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TANYA RUDA, IN THE COURT OF COMMON PLEAS
PETITIONER OF CUMBERLAND COUNTY
COMMONWEALTH OF PENNSYLVANIA
V.
CIVIL ACTION - LAW
JASON M. RUDA NO. 99 - 4319
RESPONDENT PROTECTION FROM ABUSE
PROTECTIVE ORDER
AND NOW, this 1 Stday of August 1999, upon agreement of the parties and without
an admission of abuse by the Respondent, Petitioner, TANYA RUDA, and her minor children
now residing at 139 Bridge Street, New Cumberland, Cumberland Codnty, Pennsylvania 17070
are entitled to a protective order against the Respondent, JASON RUDA. The following
Permanent Order for a period of one (1) year is entered.
The Respondent, JASON RUDA, now residing at 1133 Rana Villa Drive, Camp Hill,
Cumberland County, Pennsylvania 17011 is hereby enjoined and restrained from physically
abusing the Petitioner, TANYA RUDA, or her children, or placing them in fear of abuse and is
hereby excluded from the residence located at 139 Bridge Street, New Cumberland, Cumberland
County, Pennsylvania. The Respondent is hereby notified that if he resides in the Petitioner's
residence contrary to this order, he may be in indirect criminal contempt which is punishable by
a fine not to exceed $1,000.00 and/or by a sentence of up to six (6) months in jail or any other
appropriate punishment. Resumption of co-residence on the part of Petitioner and Respondent
shall not nullify the provisions of this court order directing the Respondent to refrain from
abusing the Petitioner or her minor children. The Respondent shall seek modification (change)
of this order before resuming residence in the Petitioner's domicile.
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Ps%,.\tSYLNANIA
The Respondent is ordered to refrain from having any contact with the Petitioner
including but not limited to restraining the Respondent from entering the place of employment of
the Petitioner or from harassing the Petitioner, her parents or minor children.
Any contact between Respondent and Petitioner shall be solely for custody and visitation
with the parties' two (2) minor children, Ivy Ruda (D.O.B. 8/21/97) and Hope Ruda (D.O.B.
8/16/95). Respondent is permitted to be at the marital residence located at 139 Bridge Street
solely for the purposes of custody and visitation and with the express consent of the Petitioner.
Pending further Order of Court, Respondent shall enjoy visitation every other Saturday from
9:00 AM to 3:00 PM. It is noted that Petitioner was already awarded primary physical custody
and shared legal custody with Respondent on July 8, 1999 by Order of the Honorable Kevin A.
Hess to Docket Number 99 - 1568 Civil (Cumberland County).
In light of the pending divorce action Respondent is permitted to inspect the marital
residence located at 139 Bridge Street, New Cumberland, Pennsylvania upon fourteen (14) days
advance written notice to Steven Howell, Esquire. Respondent's inspections are solely for the
purposes of protecting his interest in the marital real estate to ensure that it is not being dissipated
or being kept in a state of disrepair.
This Order modifies an earlier Order of Court dated April 16, 1999 in which the
Honorable Kevin A. Hess prohibited the Respondent from changing door locks or hindering in
any way the Petitioner's access and use of the marital residence as her home. This Order is
docketed to the divorce action Number 99 - 1568 Civil (Cumberland County).
The New Cumberland Police Department and local 911 county control shall be served
with a copy of this Order. This Order shall be enforced by any law enforcement agency where a
violation occurs by arrest for indirect criminal contempt without warrant upon probable cause
that this Order has been violated, whether or not the violation is committed in the presence of the
police officer. In the event an arrest is made under this section, the Respondent shall be taken
without unnecessary delay before the court that issued the order in accordance with 23 Pa. C.S.A.
§6113.
BY THE COURT:
Certified Copies To:
Steven Howell, Esquire
619 Bridge Street
New Cumberland, PA 17070
Jason M. Ruda
1133 Rana Villa Drive
Camp Hill, PA 17011
New Cumberland Police Department
911 County Control
Pennsylvania State Police
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•WESLE ER, JUD E
JUL 1 9 ?999W
TANYA RUDA, IN THE COURT OF COMMON PLEAS
PETITIONER OF CUMBERLAND COUNTY
COMMONWEALTH OF PENNSYLVANIA
V.
CIVIL ACTION - LAW
JASON M. RUDA NO. g9 J43 /9 ?l v t ` l?/L!r
RESPONDENT PROTECTION FROM ABUSE
TEMPORARY PROTECTIVE ORDER
AND NOW, this 6LAday of July 1999, upon presentation and consideration of the
within Petition and upon finding that the Petitioner, TANYA RUDA, and her minor children
now residing at 139 Bridge Street, New Cumberland, Cumberland County, Pennsylvania 17070
are in immediate and present danger of abuse from the Respondent, JASON RUDA, the
following Temporary Order is entered.
