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HomeMy WebLinkAbout99-065091 n py? ' t '- ?r Ar z . h { ? 4 `(1 a r 4 ? 4 (?::: 3 a 1?air: Ztr 3 - 5 , A. l ill say a e' 1 .tt .S ,j O n trc „ ?rti ,A I] thf IP? ?y on 'i CATHERINE SINGER, Plaintiff and on behalf of her minor child: DANNY ROBERT COX Va. JEFFREY SINGER, Defendant :IN THE COURT OF COMMON PLEAS :OF CUMBERLAND COUNTY, PENNSYLVANIA I tNO. 99- 4 s09 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. A hearing on thi matter is scheduled for the day of NWT, 1999, at % 6 ., in Courtroom No.-3-- of the Cumberland County Courthouse, Carlisle, Pennsylvania. You MUST obey the Order that is attached until it is modified or terminated by the court after notice and hearing. 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 in jail under 23 Pa.C.S. 56114. Violation may also subject you to prosecution and criminal penalties under the Pennsylvania Crimes Code. Under federal law, 18 U.S.C. 52265, 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. 52261-2262. 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 FIND OUT WHERE YOU CAN GET LEGAL HELD. IF YOU CANNOT FIND A LAWYER, YOU NAY HAVE TO PROCEED WITHOUT ONE. CUMBERLAND COUNTY BAR ASSOCIATION 2 LIBERTY AVENUE CARLISLE, PENNSYLVANIA 17013 TELEPHONE NUMBERt (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. fr C'b LC k ' j L CATHERINE SINGER, :IN THE COURT OF COMMON PLEAS Plaintiff : and on behalf of her :OF CUMBERLAND COUNTY, PENNSYLVANIA minor child: DANNY ROBERT COX : Vs. :NO. 99- CIVIL TERM s JEFFREY SINGER, :PROTECTION FROM ABUSE AND CUSTODY Defendant TEMPORARY PROTECTION FROM ABUSE ORDER Defendant's Name: Jeffrey Ray Singer Defendant's Date of Birth: 08/04/73 Defendant's Social Security Number: Unknown Name of Protected Person- Catherine Singer AND NOW, this ?ay of October, 1999, upon consideration of the attached Petition for Protection from Abuse, the court hereby enters the following Temporary orders ® 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 evicted and excluded from Plaintiff's residence located at Regency Woods North, Lot 9, Carlisle, Cumberland County, Pennsylvania, a residence which is owned by Plaintiff's father, or any other permanent or temporary residence where Plaintiff 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. ® 3. Defendant is prohibited from having ANY CONTACT with Plaintiff at any location. Defendant is specifically ordered to stay away from the following locations for the duration of this orders Plaintiff's residence located at Regency Woods North, Lot 9, Carlisle, Cumberland County, Pennsylvania, a residence which is owned by Plaintiff's father. ® 4. Defendant shall not contact Plaintiff by telephone or by any other means, including through third persons. ® S. Pending the outcome of the final hearing in this matter. Plaintiff is awarded temporary custody of the following minor child: Brian Ray Casks Until the final hearing, all contact between Defendant and the child shall be limited to the following: None The local law enforcement agency in the jurisdiction where the child are located shall ensure that the child is placed in the care and control of Plaintiff in accordance with the terms of this Order. ? 6. Defendant shall immediately relinquish the following weapons to the Sheriff's office or a designated local law enforcement agency for the delivery to the Sheriff's Office: Defendant is prohibited from possessing, transferring or acquiring any other weapons for the duration of this Order. ® 7. The following additional relief is granted: The Cumberland County Sheriff's Department shall attempt to make service at Plaintiff's request and without pre-payment of fees, but service may be accomplished under any applicable Rule of Civil Procedure. This Order shall be docketed in the office of the Prothonotary and forwarded to the Sheriff for service. The Prothonotary shall not send a copy of this order to Defendant by mail. This Order shall remain in effect until modified or terminated by the Court and can be extended beyond its original expiration date if the Court finds that Defendant has committed another act of abuse or had engaged in a pattern or practice that indicates continued 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. ® S. A certified copy of this Order shall be provided to the police department where Plaintiff resides and any other agency specified hereafters Middlesex Township Police ? 9. THIS ORDER SUPERSEDES ? ANY PRIOR PFA ORDER AND ? ANY PRIOR ORDER RELATING TO CHILD CUSTODY 10. THIS ORDER APPLIES IMMEDIATELY TO DEFENDANT AND SHALL REMAIN IN EFFECT UNTIL MODIFIED OR TERMINATED BY THIS COURT AFTER NOTICE AND HEARING. NOTICE TO 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. 56114. Consent of 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. 56113. 