HomeMy WebLinkAbout01-05240
JULIE ANN BOCKES,
Plaintiff
vs.
JOHN RICHARD NEYER, JR.,
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
NO.O1- 5240 CIVIL TERM
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.
1li-
Ahearing onthis matter isscheduled onthe / J .day of September, 2001, at ,3 , ODOD~2,m., in
Courtroom No. ,~ on the 4a' Floor of the Cumberland County Courthouse, l Courthouse Square,
Carlisle, Pennsylvania.
You MUST obey the Order that is attached until it is modified or terminated by the court after notice
and hearing. Ifyou 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 in jail under 23 Pa.C.S. §6114. Violation may also subj ect 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. Ifyou
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. Ifyou do not have a lawyer or
cannot afford one, go to or telephone the office set forth below to find out where you can get legal help. If
you cannot find 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.
JULIE ANNE BOCKES,
Plaintiff
v.
JOHN RICIIARD NEYER, JR.,
Defendant
In the Court of Common Pleas of
CUMBERLAND County,
PENNSYLVANIA
Civil Action -Law
No.OI- J~ot~f'v ~.z.V-L~
Protection From Abuse and
Custody
TEMPORARY PROTECTION FROM ABUSE ORDER
Defendant's Name is: JOHN RICHARD NEYER, JR.,
Defendant's Date of Birth is: March 23,1981
Defendant's Social Security Number is: 159-66-6843
Name(s) of All protected persons, including Plaintiff and minor children:
1. JULIE ANNE BOCKES
AND NOW, on 5th Day of September, 2001 upon consideration of the attached
Petition for Protection 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, stalls 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:
Camp Hill Plaza Apartments
310 April Drive, Apt. 6
Camp Hill, PA
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.
3. Except for such contact with the minor children 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 Plaintiffs school, business, or place of
employment. Defendant is specifically ordered to stay away from the following
locations for the duration of this order.
Plaintiffs current residence listed above and any other residence that she
may establish for herself during the term of this Order.
Plaintiffs current place of employment listed below, and any other place
where Plaintiff maybe employed during the term of this Order.
Sheetz Convenience Store
1715 Market Street
Camp Hill, PA
The day care provider/facility of the minor child.
4. Except for such contact with the minor children as may be permitted under
pazagraph 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 children:
i. ADAM CHRISTOPHER BOCKES
Until the final hearing, all contact between Defendant and the children shall be
limited to the following:
Defendant's contact with the parties' minor child shall be suspended pending
further Order of Court after the hearing scheduled in this case.
The local law enforcement agency in the jurisdiction where the children are
located shall ensure that the children 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:
Defendant shall not have any contact with Plaintiffs relatives.
Defendant shall not harass Plaintiffs relatives.
Defendant shall not damage or destroy any property jointly owned by the
parties or owned solely by Plaintiff.
7. A certified copy of this Order shall be provided to the police deparhnent where
Plaintiff resides and any other agency specified hereafter:
CAMP HILL POLICE DEPARTMENT
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 SUPERSEDES
ANY PRIOR ORDER RELATING TO CHILD CUSTODY
10. THIS ORDER APPLIES IMMEDIATELY TO DEFENDANT AND SHALL
REMAIN 1N EFFECT UNTIL MARCH 5, 2003 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 $1,000.00 and/or
up to six months in jail. 23 Pa.C.S. §6114. Consent of the Plaintiff to Defendant's
return to the residence shall not invalidate this Order, which can only be changed or
modified through the filing of appropriate court papers for that purpose. 23 Pa.C.S.
§6113. Defendant is further notified that violation of this Order may subject him/her
to state charges and penalties under the Pennsylvania Crimes Code and to federal
chazges and penalties under the Violence Against Women Act, 18 U.S.C. §§2261-
2262.