The Respondent, JASON RUDA, now residing at 1133 Rana Villa Drive, Camp Hill,
Cumberland County, Pennsylvania 17011 is hereby enjoined and restrained from physically
abusing the Petitioner, TANYA RUDA, or her children, or placing them in fear of abuse and is
hereby excluded from the residence located at 139 Bridge Street, New Cumberland, Cumberland
County, Pennsylvania. The Respondent is hereby notified that if he resides in the Petitioner's
residence contrary to this order, he may be in indirect criminal contempt which is punishable by
a fine not to exceed SI,000.00 and/or by a sentence of up to six (6) months in jail or any other
appropriate punishment. Resumption of co-residence on the part of Petitioner and Respondent
shall not nullify the provisions of this court order directing the Respondent to refrain from
abusing the Petitioner or her minor children. The Respondent shall seek modification (change)
of this order before resuming residence in the Petitioner's domicile.
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TANYA RUDA, IN THE COURT OF COMMON PLEAS
PETITIONER OF CUMBERLAND COUNTY
COMMONWEALTH OF PENNSYLVANIA
V.
CIVIL ACTION - LAW
JASON M. RUDA NO. (?q- 4319
RESPONDENT PROTECTION FROM ABUSE
PETITION FOR PROTECTIVE ORDER &
EXCLUSIVE POSSESSION OF MARITAL RESIDENCE UNDER THE
PROTECTION FROM ABUSE ACT 23 P.S. §6101
Petitioner is Tanya A. Ruda an adult individual residing at her marital residence
located at 139 Bridge Street, New Cumberland, Cumberland County, Pennsylvania 17070.
2. Respondent is Jason M. Ruda an adult individual residing at his grandmother's
house located at 1133 Rana Villa Drive, Camp Hill, Cumberland County, Pennsylvania 17011.
3. Petitioner and Respondent were married on July 29, 1996 and have two (2)
children, Hope Ruda (D.O.B. 8/16/95) and Ivy Ruda (D.O.B. 8/21/97), residing with the
Petitioner in the marital home.
4. Respondent has engaged in the following violent acts including threats of physical
violence and intimidation since March 17,1999.
a. Cutting up Mrs. Ruda's clothing with a razor blade;
b. Throwing Mrs. Ruda's clothing into Bridge Street allowing the articles to
be driven over by vehicles;
C. Changing the door locks without providing a key to Mrs. Ruda;
d. Pushing Mrs. Ruda across the room in front of the parties' two minor
children in an effort to intimidate and injure Mrs. Rude;
e. Demanding sexual favors despite the filing of the Divorce Complaint;
Calling Mrs. Ruda a "bitch" and "whore" in front of the two minor
children;
g. Instructing the children to call their mother an "asshole" and telling her
that they hate her;
h. Spitting in her face;
Spilling a half gallon of ice tea on Mrs. Ruda;
Throwing Mrs. Ruda's cellular telephone across the room into a wall;
k. Threatening to kill Mrs. Ruda if she did not walk away from the home and
her children;
Pulling Ivy's arm so hard that she needed to be taken to Holy Spirit
Hospital; and
in. Destroying furniture and fighting with Plaintiffs friends.
5. On July 9, 1999 an Emergency Protection from Abuse Order was entered by the
Honorable David F. Perkins following an incident in which the Respondent arrived at the marital
home in a drunken state, began a fight with the Petitioner and friends and came to stop traffic in
the middle of Bridge Street as he threatened to cause physical violence. The New Cumberland
Police Department issued citations to the Respondent and assisted in the Emergency Protection
from Abuse Order. A true and correct copy of the Order is attached hereto as Exhibit "A".
6. Petitioner believes that she and the children are in immediate and present danger
of physical and emotional abuse from the Respondent should they remain in the marital home
without Respondent's exclusion.
2
7. Petitioner desires that the Respondent also be restrained from entering her place of
employment and having any contact with her, harassing the Petitioner or Petitioner's relatives.
8. Petitioner and Respondent have entered into an Order of Court regarding custody.
A true and correct copy is attached hereto as Exhibit "B".
9. Petitioner seeks the immediate exclusion of the Respondent from the marital
residence which the parties own jointly by deed.
10. Petitioner desires that the children remain with her in the marital residence.
11. Respondent's threats make it impossible for Petitioner and the two (2) minor
children to remain in the marital residence without the exclusion of the Respondent.
WHEREFORE, Mrs. Ruda respectfully requests an Order granting her and the children
a Protection from Abuse Order and exclusive possession of the marital residence.
Respectfully
BY:
619 Bridge Street
New Cumberland, PA 17070
(717) 770-1277
(717) 770-1278 Telecopier
Supreme Court I.D. 62063
CERTIFICATE OF SERVICE
I hereby certify that on the date set forth below a true and correct copy of the foregoing
document was served upon all counsel of record via postage prepaid, first class United States
Mail addressed as follows:
Jason Ruda
1133 Rana Villa Drive
Camp Hill, PA 17011
The Respondent is ordered to refrain from having any contact with the Petitioner
including but not limited to restraining the Respondent from entering the place of employment of
the Petitioner or from harassing the Petitioner, her parents or minor children.