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. 55 2261-2262. Any Protection order granted by a court may be considered in any subsequent Proceedings, including child custody proceedings, under title 23 (Domestic Relations) of the Pennsylvania Consolidated Statutes. NOTICE TO LAW ENFORCEMENT OFFICIALS This Order shall be enforced by the police who have jurisdiction over Plaintiff's residence OR any locations where a violation of this order occurs OR where Defendant may be located. If Defendant violates Paragraphs 1 through 6 of this Order, Defendant may be arrested on the charge of indirect Criminal Contempt. An arrest for violation of this order may be made without warrant, based solely on probable cause, whether or not the violation is committed in the presence 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 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. Joan Carey Attorney for Plaintiff BY THE COURT, Judge ,sou "x +n9, P'f q Y? rti 4 •- t }^4 ^ql' M14. CATHERINE SINGER, Plaintiff and on behalf of her minor child: DANNY ROBERT COX vs. JEFFREY SINGER, Defendant :IN THE COURT OF COMMON PLEAS : :OF CUMBERLAND COUNTY, PENNSYLVANIA : :NO. 99- G 50 ? CIVIL TERM i :PROTECTION FROM ABUSE AND CUSTODY COUNT I 1. Plaintiff's name is Catherine Singer. 2. The name of the person who seeks protection from abuse is Catherine Singer. 3. Plaintiff's address is Regency Woods North, Lot 9, Carlisle, Pennsylvania. 4. Defendant is believed to live at the following address Regency Woods North, Lot 42, Carlisle, Pennsylvania. Defendant's Social Security Number is unknown. Defendant's date of birth is 08/04/73. Defendant is unemployed. 5. Defendant is Plaintiffs spouse. 6. Plaintiff seeks temporary custody of the following child: KM Address Birthdate Brian Ray Cox Regency Woods North 08/04/98 Lot 9, Carlisle, PA 7. Plaintiff and Defendant are the parents of the following minor child: Names esg Address Brian Ray Cox 14 months Regency Woods North Lot 9, Carlisle, PA 8. The following information is provided in support of Plaintiff's request for an order of child custody: (a) The child was born out of wedlock. (b) The child is presently in the custody of Plaintiff, Catherine Singer, who resides at Regency Woods North, Lot 9, Carlisle, Pennsylvania. (c) Since his birth, the child has resided with the following persons and at the following addresses: Persons child Child's name lived with address MM Brian Ray Cox Catherine Singer Regency Woods 8/4/99-10/13/99 Jeffrey Singer North, Lot 9, Jeffrey Cox Carlisle Walter Cox Danny Cox Brian Ray Cox Catherine Singer Regency Woods 10/13/99-present Jeffrey Cox North, Lot 9, Walter Cox Carlisle Danny Cox (d) Plaintiff, mother of the child, is currently residing at Regency Woods North, Lot 9, Carlisle, Cumberland County, Pennsylvania. (e) She is married. (f) Plaintiff currently resides with the following persons: Name Relationehiv Danny Robert Cox Son Brian Ray Cox Son Walter Cox Father Jeffrey Cox Brother (g) Defendant, the father of the child is Jeffrey R. Singer, and he currently resides at Regency Woods North, Lot 42, Carlisle, Pennsylvania. (h) He is married. (i) Defendant currently resides with the following persons: Name Mary Singer Alfred Cox Relationship Mother Brother-in-law (j) Plaintiff has not previously participated in any litigation concerning custody of the above mentioned child in this or any other Court. (k) Plaintiff has no knowledge of any custody proceedings concerning this child pending before a court in this or any other jurisdiction. (1) Plaintiff does not know any person not a party to this action who has physical custody of the child or claims to have custody or visitation rights with respect to the child. (m) The best interests child will be met if cust, pending a hearing in this following: (i) Plaintiff is for the emotional his birth. and permanent welfare of the minor 3dy is temporarily granted to Plaintiff matter for reasons including the a responsible parent who has provided and physical needs of the child since (ii) Plaintiff is the parent who can best continue to care for the minor child. (iii) Defendant is diagnosed with schizophrenia, is not taking his medication, causing Plaintiff concern for her child's well being if he were to be with Defendant unsupervised (iv) Defendant has been hospitalized three times for schizophrenic episodes, once involving an attempted suicide approximately two months ago. (v) Defendant has exposed the child to violence, has shown that he is not an appropriate role model to the child, and the violence has had an adverse impact on the child. 