NOTICE TO LAW ENFORCEMENT OFFICIALS
This Order shall be enforced by the police who have jurisdiction over the plaintiff s
residence OR any location where a violation of this order occurs OR where the
defendant maybe located. If defendant violates Paragraphs 1 through 5 of this
Order, defendant shall be arrested on the charge of Induect Criminal Contempt. An
arrest for violation of this Order maybe made without warrant, based solely on
probable cause, whether or not the violation is committed in the presence of law
enforcement.
Subsequent to an arrest, the law enforcement officer shall seize all weapons used or
threatened to be used during the violation of this Order OR during prior incidents of
abuse. Weapons must forthwith be delivered to the Sheriff s office of the county
which issued this Order, which office shall maintain possession of the weapons until
farther Order of this court, unless the weapons are evidence of a crime, in which
case, they shall remain with the law enforcement agency whose officer made the
arrest.
Distribution to:
David A. Lopez ~Ll'!~s
Attorney for Plaintiff •u'-/a`~
MidPenn Legal Services
8 Irvine Row, Carlisle, PA 17013
(717)243-9400 or1-800-822-5288
FAXed & mailed to PSP ~. ~ ~ e..,e~.t /7t P.ts'
PFAD Number: KB 1326506T
JULIE ANNE BOCKES,
Plaintiff
v.
JOHN RICHARD NEVER, JR.,
Defendant
In the Court of Common Pleas of
CUMBERLAND County,
PENNSYLVANIA
: Civil Action -Law
No. Ol- ,$~.S,Lp
: Protection From Abuse and
Custody
PETITION FOR PROTECTION FROM ABUSE
1. Plaintiffs name is:
JULIE ANNE BOCKES
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. JULIE ANNE BOCKES
4. Plaintiffs Address is :Camp Hill Plaza Apartments , 310 April Drive, Apt. 6 ,Camp Hill, PA
17011
5. Defendant's Name is:
JOHN RICHARD NEVER, JR.,
6. Defendant is believed to live at the following address:
c/o Melanie and Tom Yadouga ,121 Market Street ,New Cumberland, PA 17070
7. Defendant's Social Security Number is:
159-b6-6843
8. Defendant's Date of Birth is:
March 23,1981
9. Defendant's Place of employment is:
Sheetz Convenience Store, Routes 11 & 114, Mechanicsburg, PA, telephone: (717)
766-9231.
10. Defendant is an adult.
11. The relationship between the Plaintiff and the Defendant is:
Spouse
Parents of the same children
12. The Plaintiff and the Defendant been involved in the following court actions:
a. Support
13. Other details of the court action are:
Cumberland County DRO -Plaintiff filed for support on 8/27/01.
14. The defendant has been involved in a criminal court action.
15. The defendant is not currently on probation / pazole
16. Plaintiff and Defendant aze the pazents of the following minor children:
a. ADAM CHRISTOPHER BOCKES
Age:17 months old
Child's address is: Camp Hill Plaza Apartments , 310 April Drive, Apt. 6 ,
Camp Hill, PA 17011
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. ADAM CHRISTOPHER BOCKES
For the past 5 years, this child has lived with:
Plaintiff at Camp Hill Plaza Apartments, 310 April Drive, Apt. 6, Camp Hill,
PA, from August 21, 2001, to the present.
Plaintiff and Defendant at Camp Hill Plaza Apartments, 310 April Drive, Apt.
6, Camp Hill, PA, from mid-February 2001, to August 21, 2001.
Plaintiff, her father and step-mother, Mark and Theresa Bockes, and their
children, Kyle Bockes and Kayla Bockes, at 833 Winwood Road, Camp Hill,
PA, from late January 2001, to mid-February 2001.
Plaintiff, Defendant, his mother and step-father, Melanie and Tom Yadouga,
and Defendant's sister, Valerie Neyer, at 121 Market Street, New Cumberland,
PA, from the date of the child's birth on March 24, 2000, to late January 2001.
18. The facts of the most recent incident of abuse aze as follows:
On about Tuesday, August 28, 2001 at approximately 10:30PM
location: Sheetz Convenience Store, 1715 Market Street, Camp Hill, PA.
