL BOND DETAINED FOR NO OTHER CAUSE THAN THE ABOVE STATED,
THIS BOND IS VALID FOR THE ENTIRE PROCEEDINGS AND Given under my hand and the Official Seal of this Court,
UNTIL FU~L AND FINAL DISPOSITION OF THE CASE INCLUDING 8th ~ayof August , +.!l()l
FINAL DISPOSITION OF ANY PETITION FOR WRIT OF CERTIORARI this .
OR APPEAL TIMELY FILED IN THE SUPREME COURT OF THE (h. .Ll /1 A' J, ~ ,~, ..f~SEAL)
UNITED STATES.
I I (Clerk 01 CourJr Issuing Authorfr)} I ....., / I '/
WE, THE UNDERSIGNED, defendant and surety, our successors, heirs and assigns, are jointly and severall"'bound to pay to the
. One Hundred and no 100 -------- '110.00
Comn\onwealth ot Pennsylvama the sum ot
/
dollars ($
).
SEE REVERSE SIDE FOR BAIL CONDITIONS
CERTIFICATION OF COUNTER INDEMNITY AND PREMIUM (Applicable Only When Surety Is A Corporation)
,Principal, and
hereby certify that the amount paid by said Principal to said Surety for bail in the above matter is $
and that no further sum or sums is to be paid therefore by the said Principal or anyone on his behalf.
We further certify that said Principal has given to said Surety counter indemnity consisting of
of the value of $
as follows:
, Surety,
and no further counter indemnity is to be given the said Surety except
We further certify that there are no judgments against the said corporate surety outstanding and unpaid for a period of more than thirty days from the date of the entry of such
judgment except those in which a petition to open or vacate the judgment has been filed and remains undisposed of:
Dated:
,19
(Principal)
(SEAL)
MUST BE SIGNED IN PERSON
BY THE APPROVED AGENT
I ACKNOWLE.DGE THAT I AM LEGALLY RESPONSIBLE FOR
THE FULL AMOUNT OF THE BAIL.
(SEAL)
(Surety)
.x~~J11,HAd4..- ,--t/-
SIGNATURE OF DE FEN NT 7
(SEAL)
The following acknowledgement is also applicable
if Percentage Cash Bail-is used.
THIS BOND SIGNED ON August 8, 2tQO..!...-
alCarlis1e PENNSYLVANIA,
(SEAL)
Signature of Surety (May be Bondsman, Bail Agency, or private
individual or organization). Except when defendant is released on his
own recognizance (ROR), this must be signed in alf bail situations,
including nominal bail,
ADDRESS OF SURETY, SURETY COMPANY OR DEFENDANT
rity)
Surety No. or Professional Bondsman License No_ & Expiration Date
I. I se of corporate surety bail, Power f ttorney must ORIGINAL . In case of Percentage Cash Bail or Nominal Bail, Power
be affixed to bond or otherwise bond is invalid. of Attorney is not required. AOPC414.82
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BAil CONDITiONS
The CONDITIONS of this bond are that the defendant will
(n Appear before the is',u:ng authority and In the Courts oj the- County or
,PennSylvania. at al times 3S nrs PIPS,: Ice may-
be reqUired, ordered or directed until full and tinal di5005'11011 of the case tc Jlu<1d, '
answer and defend as ordewd tile aioresaid charge or charges
(2) SubMit himself to all orders and processes of the iSSUing 2ull'oril'1 or en It
(3) The DEFENDANT 8n(j SURETY must give writ'er- notice 10 ill!': I$:,uong
authdrily, Clerk 01 Courts the District Attorn'3Y A.ND Cou" Ball Age:lcv
. of any ch8nge n I',,~ a8(jrfGo, -,vltr';,
for,y-8Igh" !",ours of the ::late.:;f his change 01 address
(4) Cornaly with any specific require"rw~t of release irnpo,:ed bj' the I"~IJ r~' iI,I~'
Cou:t, such as 2 S2tisfactory participation If' J desig1ated pragran'
(5) Neithe,- e'o, nor cause to b,~ done, nor perrmt to be done on !lls)r flt-;i lJ:';',8,f "n',' ~_I,_:T
prc-,;crlbed by Crimes Code seCllon .195:; !re!8.llllg to :nllmidallon o! 1''''' '\,o~s,,;; :'~', ., IPS)
or :;;octior 4953 (ro:a;ing tor8:a ,alien against Witnesses Of Victims:' (18 PO', C_S I) 8 '\9~~,)
49~i3)
(6) Obel' such other cOlldl!I'j"S dO; rhe COur. or Cou.rt Bail Agency ',\/1(1: red 'e cd 1~i:;~ir';J
autroorltY':JrCour:, may ImpOSE
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uS lr 11'1 fa'le, ') "i-,e ComrnCn\Nealth () >-,;or-
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JlJSTlFICATION OF SURETr OHI:EF: T!-it'd\i C,~,SH "l; "L
(Questions 3,4,5,7, 8 ~:;d ~'are app'<::w],;or::y 'she:] r~3: '3:;tale i: '::O,lf!(! ~_S ~',cu:it)' ) iC.>C;il U'I; I~I:JU; \
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1. 1 reside at
The undersigned about to become Sure;~1 In :!18 case oiter' het ('in, b8'I'g ,july 5\11101 n (.x 21il [--)' J I jc X' ". '-';lj ~,"\,
'1',,: "(fC I'~o IS
and my occupation is ~__.__._,___.,.~.__.__._____.__..._~ and 1 worK ;e,
2. 1 have no undisposed of cmTlmal cases against me penljil-'Q 111 the Court;; 01 ""...,__..,..~"o.___.._.._,
County, except as fol;ows: __,._,~__~,.~__,_.,__.__",__~_~~,_~,".~,_~,,_"> ._.