9. The facts of the most recent incident of abuse are as follows: On or about October 15, 1999, Defendant came to Plaintiff's residence, banged on the doors and windows, shook the locks attempting to get in, and yelled names at Plaintiff while also threatening her saying, "I'm going to get you; I'm going to hurt you." Defendant left and returned to her home approximately four times, banging on the door, throwing things around the porch, and attempting to throw objects through the windows. 10. Defendant has committed the following prior acts of abuse against Plaintiff or the minor child: a. On or about October 13, 1999, Defendant entered Plaintiff's residence through a window early in the morning while everyone was sleeping and screamed, "Assholes, get up!" Defendant went into Plaintiff's six year old son's room, pressed his fingers into the child's temples, picked him off of the bed, forcefully slammed him back onto the bed and repeatedly poked him in the chest. When Plaintiff heard her son screaming and went to protect him, Plaintiff saw redness about the child's temples. Plaintiff contacted Middlesex Police and Defendant was made to leave the residence. Earlier that day, Defendant took the one year old child's medicine which he was taking for pneumonia, left the residence, and drank half of the medication and left the bottle outside of the CVS pharmacy in Carlisle. The pharmacy contacted the Plaintiff to say that they had the medicine. b. Since August 1995, Defendant has become increasingly abusive toward Plaintiff and her older son. Defendant is diagnosed with Schizophrenia and has stopped taking his medication, exacerbating Plaintiff's fear for her safety. Defendant has been hospitalized three times, one being approximately two months ago after cutting his arms with a razor. Defendant has broken into Plaintiff's home several times. When Defendant is not on medication, his behavior, which causes Plaintiff to fear for herself and her children, includes: eating dog food, drinking vegetable oil, eating cockroaches, drinking others' medicine, performing odd behaviors outside in the middle of the night such as hammering a piece of metal all night long and singing to the neighbors. 11. The following police department or law enforcement agencies in the area in which Plaintiff lives should be provided with a copy of the Protection Order: Middlesex Township. 12. There is an immediate and present danger of further abuse from the Defendant. 13. Plaintiff is asking the court to evict and exclude Defendant from the residence at Regency Woods North, Lot 9, Carlisle, which is owned by Plaintiff's father. WHEREFORE, PLAINTIFF REQUESTS 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 in any place where Plaintiff may be found. B. Evict and exclude Defendant from Plaintiff's residence located at Regency Woods North, Lot 9, Carlisle, Pennsylvania, and prohibit Defendant from attempting to enter any temporary or permanent residence of Plaintiff. C. Award Plaintiff temporary custody of the minor child and place the following restrictions or contact between Defendant and child: Brian Ray Cox. D. Prohibit Defendant from having any contact with Plaintiff, either in person, by telephone, or in writing, personally or through third persons. E. Prohibit Defendant from having any contact with Plaintiff's relatives listed in this Petition. F. Order Defendant to pay the costs of this action, including filing fees, service fees, and surcharge of $25.00. G. Order Defendant to pay $250.00 to reimburse one of Legal Services, Inc.'s funding sources for the cost of litigation in this case. H. Order the following additional relief, not listed above: a. Defendant is enjoined from damaging or destroying any property owned jointly by the parties or owned solely by Plaintiff. b. Defendant is to refrain from harassing Plaintiff's relatives. I. arant'such other relief as the court deems appropriate. Order the police or other law enforcement agency to serve Defendant with a copy of this Petition, any order issued, and the Order for Hearing. Plaintiff will inform the designated authority of any addresses, other than Defendant's residence, where Defendant can be served. COUNT II CUSTODY UNDER PENNSYLVANIA CUSTODY LAiP 14. The allegations of Count I above are incorporated herein as if fully set forth. 15. The best interest and permanent welfare of the minor child will be served by confirming custody in Plaintiff as set forth in paragraph 8(m) of the petition. WHEREFORE, pursuant to 23 P8.C.S.6 5301 gj,, =., and other applicable rules and law, Plaintiff prays this Honorable Court to award custody of the minor child to her. Plaintiff prays for such other relief as may be just and proper. Respectfully submitted, oan Carey Attorney for Plaintiff LEGAL SERVICES, INC. 8 Irvine Row Carlisle, PA 17013 (717) 243-9400 I verify that I am the Plaintiff 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 PB.C.S. 54904, relating to unsworn falsification to authorities. Dated Catherine Singer, Plaintiff G d cc?{i. f Ir' ?. 