As Plaintiff got into her car to leave work at the end of her shift, Defendant approached her
vehicle, reached inside the driver's side window, and tried to unlock the door. Fearing for her
safety, Plaintiff ran inside her workplace and telephoned the Camp Hill Police for help.
Defendant left before the police arrived.
19. Prior incidents of abuse that the Defendant has committed against Plaintiff or the minor children,
(including any threats, injuries, or incidents of stalking) are as follows:
On or about August 21, 2001, Defendant grabbed Plaintiff by the arm and shoved her, and
punched her on the shoulder. Plaintiff sustained soreness about her arm and shoulder, and
bruising on her arm as a result of this incident.
On or about August 16, 2001, Defendant argued with Plaintiff, yelled at her and called her vile
names, shoved the chair she was sitting on causing her to fall to the floor, slammed the chair
repeatedly against the floor breaking it into pieces, threatened to kill her and take the parties'
17-month-old child, Adam. Defendant threw a hard plastic toy at Plaintiff hitting her on the
_, e
head with it. Plaintiff sustained soreness about her head as a result of this incident.
In or about Apri12001, Defendant shoved Plaintiff about and punched her several times on her
lower back. Plaintiff sustained soreness about her back as a result of this incident.
In or about October 1999, when Plaintiff was approximately 6 months pregnant, Defendant
shoved her onto the bed and choked her causing her to gasp for air. Plaintiff sustained soreness
about her neck as a result of this incident.
From approximately February 1999, until August 24, 2001, Defendant abused- Plaintiff in ways
including, but not limited to the following: yelling and calling her names, and shoving, slapping,
punching, and choking. In addition, on almost a daily basis, Defendant demanded that Plaintiff
engage in sexual acts with him, ignored her pleas and crying for him to stop due to the physical
discomfort, and refused her requests that he use condoms. When Plaintiff refused to comply
with Defendant's demands, he often threatened her saying, "If you don't give it to me, I'll just
rape you." Defendant and members of his family told Plaintiff that he was sent to a juvenile
detention facility about 4 years ago after he raped his sister, now 14 years old, and assaulted his
mother.
20. The police department(s) or law enforcement agencies that should be provided with a copy of the
protection order are:
CAMP HII.L POLICE DEPARTMENT
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:
Camp Hill Plaza Apartments
310 April Drive, Apt. 6
Camp Hill, PA
Rented By:John Richard Neyer, Jr., Defendant, and Julie Anne Bockes, Plaintiff
23. Plaintiff has suffered out-of-pocket financial losses as a result of the abuse described above. Those
losses are:
the cost to repair damage to the wall in Plaintiffs residence as a result of the incident which
occured on or about August 16, 2001.
24. 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 children in any place where Plaintiff may be found.
b. Evicdexclude 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 children and place the following
restrictions on contact between Defendant and children:
Defendant's contact with the parties' minor child shall be suspended pending
further Order of Court after the hearing scheduled in this case.
d. Prohibit Defendant from having any contact with Plaintiff and/or minor children,
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 fmd necessary with respect to partial custody
and/or visitation with the minor children.
e. Prohibit Defendant from having any contact with Plaintiffs relatives and Plaintiffs
children listed in this petition, except as the court may find necessary with respect
to partial custody and/or visitation with the minor children.
f. Direct Defendant to pay Plaintiff for the reasonable financial losses suffered as the
result of the abuse, to be determined at the hearing.
g. Order Defendant to pay the costs of this action, including filing and service fees.
h. Order the following additional relief, not listed above:
Order Defendant to refrain from harassing Plaintiff's relatives.
Enjoin Defendant from damaging or destroying any property jointly owned by
the parties or owned solely by Plaintiff.
Order Defendant to pay $250.00 to one of MidPenn Legal Services' funding
sources to pay the cost of litigating this case.
i. Grant such other relief as the court deems appropriate.