This Order shall remain in effect until a final order is entered in this case. A hearing shall
be held on this matter on the a? tZ day of 1999 ally" M. in
Courtroom Number L-, Cumberland County Courthouse, Carlisle, Cumberland County,
Pennsylvania 17013.
The Cumberland County Sheriff shall attempt to make service of this order upon the
Respondent at the residence located at 1133 Rana Villa Drive, Camp Hill, Cumberland County,
Pennsylvania 17011.
The New Cumberland Police Department and local 911 county control shall be served
with a copy of this Order. This Order shall be enforced by any law enforcement agency where a
violation occurs by arrest for indirect criminal contempt without warrant upon probable cause
that this Order has been violated, whether or not the violation is committed in the presence of the
police officer. In the event an arrest is made under this section, the Respondent shall be taken
without unnecessary delay before the court that issued the order in accordance with 23 Pa. C.S.A.
§6113.
BY THE COURT:
VERIFICATION
I hereby verify that the statements made in the foregoing document are true and correct to
the best of my knowledge, information and belief. I understand that false statements herein are
made subject to the penalties of 18 Pa. C.S.A. §4904, relating to unsworn falsification to
authorities.
BY:
Tany A. Ruda
Date: 7- / J, q q
07/09/90 00:40 FAX 7i' 632 3308
JUL-08-1889 FR' 12:09 AM vcNTRAI. PROCESSING
Of/00/N 19:18 Pai 717 630 430!
WMDMA' 09-S-01
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To. vnoaRe on
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3Q /7787.0261
EXHIBIT
DJ 00-3-01
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FAX N0. 8752186 P. 01
09-3-81
Meal
ABTMON FOR PANAg y
P,AW R"r- tRa A9lISE
?MWYK ta9wm A. Ruda 1
139 Erldga at.
L N9Mv C"barlaad. Pa. 17070
J
aifE?fDA?lrt V8.
r Jason M. Ruda aaaarnamm
139 Eridga gr. alOa ?' 1+?-l S 1
ROW Cumberland, Pa. 17070
L5YFA- t9S68?G31 q
07/09/99 00:02 TX/RX NO. 3080
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P.001 ¦
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'lANXA A. RUDA,
Plaintiff
Vs.
JASON M. RUDA,
Defendant
40
IN THE COURT OF COMMON PLEAS OF
. CLVEERLAND COUNTY, PENNSYLVANIA
: NO. 99-1568 CIVIL TERM
: CIVIL ACTION - LAW
IN CUSTODY
aMK)DY CUNCILIATIC N MMARY REPORT
IN AOCORDANM WITH C MWRLAND COMET R= OF CIVIL. PRDCM13tE
1915.3-8, the undersigned Custody Conciliator submits the following report:
1. The pertinent information concerning the Children who are the
subjects of this litigation is as follows:
W94E DATE OF Bnm CURREN7!LY IN CUSTODY OF
Hope Ruda August 16, 1995 Mother
Ivy Ruda August 21, 1997 Mother
2. A Conciliation Conference was held on June 30, 1999, with the
following individuals in attendance: The Mother, Tanya A. Ruda, with her
counsel, Steven Howell, Esquire. Although the Father, Jason M. Ruda, was
represented by Keirsten L. Walsh, Esquire at the time that the Conciliation
Conference was scheduled, the Mother's counsel has since been advised by Ms.
Walsh that the Father is no longer represented. The Father did not attend
the Conciliation Conference. The Father was served by certified mail on
March 29, 1999 with a copy of the Custody Complaint and Conciliation
Conference Notice.
3. The Conciliator recommends an Order in the form as attached based
upon representations made by the Mother and her counsel at the Conference
indicating that the parties have been working out custody arrangements by
agreement on an ongoing basis.
3 v
Date Dawn S. Sunday, Esquire
Custody Conciliator
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TANYA A. RUDA,
Plaintiff
VS.
JASON M. RUDA,
Defendant
..0
: IN THE COURT OF COMMCN PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
: NO. 99-1568 CIVIL TERM
: CIVIL ACTION - LAW
IN CUSTODY
ORDER OF COURT
AND NOW, this 8tL day of 1999, upon
consideration of the attached Custody Conciliation eport, it is ordered and
directed as follows:
1. The Mother, Tanya M. Ruda, and the Father, Jason M. Ruda,
shall have shared legal custody of Hope Ruda, torn August 16, 1995, and Ivy
Ruda, born August 21, 1997. Each parent shall have an equal right, to be
exercised jointly with the other parent, to make all major non-emergency
decisions affecting the Children's general well-being including, but not
limited to, all decisions regarding their health, education and religion.
2. The Mother shall have primary physical custody of the
Children.
3. The Father shall have liberal periods of partial custody with
the Children as arranged by agreement of the parties.
4. The Father shall not remove the Children from the Commonwealth
of Pennsylvania without the prior written consent of the Mother.
5. The Father may appeal this order within 30 days from the date
of its entry.