1 111( ''.7 ?,?, , (=. u. C? ?..? ?rl' .. a F:: oi? r./ ?? 1.: c. ?_: f;'? '? } U1 ._? ?? .. :: f'"; rr ?`s? .. :"Y x ? r ;a s?t yA? r '# 1. ?: ? G,• '? 0 0. *. ?1 ?.. c-, ex Ile G (3 •, COMMONWEALTH OF PENNSYLVANIA COUNTY OF. CUMBERLAND 09-3-03 Name Hon. SUSAN DAY 229 MILL STREET BOX 167 MT HOLLY SPRING PA 17065 1 717-486-7672 Docket No.: Date Filed: Who 0A" 0 - I 3!!"h. I 07/04/1 Hut Nmba 20000122n / 20000123?b pirA POLICE 04 CRIMINAL COMPLAINT COMMONWEALTH OF PENNSYLVANIA VS. DEFENDANT KOGWAWRM r -JEFFREY R SINGER I 42 REGENCYWOODS NORTH L CARLISLE PA 17013- 186-56-5733 smt ttgitauiaasdtba(MWM sm PA PA ,23846326 2647/9 J District Attomey's Office ?Approved ?Disapproved because: (ft district attorney may equine that the complaint, arrest wartvu affidavit. or both be approved by the aaotrcy, for the Commonwealth prior to filPi. PLLCrA 107.) • /r I PTL PAULA MULLEN 13 ,mowWN'SSHIP..--....POPOLIC..??..E,n.,D .-.? ter...., Of MIDDLESEX TOEPARTMENT PA0211300 20000123F1 (W.AarreNlj (0A Air .N Aa do hereby state: (check the appropriate boa) 1. ® 1 accuse the above named defendant who lives at the address set forth above ? 1 accrue the defendant whose name is unknown to me but who is described as ? 1 accuse the defendant whose name and popular designation or nickname is unknown to me and whom I have therefore designated as John Doc with violating the penal laws ofthe commonwealth of Pennsylvania at 9 REGENCYWOODS N CARLISLE PA lh>° ?-? h in CUMBERLAND County on or about 2a JANUARY 00 AT APPROX. 1845 HR. Participants were: (if there were participants, place their names here, repeating the name ofabove defendant) SINGER JEFFREY R 2. The acts committed by the accused were: ose. you must e nthe specific section and charged. A ofoditunu allegedly viviolated. (wio tlwforth a utmomiiti?rotsufficient t.. Inat mmary case. defendant olated.) INDIRECT CRIMINAL CONTEMPT, 23 PA C.S.A. Protection from Abuse Act; The defendant, Jeffrey R. Singer, did violate a Protection from abuse order, No. 99-6509 civil term, issued by Judge Hoffer on the dates of the 10th day of November and the 6th day of December 1999. Thu defendant did enter the home at 9 AUrC 41246n6ll1A14mt1 w111m0 I • 3 `COhimntbn or No. 7) Defendant's Name:JEFFREY R SINGER POLICE DoeketNumber: CRIMINAL COMPLAINT Regencywoods N with the intent of removing his 1 year old son Brian from the home. Jeffrey then dialed 911 and told hie wife Catherine she would ace what happens when he gets arrested. Jeffrey proceeded to raise his voice to a scream and yelled just let me be me. Jeffrey screamed and shook his body violently in front of his one year old child Brian and hie 6 year old step son Danny. Catherine, Danny and Brian were afraid and began to cry. Catherine reported she fears Jeffrey, she believes lie will harm her because he had this violent outburst. She believes he is not on his medication. The owner of the home, Walter Cox fears Jeffrey will get out of prison and return to the home and harm the f-41y a,-^cuce c` %Iii mental state. By the definition of harassment, this family has been alarmed by Jeffreys behavior toward them and they fear he will harm them and himself. Walter went to the hospital due to this incident because of pains in his chest caused by stress brought on by Jeffreya outburst. In the PFA dated December 6th, page three, q3 the plaintiff desires that all other provisions of the order remain in effect. on page two the the PFA order dated November 10t.h, 111-The defendant shall not abuse, stalk, 'harass or threaten the plaintiff or any other protected person. Catherine and Danny Cox are Lhe persona to be protected by this PFA. 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, 6114 A r« 23 PA C.B.A. 1 (t . - i1 wwnf-- l'.Tirl 7 ro, 7 rti .?1 -?,..Mj 1?.. i•t?j TI 3. [ask that a warrant of arrest ore summons be Issued and that the defendant be required to answer the charges 1 have made. (In order fora warrant of arrest to bout, the attached affidavit of probable cause must be completed and sworn to before the issuing authority.) 4. 1 verify that the facts set forth in this complaint arc true and correct to the twit of my knowledge or Information and belief. This verification is made subject to the penalties of Section 4901 of the Crimes Code (19 PA. C.S. § 4904) relating to unswom falsification to authorities, 23 January 00 l(( ???1? is•..,r,?Gi AND NOW, on this date Pi I certify it, it the complaint has been properly completed and verified. An affidavit of probable carne nunl be completed in alder lot it wnrrmtt to issue. IwpvnJGwal AOK 117{6%1llm„n,l wnianl SEAL :•.) COMPLAINANT: Tq c,-? COMPLAINT STATEMENT FORM NAME: ' j A' 'INF/ -i /?BEie HOME ADDRESS : (I for f..?