J•
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. _,,~ ~
Respectfully Submitted by:
Agency: MidPenn Legal Services
8 Irvine Row
Carlisle, PA 17013
(717) 243-9400 or
1-800-822-5288
~,
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 aze made subject to the penalties of 18 Pa.C. S. §4904, relating to
wlsworn falsification to authorities.
Dated: ~'- ~O - ~ l 1
Jul' Anne Bockes, Plaintiff
C) -~
4 ;n
,, ,q
Ti°
(!)
~
~• `-'
.~~~
'~_ i;:s
~J
.~
.~
~a
09/05/01 VPED 15:29 FA% 717
T%/R% NO
INCOMPLETE T%/R%
TRANSACTION OR
ERROR
6573 CURB CO PROTHONOTARY
a~x~w MULTI TN REPORT ~*x
*~ka~~~ts*asx~~xs*~as~x~a~~t*~R
2788
[ O119p2490779
[ 03]9p2405331
I~j 001
PSP
CP
4
OFFICE OF THE PROIHONO'CARY
CLIN03ERLANp CO[IN'lY CWRTHWSE
ONE Ct7fJRTHWSE SQUARE
CARLISLE. PA. 17013-3387
(717) 240-6195
FAX (717) 24D-6573
V I A T E L E C O P I E R
Tp: PA STATE POLICE - CC~-~• r ~Oi4CS-.- M, p ~.S•
FAX q: 717-249-0779 ~ -'
FROM:
RE:
t'0='SSAGE
CURTZS R. LONG
PFA ORDERS
BK1. OF PAGES (IPPrLUDING COVER 5[{EE'I)
This 0 ]S intad3d S711.y fcx trE iFx= of the irclivicial 4r a~tity hn cdridl is is acrd. c7fd ~i'
aalt.~(n infanetim (Y~t is lxivilee~tl, ernfidalt~al. 8rd P~~pt &an dLgelo~t.rce uC~ 1a"'. CF
d~ ~ tltis is not the intHt}3G reclp~lt. Y~ a<e trxet~ mfifia3 that d'y di9tnutk~~.
rl;ew;r~rr;rn cr o~irx3 of this cxmruuca'`:m 3s strictly pmhihiit~cl. [f yo.~ h~.e x~ei~ed ~}us
p70nc~i[.3:~im in pr's'. p7i0cc~ nati_CY is irrtteclia4~Y bi' teJ.e~i'is~ atl cet~n tt~ - ~ u; at
.a.+ :a.-. .. rLiro~c .ria N't~ •:.5'_ TiT.tr7~ 4~NiCP._ ~C KAI.
JULIE ANN BOCKES, : In the Court of Common Pleas of
Plaintiff
CUMBERLAND County,
:PENNSYLVANIA
v.
Civil Action -Law
: No. 01-5240
JOHN RICHARD NEYER, JR.,
Defendant :Protection From Abuse and
: Custody
FINAL ORDER OF COURT
Defendant's Name is: JOHN RICHARD NEYER, JR.,
Defendant's Date of Birth is: March 23,1981
Defendant's Social Security Number is: 159-66-6843
Name(s) of All protected persons, including Plaintiff and minor children:
1. JULIE ANN BOCKES
AND NOW, this(3,th Day of September, 2001 the court having jurisdiction over the
parties and the subject-matter, it is ORDERED, AD7IJDGED and DECREED as
follows:
Plaintiff, Julie Ann Bockes, is represented by David A. Lopez and Joan Carey of
MidPenn Legal Services; Defendant, John Richard Neyer, Jr., is unrepresented, but
has been advised of his right to counsel in this matter.
Defendant, although agreeing to the terms of this Order, does not admit the
allegations made in the Petition for Protection From Abuse.
Plaintiff's request for a fmal protection order is granted.