BY THE COURT,
,s/ ez . J.
cc: Steven Howell, Esquire - Counsel for Mother
Jason M. Ruda, Father
Keirsten L. Walsh, Esquire
EXHIBIT
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Prothonotaly
TANYA RUDA, IN THE COURT OF COMMON PLEAS OF
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
V. 99-4319 CIVIL TERM
JASON M. RUDA,
Defendant PROTECTION FROM ABUSE
?i ORDER OF COURT
AND NOW, this 9th day of August, 1999, upon
consideration of Plaintiff's Petition for Protective Order and
Exclusive Possession of Marital Residence under the Protection
From Abuse Act, 23 P.S. Section 6101, and following a proceeding
i
i at which the parties have reached an agreement which has been
outlined by Plaintiff's counsel, Steven Howell, Esquire, and
I
which will be reduced to a proposed court order for the Court's
signature, the matter is taken under advisement, the temporary
protective order dated July 19, 1999, shall remain in full force
and effect pending further order of court, and counsel is
requested to submit a proposed order to the Court incorporating
the terms of the parties' agreement.
By the Court,
Steven Howell, Esquire
619 Bridge Street
New Cumberland, PA 17070
Attorney for Plaintiff
Jason M. Ruda
1133 Rana Villa Drive
Camp Hill, PA 17011
Defendant, Pro se
Sheriff
Victim - Witness
JJ,W4esiey O
Jr., J.
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SHERIFF'S RETURN - REGULAR
CASE NO: 1999-04319 P
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND
RUDA TANYA
VS.
RUDA JASON M
SGT. DAVID ZEIGLER Sheriff or Deputy Sheriff of
CUMBERLAND County, Pennsylvania, who being duly sworn according
to law, says, the within ORDER OF COURT, TEMPORARY
was served
upon RUDA JASON M
defendant, at 12:25 HOURS, on the 28th day of July the
1999 at CUMBERLAND CO SHERIFF'S DEPT 1 COURTHOUSE SQUARE
CARLISLE, PA 17013
CUMBERLAND
County, Pennsylvania, by handing to JASON RUDA
a true and attested copy of the ORDER OF COURT, TEMPORARY
together with PROTECTIVE ORDER, PETITION FOR PROTECTIVE ORDER
and at the same time directing His attention to the contents thereof.
Sheriff's Costs:
Docketing
Service
Affidavit
Surcharge
18.
00
.00
So answers
.00
8.00 ine, eri
07/29/1999
by
e u eri
Sworn and subscribe to before me /
this -49'`- day of
199_ A. D.
??Fro onoono a??
JUL-09-1999 FRI 12:09 AM CENTRAL PROCESSING
07/0e/9e 20:35 PAZ 717 502 3300
COMMONWEALTH OF PENNSYLVANIA
FAX NO, 9752188 P. 01
DJ 00-3-ol ®ool
09-3-01
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^°°"-: 01 ll7l m= gWrz= ROAD
' ' 4.0. "811Rr?361
•. Issixtl't?ENBBma PA. 27257-0361
T.*i..,(717432-7671
PETITION FOR EMERGENCY
PL M.: RELIEF FROM ABUSE
I--MrsYA K""A tIums
Tarim A. Ruda
139 Bridge at.
I-New Cumberland, Pa. 17070
DQFENDANT: e,,.? rem"
rJaeon H. Ruda X03 1-(- )y-7 $
139 Bridge St.
Now Cumberland, Pa. 17070
Docket No.:
Data Ffled:ZT u Y? q 19 ARM
n PLAINTIFF REOUaaTS 00WIDENTIAIJTY OF
I Tayflla A. Ruda Pe7ITATN QF THE PLAINTIFF
r'Iei.nln,Nls.oh?a bse , hereby petition for emergency relief from abuse
(3 'on behalf of myself
to on behalf of the following (chill) (children) to whom I am a (parenq (adult household member) (guardtan)
? on behalf of the following incompetent adult to whom I am V ardlan
Ruda
t. New
Emwoeney relief tram abuse is required because flare is Immediate and
defendant to (me) and to the above listed (shad) (children) (Incompe"nt
RsFmot of WV RU hOriM.)on s as0enm
,numb AS an DX pent he
cause that it Is necessary to proted the
it is necessary to Issue at p.nmctW order. 0 -
of abuse by the
Having found upon good cause shown that ACTION ISSUING AUTHORITY
ry prated the IPIeInOtq end abotre listed {Ndid) (cMldren)
EklanrgMaNLamtly, (have taken the roilowing talon on this pettion:
OMered the defendam ro rehein Irom abusingthe plaifltllf arw/er minor child, ehlklren, incompetent adult
Ordered tM dafentlent to retrain hem having any contact with the plaint17f or minor children, Including restraining
the tlelsndant Irem entering the pPlace OI empbymem or tan:iness of school d plainOtt or minor chlift and }rpm
hereastng ptainBtt, plalntlMa rolauves or minor ehiklren. /39 (?, lp?E, „?Q szclrlJ- (-1O T O
,?Orderod the evlc8on of the detendam tram the (bwusshold) (residence) sIt _ ty¢w curn raalArc (?)