/d 14ws A/ /1AClisGfi.. PR• / O - PHONE NUMBER: ( 717) 6 ?l - LOCATION OF INCIDENT: ^%/-17-?y/ C -'9) DOB: SSN: -17 DATE/TIME OF INCIDENT: O/ 'mss' ?u l i r?» nnaaccaccaaaaaaaannaaaacanaanaeacaacaaanaaacnaaaeaaacacanaaaaaeaaaoana G£iG r 6 da A/ WE"l a s DATE J s?.??, rr?r?r??r?rrrrrrrrrr?M?rr.rwrr I VGRIFY THAT THE PRESS•SRT MRT IN THIS FORM ARE TRUE AND C THE BEST OF MY KNOWLEDGE, INFORMATION AND BELIEF, THIS VERIF MADE SUBJECT TO THE PENALTIES OF SECTION 4904 OF THE CRIMES C (18 PA C.S.A. SECT 4904) RELATING TO UNSWORN FALSIFICATION TO AUTHORITIES. SIGNATURE OF COMPLAINANT PAGE OF .T! exyl* L 60 I'll a AM ALL 9910 J5 -F.d 7f` Ro Pow •"I fR &fileJ 9// NOEO A^ T)116b 6Z COMPLAINT STATEMENT FORM COMPLAINANT: C ''f? il1E/ in/// ?1J„??f-?? NAME: ..HOME ADDRESS: PHONE NUMBER: (_) LOCATION OF INCIDENT DOB: SSN DATE/TIME OF INCIDENT: rrnnnnnnnannaaaanaaaaonaaaoeeaoeanaeaaaaaaaaaanaaeaoeaaaaaaeaaannaaaen rrrrrrr a r.r rrrrrrrrrrrrrrrrrrrnJrrrrnu rrr a ¦rrrrrrrrrr¦ rrrrrrr a rrrr04H Z VGRIPY THAT E FACTS- SET PORTH IN THIS POTtM ARE Two AND CORRECT TO THE BEST OF MY KNOWLEDGE, INFORMATION AND BELIEF. THIS VERIFICATION IS MADE SUBJECT TO THE PENALTIES OF SECTION 4904 OF THE CRIMES CODE (18 PA C.S.A. SECT 4904) RELATING TO UNSWORN FALSIFICATION TO AUTHORITIES. SI NATURE OF COMPLAINANT DATE ?' .. ) PAGE OF /' \ /. ?- ??/•• (IsS_ Awr •iy& T 1411n Ric: k <r/ 1- /14776, la)R1,1S2 ,'7&0 HL is Aim r ,i spital - Emergency Department r SL Carlisle, PA 17013 - (717) 245-5500 Patient Singer. Jeffrey Disch:1124100138am MD ED: Gerald E. Fronko. MD Medical Record: 066287 Aes/PA/NP: AFTERCARE INSTRUCTIONS We are pleased to have been able to provide you with emergency care. Please review these Instructions when you return horse In order to better understand your diagnosis and the necessary further treatment and precautions related to your condition. Your diagnoses/prescriptions today are: Dx 01: self inflicted head iniurv Dx 02: Psychosis (historv of same) Follow-up: STEVENS CENTER / CRISIS INTERVENTION 33 STATE AVENUE CARLISLE. PA 17013 F/U MD Ph: 2436005 F/U Dfr: Other Instr. As scheduled for antipsychotic therapy. N EKGs and X-Rays: if you had an EKG or X-Ray today, it will be formally reviewed by a specialist tomorrow. If there is any change from today's Emergency Department reading, you will be notified. IMPORTANT NOTICE TO ALL PATIENTS: The examination and treatment you have received in our Emergency Department have been rendered on an emergency basis only and will not substitute for definitive and ongoing evaluation and medical care. A follow-up physician has been designated for you. It is essential that you make arrangements for folow-up pre with that physician as Instructed. Report any new or remaining problems at that time, because it Is impossible to recognize and treat all elements of injury or disease In a single Emergency Department visit Significant changes or worsening in your condition may require more immediate attention. The Emergency Department is always open and avagab/e if this becomes necessary. CATHERINE SINGER, :IN THE COURT OF COMMON PLEAS Plaintiff and on behalf of her :OF CUMBERLAND COUNTY, PENNSYLVANIA minor child: DANNY ROBERT COX : Vs. :NO. 99-6509 CIVIL TERM JEFFREY SINGER, :PROTECTION FROM ABUSE Defendant :AND CUSTODY Defendant's Name: JEFFREY SINGER Defendant's Date of Birth: 08/04/73 Defendant's Social Security Number: UNKNOWN Names of all Protected Persons, including Plaintiff and minor children: CATHERINEV?NGER and DANNY ROBERT COX AND NOW, this day of November, 1999, the court having jurisdiction over the parties and the subject-matter, it is ORDERED, ADJUDGED, and DECREED as follows: Plaintiff is represented by Joan Carey of LEGAL SERVICES, INC.; Defendant is unrepresented but is aware of his right to nave an attorney. The parties agree that the following may be entered as an Order of Court. Defendant, although agreeing that an Order may be entered, does not admit to the allegation made in the Petition. ? Plaintiff's request for a Final Protection order is denied OR ® Plaintiff's request for a Final Protection order is granted. ® 1. Defendant shall not abuse, stalk, harass, threaten Plaintiff or any other protected person in any place where he/she might be found. ® Z. Except as provided in Paragraph 5 of this Order, Defendant is completely evicted and excluded from the residence at Regency Woods North, Lot 9, Carlisle, Pennsylvania, or any other residence where Plaintiff 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. ? On (Insert date and time), Defendant may enter the residence to retrieve his/her clothing and other personal effects, provided that Defendant is in the company of a law enforcement officer when such retrieval is made. ® 3. Except as provided in Paragraph 5 of this Order, Defendant is prohibited from having ANY CONTACT with Plaintiff at any location. ® 4. Except as provided in Paragraph 5 of this order, Defendant shall not contact Plaintiff by telephone or by any other means, including third parties. ® 5. Custody of the minor children, Brian Ray Cox, shall be as follows: Bee attached Custody Order ? 