3
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1..J (I am/We are) the ~:o;e owner(s) of. 'l
o (I am/We are) joint wnant(S'liIl' 1
D (I am/We are) tenant(s) by tlw elltlrety III "
in the said County 01 .___~__.,___.___~"~___,,
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which IS improved Wllh the lollowing;buildings .~_.~.....,_
(Ail ot.h.er join! tenants or ,-enants LlY !.'le entirely must cc
hereto.)
4 The said property we>" otlt;w)ed bv 'T'e by
real estate Situated
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of "'___,~_~__,__,~_"'_~._c___,_~,_,~_CouniY, [J C'2_o'n -I \,V;
name ,l\.fso;:r Gareel 'J:- i}rClurKI in 5:7:2
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1_= Will flom _"'M"~_' "......_..._,__""__._, .~, ,'".'____",,_
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7 There are no mcrtgd\Y"S, 0, 011",1-> 1'8'''s ,;, f"lCIn1!) 'li,Cc-~) of ,;;n~' I"r--
against me exceri as fQllc\-vs
Mo'tgageB as set fOI'[l:n IfW Re ,wcler of DE--8;] , C)!l r .;;i i'!Cn~-'r;~
Mortgages as set fortr I': t:-h? Fj8CO' .her ot Dr;[~c!'; U) S~ X",~I rlCl:'("k'"'\I
judgments and L.ien,~
Real estate 'axes hi',"lfC tS8n pc,ic:1 81, ';801
The as:"essecl vaIU8':!)'\ oj said rve! n;ses 's
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__ ._,___..__~ day of .,__,__.,,~,_"_._~_____m_._ 1 9 "~,~,,_,__"__~
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Lynne McPhail Anderson,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
VS.
: NO. 01-2191 CIVIL TERM
Howard Maurice McKamey II,
Defendant
: PROTECTION FROM ABUSE
~RDER TO VACATE
AND NOW, tru/~ day of August, 2001, upon Plaintiff's Petition to Vacate Order and
Withdraw Action:
I. This matter is dismissed without prejudice.
2. Costs of this proceeding are waived.
3. The Final Protection From Abuse Order entered on June 6, 2001, is hereby
vacated.
Distribution to:
David Lopez, Attorney for Plaintiff
MidPenn Legal Services
8 Irvine Row, Carlisle, PA 17013
Howard McKamey II, Defendant
1145 Terry Drive
Steelton, PA 17113
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...
Lynne McPhail Anderson,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
vs.
: NO. 01-2191 CIVIL TERM
Howard Maurice McKamey II,
Defendant
: PROTECTION FROM ABUSE
PETITION TO VACATE ORDER
AND WITHDRAW ACTION
Plaintiff, Lynne Anderson, by and through her attorney, David Lopez of MidPenn Legal
Services, requests that the Court vacate the Final Protection From Abuse Order in the above-
captioned case and that the action be withdrawn on the grounds that:
1. A Final Protection From Abuse Order was issued by this Court on June 6, 2001.
2. The parties are in the process of reconciling their differences.
3. Plaintiff requests that the Final Protection Order entered on June 6, 2001, be vacated
and the action withdrawn without prejudice to her.
WHEREFORE, Plaintiff requests that the Court grant the relief requested and vacate the
Order, and that the action be withdrawn without prejudice to Plaintiff.
D Vld Lopez, Atto for B
MidPenn Legal Services
8 Irvine Row
Carlisle, PA 17013
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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:
~de~~ff
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~_~ 12:26 FAX 717 240 6573
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***************************
*** MULTI TN REPORT ***
***************************
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TX/RX NO
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TRANSACTION OK
2755
01]9p2490779
03]9p2405331
04]92438026
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,
OFfiCE Of '!HE PRarHONCJI'ARY
CUMBERLAND COONTY CQURTHaJSE
eM: CXXJRTHOOSE SQUARE
CARLISLE. PA. 17013-3367
(717) 240-6195
FAX (717) 240-6573
V I ATE L E COP I E R
TO:
PA STATE POLICE. Cew11l,,1
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FAX ~;
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fRao1 ;
CURTIS R. LONG
RE:
PFA ORDERS
MESSAGE:
J..j 00. or PAGES (r~I,.!Jl)ING COVER SHEET)
'Ihis - iF is intmkl cnly fur tie lEe of tte :irdiv:idHl a: altity In I4lidt is is dl). J. .-n1 n'Bf
o:ntain :inli.mmticn ttat is p:iYile,;J!d. a:nf:idential. a-d EI<BJPl: fmn O;....l'""'''E lJ'"d;r 'WH,*,l.. liJII. If
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cl.ist:riWtim ox awirg d this anm..nicatJr:n i$ strictly (Xd1ibilB:l. If)W teve PD!!i\W UllS
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LYNN M\.;~MIIh ANDERSON,
Plaintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
V
01-2191 CIVIL
PROTECTION FROM ABUSE
CHARGE: INDIRECT CRIMINAL
CONTEMPT
AFFIANT: OFF. TODD BASHORE
HOWARD M. McKAMEY, II,
Defendant
IN RE: INDIRECT CRIMINAL CONTEMPT
ORDER OF COURT
AND NOW, August 14, 2001, the charges in the
above-captioned case are hereby withdrawn at the request of the
Commonwealth and the victim, Lynn McPhail Anderson.
By the Court,
Jaime M. Keating, Esquire
Chief Deputy District Attorney)
Linda S. Hollinger, Esquire ~
Assistant Public Defender
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Probation Office
Sheriff ) {J..J fI't.R.
Victim Services
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