t?.w
? Ofdorod rostoreticn of poaaoaalon to the (household) (resldgnce) at (00
? Albwed the defandaMto provide culfable. alternate houatng by consent agreem t. ? , ? ? , Sn
To: (Sheribf) (Constable) (Police Officer) (Police DepaHrneoO. In compliance with
the order(s) appearing above, you are hereby directed ;K to evict T P,S O t l TA. R v.D Q
from the promises at / mil D? E szr N E W cu mgt 41aa 0 r" .F "V
(and) ? to restore premises
r"A In a *Ukv r
from Agues
Md
7
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1
07/09/99 00:02 TX/RX NO.3080 P.001 0
TANYA RUDA, IN THE COURT OF COMMON PLEAS OF
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
V. 99-4319 CIVIL TERM
JASON M. RUDA,
Defendant PROTECTION FROM ABUSE
ORDER OF COURT
AND NOW, this 26th day of July, 1.999, upon
consideration of the Petition for Protective Order and Exclusive
Possession of Marital Residence under the Protection from Abuse
Act, 23 P.S. Section 6101, and the Plaintiff, Tanya Ruda, having
appeared in court for the hearing scheduled in this matter on
today's date with her counsel, Susan K. Candiello, Esquire, and
the Defendant having failed to appear, and it appearing that
service of the petition and notice of the hearing date may not
have been effected upon the Defendant at this time, the hearing
in this matter is continued until Monday, August 9, 1999, at
9:30 a.m., and the Plaintiff is requested to serve the Defendant
with the petition, Temporary Protective order, and notice of the
rescheduled hearing.
Pending the rescheduled hearing, the Temporary
Protective Order dated July 19, 1999, shall remain in full force
and effect.
By the Court,
J?/Wesley O?er, Jr.„ J.
1,
Susan K. Candiello, Esquire' Jason Ruda
Counsel for Plaintiff 1133 Rana Vill Drive
Camp Hill, PA 17011
Steven Howell, Esquire
Sheriff Cs, - -U?, cl<(,.<roi W.274f,
Victim - Witness
:srs
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PENT ,S9!!;F' 41
TANYA RUDA, : IN THE COURT OF COMMON PLEAS OF
Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA
V.
NO. 99-4319 CIVIL TERM
JASON M. RUDA,
Defendant CHARGE: INDIRECT CRIMINAL CONTEMPT
ORDER OF COURT
AND NOW, this kl day of December, 1999, 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 of the Defendant, JASON M. RUDA.
If the 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,
G;
esley Oler Jr./ J'
Jonathan R. Birbcck
Chief Deputy District Attorney
JASON M. RUDA
COP c. .
FILET}.?17
C: r? ;:r : IT'
99 DEC - f N; 3: 35
Cut:1 ;_? _!urr
TANYA RUDA, : IN THE COURT OF COMMON PLEASOF
Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA
V. :99-4319 CIVIL
JASON RUDA,
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 of Indirect 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 of this 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 of Indirect
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 of this 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.
01/07/f991 21:12 717-77d-5758
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF: fastbarlatld
Distrim ate: 09-1-01
cj N j" A. = w sL JY-.
1106 CsrllBle Rd.
CMP Hill, PA 17011
(717) 761-4940
et No.:
Filed:
WAte
Slade I U now'*
195-68-6319
Platen lamb= RaG I Ryi-GC? Stidaoam) I Rao
1999-11-346
7
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District Attorney's Office Approved Fj Disapproved because:
U" h R ?aP. 107.) ehs aaplaiDt, arraet ,sosane affidavit. or both be iiotdW W tlr deon,ey for
dm a'amwulfh Prix r,.
• P yr RinC @ 7Y(m
I, TRACY R M1470- of Att-W for ) ?-
R7'Ar3
of toeriee: wrye uaamr/r.o. )
(IdaY1Ly LIYUr,? I,i 10
Ayre,YwS mN eo3lelesl JRalwlnml IPO11ce AgdY.y CitI ftiiguaCUg Agmlty Qea Maw=tOG)
CIO hereby saber)
state.(check the appruprbate Lux)
1. ® I aemaa tha Ahnva natnod dolondant, who lives at the addraae lot forth above
? I accuse an defendant whose name is unknown to me but who is described as
O I accuse the defendant whose name and popular designation or nickname is unknown to and whom I have
therefore designated as John Doe me
with violating the penal laws of the Commonwealth of Pennsylvania at NEW QZ49ERIAND BORC(JC;FI
139 ERIDGE Sr.
(Place-Poliefoal d+lxhv,aiml
in S-2$lAW County on or about 28-9&-99
Participants were: (if there were participants, place their names here, repeating the name of the above defendant)
sasoN M• ?mn_
2. The acts committed by the accused were:
th earth a ?Y ar er rift! aurraeim,t Co a*v the the fdY6 of the Mfta of Chi offense
vithw,e eon, is rot m+rfleim,C. in a aumr oew, You m,et Nita w dW of tA dt to w olwcute ellegadly vlolemd
O'NI , Vr as .ection vd a6wetim or the r:cnLUt, or alepMly Halxwl
m, ord?