6. Defendant shall immediately turn over to the Sheriff's office, or to a local law enforcement agency for delivery to the Sheriff's Office, the following weapons used or threatened to be used by Defendant in an act of abuse against Plaintiff and/or the minor child/ren: ? 7. Defendant is prohibited from possessing, transferring or acquiring any other weapons for the duration of this Order. Any weapons delivered to the sheriff under Paragraph 6 of this order or under Paragraph 6 of the Temporary Order shall not be returned until further order of Court. ® 8. The following additional relief is granted as authorized by 56108 of this Acts a. 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 another act of abuse or has engaged in a pattern or practice that indicates continued risk of harm to Plaintiff. b. Defendant is enjoined from damaging or destroying any property owned jointly by the parties or owned solely by Plaintiff. C. Defendant is to refrain from harassing Plaintiff's relatives or the minor child. d. The court costs and fees are waived. ? 9. Defendant is directed to pay temporary support for [insert the names of the persons for whom support is to be paid] as follows: [insert amount, frequency and other terms and conditions of the support order] This Order for support shall remain in effect until a final support order is entered by this Court. However, this order shall lapse automatically if Plaintiff does not file a complaint for support with the Court within fifteen days of the date of this Order. The amount of this temporary order does not necessarily reflect Defendant's correct support obligation, which shall be determined in accordance with the guidelines at the support hearing. Any adjustments in the final amount of support shall be credited, retroactive to this date, to the appropriate party. ? lo. The costs of this action are waived as to Plaintiff and imposed on Defendant. ? 11. Defendant shall pay $* to Plaintiff as compensation for Plaintiff's out-of-pocket losses, which are as follows: OR ? Plaintiff is granted leave to present a petition, with appropriate notice to Defendant, to [insert the name of the judge - or court to which the petition should be presented] requesting recovery of out-of-pocket losses. The petition shall include an exhibit itemizing all claimed out-of-pocket losses, copies of all bills and estimates of repair, and an order scheduling a hearing. No fee shall be required by the Prothonotary's office for the filing of this petition. ? 12. BRADY INDICATOR 1.0 Plaintiff or protected person(s) is a spouse, former spouse, a person who cohabitates or has cohabited with Defendant, a parent of a common child, a child of that person, or a child of Defendant. 2.0 This Order is being entered after a hearing of which Defendant received actual notice and had an opportunity to be heard. 3.0 Paragraph 1 of this order has been checked to restrain Defendant from harassing, stalking, or threatening Plaintiff or protected person(s). 4J3 Defendant represents a credible threat to the physical safety of Plaintiff or other protected person(s) OR ? The terms of this order prohibit Defendant from using, attempting to use, or threatening to use physical force against Plaintiff or protected person that would reasonably be expected to cause bodily injury. ® 13. THIS ORDER SUPERCEDES ® ANY PRIOR PFA ORDER AND ® ANY PRIOR ORDER RELATING TO CHILD CUSTODY. 14. All provisions of this Order shall expire in one year. NOTICE TO 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 SIX MONTHS. 23 PA.C.S. 56114. VIOLATION MAY ALSO SUBJECT YOU TO PROSECUTION AND CRIMINAL PENALTIES UNDER THE PENNSYLVANIA CRIMES CODE. THIS ORDER I8 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 ACTION, 18 U.S.C. 52265. 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.B.C. 55 2261-2262. IF PARAGRAPH 12 OF THIS ORDER HAS BERN CHECKED, YOU MAY BE SUBJECT TO FEDERAL PROSECUTION AND PENALTIES UNDER THE "BRADY" PROVISIONS OF THE GUN CONTROL ACTION, 18 U.S.C. 5922(0), FOR POSSESSION, TRANSPORT OR RECEIPT OF FIREARMS OR AMMUNITION. NOTICE TO LAW ENFORCEMENT OFFICIALS The police who have jurisdiction over Plaintiff's residence OR any location where a violation of this order occurs OR where Defendant may be located, shall enforce this Order. An arrest for violation of Paragraphs 1 through 7 of this Order may be without warrant, based solely on probable cause, whether or not the violation is committed in the presence of the police. 