'~s'Se;+ssnv3~e~~+tas-~&~~P .sv- i...ta^::mmst i' tx.<n..:vs.,:::
~.tN~~n~b~v~ ~3d
-=~:~~~
v~':z ~~~d ~/ d35 t0
~l~',~C;;,; ~~,
L1_jrr;~j~,' ~'0
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 completely evicted and excluded from the residence at:
Camp Hill Plaza Apartments
310 April Drive, Apt. 6
Camp Hill, PA
or any other residence where Plaintiff or any other person protected under this
Order may live. Exclusive possession of the residence is granted to Plaintiff:
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.
3. Except as provided in Paragraph 5 of this Order, 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 current residence listed above and any other residence that she may
establish for herself during the term of this Order.
Plaintiffs current place of employment listed below, and any other place
where Plaintiff maybe employed during the term of this Order.
Sheetz Convenience Store
1715 Market Street
Camp Hill, PA
The day care provider/facility of the minor child.
4. Except as provided in Paragraph 5 of this Order, 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.
5. Custody of the following minor children:
1. ADAM CHRISTOPHER BOCKES
shall be as follows:
Primary physical custody of the minor childJren is awarded
to the Plaintiff:
Defendant shall have supervised visitation with the parties'
minor child through The Visitation Program at the Carlisle
YWCA at 301 G Street, Carlisle, PA 17013. Defendant may
obtain detailed information about the program and must
contact the program to schedule an appointment to initiate
the visitation process (717) 243-3818.
6. The following additional relief is granted as authorized by §6108 of the Act:
Defendant shall not have any contact with Plaintiff s relatives.
Defendant shall not harass Plaintiff s relatives.
Defendant shall not damage or destroy any property jointly owned by the
parties or owned solely by Plaintiff.
The court costs and fees are waived.
7. A certified copy of this Order shall be provided to the police department where
Plaintiff resides and any other agency specified hereafter:
CAMP HILL POLICE DEPARTMENT
8. THIS ORDER SUPERSEDES:
1. ANY PRIOR PFA ORDER
2. ANY PRIOR ORDER RELATING TO CHILD CUSTODY
9. All provisions of this order shall expire on: MarchP~ 2003
NOTICE TO THE DEFENDANT
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 SLY
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 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 RECEII'T OF FIREARMS OR
AMMUNITION.
NOTICE TO LAW ENFORCEMENT OFFICLAI,S
The police who have jurisdiction over the plaintiffs residence OR any location where
a violation of this order occurs OR where the defendant maybe located, shall enforce
this order. An arrest for violation of Paragraphs 1 through 5 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. §61 i3.
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 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.
This Order is entered pursuant to the consent of Plaintiff a efeyndant:
0 i... /C ~ ,~'
Ju '/ u~, Bocke~ laip ff ohn Richazd Ney ., Defendant
MidPenn Legal Services
Distribution to:
MidPenn Legal Services ~ (~~
8 Irvine Row, Carlisle, PA 17013 ~~
John 12ichazd Neyer, Jr., Defendant ~ A O.,i 9. /3 d/
C/o Melanie and Tom Yagouda "~Y' '
121 Market Street, New Cumberland, PA 17070
FAXed and mailed to PSP ` C°. p ~ iiz p,t s
JULIE ANN BOCKES,
Plaintiff
vs.
JOHN RICHARD NEYER, JR.,
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
NO.OI-5240 CIVIL TERM
PROTECTION FROM ABUSE AND CUSTODY
CUSTODY ORDER
AND NOW, this ~_ day of September, 2001, the following-Order is entered by consent of
the parties with regard to custody of the parties' child, Adam Christopher Bockes.
1. Plaintiff, hereinafter referred to as the mother shall have primary physical and legal
custody of the child.
2. Defendant, hereinafter referred to as the father, shall have supervised visitation with
the child at the Carlisle YWCA's visitation program at 301 G Street, Carlisle, PA 17013. Defendant
may obtain detailed information about the program and must contact the program to schedule an
appointment to initiate the visitation process (717) 243-3818.