IDID?T CRIly m
AEUSE OR M #99-4319, AUGUST-21-99, A FINAL ORD DjL ? TMT TM T FROM
DEFFENO T DID ENIER THE HavE AT 139 SP-MM ST ON 28-NOV-99 W.ITKR]T THE PERNIISSICN
FROM TANYA RIM AND DID THIS WTIHXT VISTTIATICN OF THE CHILDREN, THIS ACT IS IN
DIRB= VIOLATION OF THE COURT ORDER, IN VIOLATION OF 23PA C.S.A.6113
N. C. P. D.
. PAGt 02
MLICE
CRIMINAL COMPLAINT
0uQm171fwnALTn or r rEwf rr vAmIA
DEFENDANT: V8
r NAME and ADDRESS
JASON M. R= 1133 Pju'm VILLA AV2,
CMW HILL, PA. 17019
L
AM 412.14/9{) fnnaaart Va iora 1-8
01/07/1991 '21:12 717-774-5758
N. C. P. D.
(Continuation of 2.)
Defendant Name: JAsm M. Raw
Docket Number.
PAGE ' 03
POLICE
CRWHNAL COMPLAINT
all of which were against the peace and dignity of the Commonwealth of Pennsylvania and contrary to the Act
of Assembly, or in violation of 6113
_ or the C.S.A. 1
(Section) (Sub-saetion) (PA Statute) (counts)
P' of the
(Section) (nub-Section) (PA Statute) (counts)
7. of the
(Section) (Sue-betien) (PA Statute) (eountal
e' of the
(Section) (Sub-Section) (PA Statute) (eountP)
9. I ask that a warrant of arrest or a summons be issued and that the defendant be required to answer the charges
I have made. (In order for a warrant datrest to ieeae, the allwhed affidavit of probable cause must be completed
and SWUM to btdora the larping aathoeity.
4. I verify that the facts at forth in this complaint are true and correct to the beat 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.
14904) relating to unworn falsification to authorities.
(SS ure o Arrsent)
AND NOW, on this date I certify the complaint has been properly
completed and verified. M avlt o pro a e cause court a completed in order for a warrant to issue. RPAT
Magisterial etr at7 Lau ny thority)
WPC 412-(4/2a)(Intemet version) 2-8
01/07/1991 21:12 717-774-5758 N.C.P.D. PAGE 04
Defendant Name: JASON M. KIDA
Docket Number.
AFFIDAVIT of
Oong./Inc. NO. 1999-11-346
POLICE
CRIMINAL COMPLAINT
AUSE
CN 08 NOV OD AT ArTRCKII•p\ZRf 2230 IJ"Z TFi jM RUDA CALLCD mw pOLICa fWD
RELATED THE FOLLOWIM IT TICN IN A POSSIBLE VIOLATION OF A P.F.A.
SHE S= THAT ON MS MY AAOUT 1200 HOURS JASON RLDA'S M MIER =M AND
PICKEa UP THEIR TND MUM C3D7IJZEN, HOPE, AGE 4 AIM IVY, AGE 2, AND TOOK 'n M FROM
THE BABYSI'TTBIT, KRYS171L, nTNM.
ABOCTT 1800 MIRS JASON RIIDA ALOM WITH HIS GIRLFRMM DROPPED THE GIRLS OFF AT
THE HOCISE. JASON AND TEE GnUZRIM ENTERED THE mum AND THEY WENT INIO Tim KT1C}m
ADD GOT APPIM FOR 7HU6ELVES AM HOPE.
JASON ADD THE GIRLFRIEM WENT TD THE OIDCH AND ENGAGED IN WHAT APPEARED TO THE
GIRLS AS A SE 0%L ACT WITH THEIR CSOIHING ON. THE GIRLFRIEM GRABBED JASO NI S BELT
AND TOLD If THIS HOW YOU CHOICE DADDY'S C RICKEN. JASON ADD THE GIRLFRIED TMM WENT
UP S kIRS TO THE BATIROCM AND DOPE FOLLCWRD TM.
HOPE OP3tW THE BATHROOM DOOR AND SAW THE GTp? GIVI'TS; JASON ORAL SEX.
FOPS THEN C MIE DOWN STAIRS AND SAID THAT SHE'S SUC9CIDrC, ON DADDY'S PEE PEE. MINIRFS
LATER JASON ADD TM GIRLS IM CAM DOWN STAIRS AND LEFT THE H RISE.
KRY9= KTINER, ERICA H01MRS, TERESAc DK1OY, HOPE ADD IVY TREY LEFT THE HOXISE AND
WENT FOR A WALK. AFIER THEIR ?MLK THEY CAME BACK M 139 BRIDGE Sr. AND SAW THAT
JASON'S CAR WAS IM PARKED IN FRONT OF TSB HOUSE. AS THEY APPROACHED A MALE CAM OUT
OF TIE HOSE.