23 Pa.C.S. 56113. Subsequent to an 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 [insert the appropriate name or title] shall maintain possession of the weapons until further order of this Court. When Defendant is placed under arrest for violation of the order, 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 Plaintiff, Plaintiff's presence and signature are not required to file the complaint. If sufficient grounds for violation of this order are alleged, Defendant shall be arraigned, bond not and both parties given notice of the date of the hearing. BY THE COURT, Geor a Hoffer, P sident Judge If entered pursuant to the consent of Plaintiff and Defendant: Catherine Singer, Plaintiff a rey/ inge , Defend Pr 3 V ?L Joan Carey Attorney for Plaintiff LEGAL SERVICES, INC. B Irvine Row Carlisle, PA 17013 (717) 243-9400 CATHERINE SINGER, :IN THE COURT OF COMMON PLEAS Plaintiff and on behalf of her :OF CUMBERLAND COUNTY, PENNSYLVANIA minor child: DANNY ROBERT COX : VS. :NO. 99-6509 CIVIL TERM JEFFREY SINGER, :PROTECTION FROM ABUSE Defendant :AND CUSTODY CUSTODY ORDBA AND NOW, this - y of November, 1999, upon consideration of the parties' Consent Agreement, the following order is entered with regard to custody of the parties' child, Brian Ray Cox. 1. Plaintiff, hereinafter referred to as the mother, shall have primary physical and legal of the child. 2. Defendant, hereinafter referred to as the father, shall have supervised visitation with the child, at the home of and under supervision of Walter Cox, the plaintiff's father, at times to be agreed upon by the parties. 3. Defendant shall contact Plaintiff's father, Walter Cox, to make arrangements for his periods of supervised visitation. 4. The mother and father, by mutual agreement, may vary from this schedule at any time, but the order shall remain in effect until further order of court. 5. The mother and father agree that each shall notify the other immediately of medical emergencies which arise while the child is in that parent's care. 6. Neither party shall do anything which may estrange the child from the other parent, or injure the opinion of the child as to the other parent or which may hamper the free and natural development of the child's love or respect for the other parent. By the Court, IV940-- Geor of er, Pre ident Judge if entered pursuant to the consent of Plaintiff and Defendant: Catherine Singer, Plaintiff P !3a Singer efend10 Joan Carey U Attorney for Plaintiff LEGAL SERVICES, INC. B Irvine Row Carlisle, PA 17013 (717) 243-9400 ?i i? htr1. "?;'1 14 + 7fto. '.r C.. Catherine Singer, for herself, and on behalf of her minor child, Danny Cox Plaintiff Jeffery Singer, V. Defendant IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW NO. 99-6509 CIVIL TERM : PROTECTION FROM ABUSE 6 ? ORDER AND NOW, thi day of December, 1999, upon consideration of the within Petition, the portions of the Protection Order, dated November 10, 1999, which prohibited the defendant, Jeffery Singer, from having any direct or indirect contact with the plaintiff, including but not limited to, telephone and written communications, and excluded him from the residence arc vacated. In all other respects the Protection Order entered November 10, 1999 remains in effect. Joan Carey Attorney for Plaintiff Jeffery Singer Pro Se Defendant ?d . 1P_ By the Court, :'9 ?liC -G frl 3: ?? h?Nn .11;%7Y M A l Catherine Singer, for herself, and on behalf of her minor child, Danny Cox Plaintiff V. JcfTery Singer, Defendant IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW NO. 99-6509 CIVIL TERM PROTECTION FROM ABUSE PETITION FOR MODIFICATION The plaintiff, Catherine Singer, by and through her attorney, Joan Carey, of LEGAL SERVICES, INC. represents the following: I. The plaintiff, Catherine Singer, and the defendant, Jeffery Singer, arc in the process of reconciling their differences. 2. The plaintiff desires that the defendant no longer be excluded from the residence or prohibited from having any direct or indirect contact with the plaintiff, including but not limited to, telephone and written communications. 3. The plaintiff desires that all otherprovisions of the Protection Ordcrdatcd November 10, 1999, remain in effect. WHEREFORE, the plaintiff requests that the Protection Order of November 10, 1999, be modified to reflect the above terms. Respectfully submitted, oan Carey } Attorney for Plaintiff LEGAL SERVICES, INC. S Irvine Row Carlisle, PA 17013 ; ;` Verification The above-named plaintiff, Linda McDonald, verifies that the statements made in the above Petition are true and correct. The plaintifTundcrstands that false statements herein are made subject to the penalties of 18 Pa.C.S. 0 4904 relating to unswom falsification to authorities. Data 17.- • Catherine Singer, Plaintiff ate et :FkR} `Ilt j5 t , P 4 ? ? 1 L 1 ? x'?:L t '?C1?" . C1 lJ. . . .• Q: o. -Q M` Ji}fr ? 1 4 t R Z ??++ N.