3. The mother and father, by mutual agreement, may vary from this schedule at any
time, but this Custody Order extends beyond the expiration of the above-captioned Final Order of
Court and remains in effect pending further Order of Court regarding custody.
By
This Order
George E. Hoffer, ~sident Judge
to the consent of Plaintiff
Defendant
David A. Lopez, Attorney for
MidPenn Legal Services
_-.-n"S5*c54~ M,..~: 34 fi.mt5i .3t re+~14H~ ~*N. sc:.d Jer ..,,~~ x. [~ ~t a.#iw4Fd~i~it4n1WY1KSt3YY4 °5c'e. `-' :W
w
7 ~ r~~l~~~~~~SI ~!1_~~ r~
1 _~ .: _. i ''~~~y~J°iU
,,,, _ ,:
aid-,tr;.L-; ,~_~
~' 09/13/01 THU 14:33 FA% 717 240 6573 ~ ~ ~~ ~- ~ `°~~'~~
CUMB CO PROTHONOTARY
C~j 001
T%/R% NO
INCOMPLETE T%/R%
TRANSACTION OR
ERROR
YB~d:ffi ~~ffiffi~~8ffi%kN~g 8~k8 ~~%&8ffiYR~
ffi*~ MULTI TN $EPORT ~,~~ `
~`**~~*x~~~sa~~~sraa~m~~as~sxm:~a
2803
[ O1]9p2490779
[ 03]9p2405331 PSP
[ 04]92438026 CP
LS
i
OFFICE OF 'IHE PRdCHONCYCARY
CUMBEkLAND COUN7Y COURTHOUSE
ONE COURTHOUSE 5QUARE
CARLISLE, PA. 1,7013-3387
(717) 240-6195
FAX {717] 240-673
V I A T E L E C O P I E R
1`O; QA STATE POLICE ~ ~6u~. I`IPOCCt=.• M./~, ~,.•S•
FAX N: 717-249-D779
FRCM; CURTIS R. LONG
RE: PFA ORbERS
t~5tvnGE
NO. OF PACTS (IN'.:'LUDING ('CTBR SHEET)
1Yris = is int~rdc~l rn1y ficg ]#~ lse of tie it[iiv7id~1 a entity to 4twY1 is Ss ad31. aXt +~S'
ctn~vn infranat5m tt~t is pdvil~ed, c~Sd~ial ad eseirpt 5vn dis-Irg~.? u~r ~ ]s•~. [f
tl-e n~c~ rff dus R is r~ d:e inte,#] r~in~, you aye ~ mt9fi~] tint ary das~~~.
ri;~-r;r~,rsn ~ c~yirx,] of this ca~mru~itn i.~ s~.-tly ptdiitxit~d- If }cu te~.e ~aoei~ed uus
-- ~ .,._~.,., w. k.7~-.-.,~ am9 r~hn.'n d~ rimnal ~'~ at
SHERIFF'S RETURN - REGULAR
CASE N0: 2001-05240 P
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND
BOCKES JULIE ANN
VS
NEYER JOHN RICHARD JR
RICHARD SMITH Sheriff or Deputy Sheriff of
Cumberland County,Pennsylvania, who being duly sworn according to law,
says, the within PROTECTION FROM ABUSE was served upon
NEYER JOHN RICHARD JR
the
DEFENDANT at 0014:55 HOURS, on the 6th day of September, 2001
at C/O MELANIE & TOM YADOUGA 121 MARKET ST
NEW CUMBERLAND, PA 17070
JOHN NEYER JR
by handing to
a true and attested copy of PROTECTION FROM ABUSE
& CUSTODY. TEMP PFA, PETITION
together with
and at the same time directing His attention to the contents thereof.
Sheriff's Costs:
Docketing 18.00
Service 11.70
Affidavit .00
Surcharge 10.00
.00
39.70
Sworn and Subscribed to before
me this ~3w day of
„~,`~ rev A . D .
R ~ ~~,
iothonotary
So Answers:
R. Thomas Kline
08/07/2001
By:
eputy Sheriff