TEEM THEN NEW INSIDE THE HOUSE ADD MID JASON AND HIS GIRLFRIEND THERE AGAIN.
JASON SAID THAT HE WAS THERE TO aMM Ckd TM.
TANM SAID THAT SIZE DID NOT GIVE JASON PERMISSION TO ENTER 'IRE HOUSE NOR DID SHE
GIVE ANYONE PERMISSION TO TkM THE GIRLS FROM TM BABYSTTIER.
THE P.F.A. GIVES VISTIPrTION TO JASON ON SATURDAYS BRIWEEN 0900 AND 1500 HOURS
MY. IT ALSO STATES THAT IIE BAS TO HAVE TEE EXPRTiSSED CONSENT OF OF THE PETITIONER
TO BE ON OR ENM THB PROPERTY.
I TRAL"1 F • KIDO BEING DULY SWORN ACCORDING TO
LAW, DEPOSE AND SAY THAT THE FACTS SET FORTH IN THE FOREGOING AFFIDAVIT ARK
TRUE AND CORRECT TO THE BEST OF MY KNOWLEDGE, INFORMATION ARID BELIEF.
Sworn to me and subscribed before one this
Date
My commisslon expires first Monday of January,
' (519n a of At sane)
day of
District Justice
MPC 412 -(4/96) (Ent-=Gt Varuon) 3.3
TANYA RUDA, IN THE COURT OF COMMON PLEAS
PETITIONER OF CUMBERLAND COUNTY
COMMONWEALTH OF PENNSYLVANIA
V.
CIVIL ACTION - LAW
JASON M. RUDA NO. 99 - 4319
RESPONDENT PROTECTION FROM ABUSE
PROTECTIVE ORDER
AND NOW, this L3 Stday of August 1999, upon agreement of the parties and without
an admission of abuse by the Respondent, Petitioner, TANYA RUDA, and her minor children
now residing at 139 Bridge Street, New Cumberland, Cumberland County, Pennsylvania 17070
are entitled to a protective order against the Respondent, JASON RUDA. The following
Permanent Order for a period of one (1) year is entered.
The Respondent, JASON RUDA, now residing at 1133 Rana Villa Drive, Camp Hill,
Cumberland County, Pennsylvania 17011 is hereby enjoined and restrained from physically
abusing the Petitioner, TANYA RUDA, or her children, or placing them in fear of abuse and is
hereby excluded from the residence located at 139 Bridge Street, New Cumberland, Cumberland
County, Pennsylvania. The Respondent is hereby notified that if he resides in the Petitioner's
residence contrary to this order, he may be in indirect criminal contempt which is punishable by
a fine not to exceed $1,000.00 and/or by a sentence of up to six (6) months in jail or any other
appropriate punishment. Resumption of co-residence on the part of Petitioner and Respondent
shall not nullify the provisions of this court order directing the Respondent to refrain from
abusing the Petitioner or her minor children. The Respondent shall seek modification (change)
of this order before resuming residence in the Petitioner's domicile.
The Respondent is ordered to refrain from having any contact with the Petitioner
including but not limited to restraining the Respondent from entering the place of employment of
the Petitioner or from harassing the Petitioner, her parents or minor children.
Any contact between Respondent and Petitioner shall be solely for custody and visitation
with the parties' two (2) minor children, Ivy Ruda (D.O.B. 8/21/97) and Hope Ruda (D.O.B.
8/16/95). Respondent is permitted to be at the marital residence located at 139 Bridge Street
solely for the purposes of custody and visitation and with the express consent of the Petitioner.
Pending further Order of Court, Respondent shall enjoy visitation every other Saturday from
9:00 AM to 3:00 PM. It is noted that Petitioner was already awarded primary physical custody
and shared legal custody with Respondent on July 8, 1999 by Order of the Honorable Kevin A.
Hess to Docket Number 99 - 1568 Civil (Cumberland County).
In light of the pending divorce action Respondent is permitted to inspect the marital
residence located at 139 Bridge Street, New Cumberland, Pennsylvania upon fourteen (14) days
advance written notice to Steven Howell, Esquire. Respondent's inspections are solely for the
purposes of protecting his interest in the marital real estate to ensure that it is not being dissipated
or being kept in a state of disrepair.
This Order modifies an earlier Order of Court dated April 16, 1999 in which the
Honorable Kevin A. Hess prohibited the Respondent from changing door locks or hindering in
any way the Petitioner's access and use of the marital residence as her home. This Order is
docketed to the divorce action Number 99 - 1568 Civil (Cumberland County).
The New Cumberland Police Department and local 911 county control shall be served
with a copy of this Order. This Order shall be enforced by any law enforcement agency where a
violation occurs by arrest for indirect criminal contempt without warrant upon probable cause
that this Order has been violated, whether or not the violation is committed in the presence of the
police officer. In the event an arrest is made under this section, the Respondent shall be taken
without unnecessary delay before the court that issued the order in accordance with 23 Pa. C.S.A.
§6113.
BY THE COURT:
'
Certified Copies To:
Steven Howell, Esquire
619 Bridge Street
New Cumberland, PA 17070
Jason M. Ruda
1133 Rana Villa Drive
Camp Hill, PA 17011
New Cumberland Police Department
911 County Control
Pennsylvania State Police
CERTIFICATICN OF PFA O
CASE
NAME
BALANCE DUE: $ , J.7)
170 STATE SURCHARGE
171 STATE FINE
260 SHERIFF COST ($1.50 + ADDTL)
207 DISTRICT ATTORNEY
204 COURT COSTS (CLERK OF COURTS)
502 RESTITUTION
NAME
ADDRESS
CITY
ADDRESS
C
JVICTIM'S NAME:
Lak?cc /Pcrc-
S
ADD
DELETE
S
s 7? _o
$ 10.00
$ 15.00
S
STATE
S
STATE
STATE
S
S
s
S
S
ZIP
$
ZIP
ZIP
PROTHONOTARY OFFICE p
PERSON CERTIFYING INFORMATION
DA - Q ?/ (?
CERTIFICATION OF PER CONTEMPT
CASE N MER q Q - 4r 3 19
NAME :TQ901J m . 2l ld
11 33Rnnd \1:110 Drly -
amn 1 P 17011
BALANCE DUE: $ 9S, o o
170 STATE SURCHARGE
171 STATE FINE
260 SHERIFF COST ($1.50 + ADDTL)
207 DISTRICT ATTORNEY
204 COURT COSTS (CLERK OF COURTS)
502 RESTITUTION
NAME fi ?)QAQ -n ry Oflice
ADDRESS
NAME
ADDRESS
STATE
VICTIM'S NAME:
Tanya- LAO-
ADD DELETE
S S
$ s
$ .2 7. f? S
$ 10.00 $
$ 15.00 $
C s y9. ?o % s
STATE
ZIP
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ZIP
ADDRESS
CITY
STATE
ZIP
PROTHONOTARY OFFICE
PERSON CERTIFYING INFORMATION 1 -fl ?an?Q (ylj
DATE ?a-a9-99
- ?-•.?
TANYA RUDA, IN THE COURT OF COMMON PLEA OF
-77771
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
V. CIVIL ACTION - LAW
INDIRECT CRIMINAL CONTEMPT
JASON M. RUDA,
Defendant No. 99-4319 CIVIL TERM
IN RE: SENTENCE
ORDER OF COURT
AND NOW, this 27th day of December, 1999,
the Defendant, Jason M. Ruda, now appearing in court with
the Public Defender, Timothy L. Clawges, Esquire, for
sentence, and having previously on this date entered a plea
of guilty to a charge of indirect criminal contempt, and
the Commonwealth in the person of Jaime M. Keating,
Esquire, and Defendant and his counsel having agreed upon
the sentence to be imposed in this case, the sentence of
the Court is that the Defendant pay the costs of
prosecution, and any charges required to be paid under the
Protection from Abuse Act, and that he undergo a period of
probation with supervision of six months, conditioned upon
his being and remaining on good behavior, complying with
all written directions of his probation officer, and
obtaining a drug and alcohol evaluation and successfully
completing any recommended treatment program.
By the Court,
J.;?Wesley OJxV. ,
?a a9-49
RK-5
y
r
Jaime M. Keating, Esquire
Chief Deputy District Attorney
Timothy L. Clawges, Esquire
Assistant Public Defender
Probation
Sheriff
wcy
TANYA RUDA,
Plaintiff
V.
JASON M. RUDA,
Defendant
IN RE: GUILTY PLEA
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
INDIRECT CRIMINAL CONTEMPT
No. 99-4319 CIVIL TERM
ORDER OF COURT
AND NOW, this 27th day of December, 1999,
the Defendant, Jason M. Ruda, now appearing in court for
trial on a charge of indirect criminal contempt with the
Public Defender, Timothy L. Clawges, Esquire, and having
tendered a plea of guilty as charged to indirect criminal
contempt, and the Commonwealth in the person of Jaime M.
Keating, Esquire, and Defendant and his counsel having
agreed upon the sentence to be imposed in this case of a
period of probation with supervision of six months,
conditioned upon the Defendant's good behavior, compliance
with all written directions of the probation office, and
acquisition of a drug and alcohol evaluation and successful
completion of any recommended treatment, the Defendant's
plea of guilty is accepted.
By the Court,
dl,
J Wesley 0.,
Jaime M. Keating, Esquire
Chief Deputy District Attorney !2'.29'99
03
I?
Timothy L. Clawges, Esquire
Assistant Public Defender
Probation
Sheriff
wcy
07/20/99 TUE 15:01 FAX 717 240 6573 CUM9 CO PROTHONOTARY
xsssxssssssssxsxsxsss
xss TX REPORT sxs
TRANSMISSION OK
TX/RX NO
CONNECTION TEL
CONNECTION ID
ST. TIME
USAGE. T
PGS.
RESULT
1357
92490779
07/20 14:59
02'13
4
ON
Civil
001
f ,