`3 fir: * 7 x x rj'{h• any.. , CATHERINE SINGER, for herself, : IN THE COURT OF COMMON PLEAS OF And on behalf of tier minor child, CUMBERLAND COUNTY, PENNSYLVANIA Danny Cox Plaintiff :99-6509 CIVIL V. JEFFERY SINGER, Defendant CHARGE: INDIRECT CRIMINAL CONTEMPT AND NOW, this day of January, 2000, the hearing in the above- captioned case previously scheduled for Tuesday, February 1, 2000 at 1:30 p.m. in Courtroom #3 is rescheduled to Thursday, February 3, 2000 at 9:30 a.m. in Courtroom #I. The defendant, JEFFERY SINGER, is ordered to appear for trial on the charge of Indirect Criminal Contempt before the Court on that date. By the Jonathan R. Birbcck, - 4 ?ti4Vw 4??J Chief Deputy District Attorney JEFFERY SINGER 7 J. r : •C C%l O k ?s Aryy 1{ 1 a{ r i' 1i SHERIFF'S RETURN - REGULAR CASE NO: 1999-06509 P COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND SINGER CATHERINE ET AL VS. SINGER JEFFREY TREVOR KENT , Sheriff or Deputy Sheriff of CUMBERLAND County, Pennsylvania, who being duly sworn according to law, says, the within PROTECTION FROM ABUSE was served upon SINGER JEFFREY the defendant, at 11:15 HOURS, on the 29th day of October , 1999 at REGENCY WOODS NORTH LOT 92 CARLISLE, PA 17013 CUMBERLAND , County, Pennsylvania, by handing to JEFFREY SINGER a true and attested copy of the PROTECTION FROM ABUSE , together with NOTICE OF HEARING AND ORDER, TEMPORARY PROTECTION , FROM ABUSE, PETITION and at the same time directing His attention to the contents thereof. Sheriff's Costs: So answers: Dock?ting 18.00 Affidavit 3.00 Surcharge 8.00 R-'TIS61tTdB"'Ri Y`t ?-10/29/1999 o - by V Qc"1?*IL lSEN? 5. - Duputy Sworn and subscribed to before me this /3 , day of kot,,,,,,, 19 Qt) A.D. -r'LUL.11U11ULC1 ? CATHERINE SINGER, and on behalf of her minor child, DANNY ROBERT COX, Plaintiffs V. JEFFREY SINGER, Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA PROTECTION FROM ABUSE AND CUSTODY 99-6509 CIVIL TERM IN RE: SENTENCE ORDER OF COURT AND NOW, this 8th day of February, 2000, the defendant having appeared for sentence with Public Defender, Taylor Andrews, Esquire, and the Court having having done considerable research with the benefit of counsel on this matter, sentence of the Court is that the defendant pay the costs of prosecution, undergo a period of incarjceration in the Cumberland County Prison for not less than 14 days nor more than 6 months, sentence to date from January 23rd, 2000. Defendant is to be paroled immediately to the New Visions Residential Treatment Program without further Order of Court, as soon as a bed is available. Conditions of parole are that the defendant comply with the instructions of his parole officer, and abide by the following special conditions: 1. He shall take all medications as prescribed by his treating physicians; 2. He shall remain in the New Visions Residential Treatment Program until successfully discharged therefrom; 3. He shall have no contact with his wife or any member of her family, except, that he may have supervised visitation with his son as permitted by the New Visions Residential Program; and 4. He shall not go to his wife's residence under any circumstances whatsoever. By the Court Mary-Jo Mullen, Esquire Assistant District Attorney Taylor Andrews, Esquire Chief Public Defender Probation it R X5??- Lwi 1..a l'Jv nJ C'..:Ji-r CATHERINE SINGER, Plaintiff and on behalf of her minor child: DANNY ROBERT COX V. JEFFREY SINGER, Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW 99-6509 CIVIL TERM PROTECTION FROM ABUSE IN RE: CONTEMPT AND NOW, this 3rd day of February, 2000, after hearing, we find beyond a reasonable doubt that the Defendant violated paragraph 1 of Judge Hoffer's order dated November 10, 1999. The Defendant is directed to appear for sentence on Monday, February 7, 2000, at 8:45 a.m. A sentencing report is ordered. Pending sentence the Defendant is remanded to the Cumberland County Prison in lieu of existing bail. By the Court, 4?-4 Edward E. Guido, J. Mary-Jo Mullen, Esquire For the Plaintiff Taylor Andrews, Esquire For the Defendant Sheriff CCP :mae t=ell a/4 /0C) CERTIFICATION OF PFA COMI.2 13T CASE NUMB NAME Jeffrey SINGER c/o 42 Regency Woods North Carlisle PA 17013 BALANCE DUE: S 101.10 170 STATE SURCHARGE 171 STATE FINE 260 SHERIFF COST ($1.50 + ADDTL) 207 DISTRICT ATTORNEY 204 COURT COSTS (CLERK OF COURTS) 502 RESTITUTION NAME Prothonotary ADDRESS CITY NAME ADDRESS CITY NAME ADDRESS CITY PROTHONOTARY OFFICE PERSON CERTIFYING INFORMATION VICTIM'S NAME: Catherine Singer and o/b/o Danny Robert Fox, minor ADD S s 30.60 S 10.00 S 15.00 DELETE S S S S S $ 45.50 STATE S STATE S S ZIP S ZIP S STATE ZIP uil?iaa VKI 14:UZ FAA 717 240 0573 CUM9 CO PROTHONOTARY Y Y. CS0 7 Wool fssssssfsssssssssuss sss TX REPORT sss fssssssstssssssssssss TRANSMISSION ON TX/RX NO 1578 CONNECTION TEL 92490779 CONNECTION ID' ST. TIME 11/12 13:55 USAGE T 08'50 PGS. 10 RESULT ON Catherine Singer, and on behalf of the minor child, Danny Robert Cox, Plaintiff Jcffcry Singer, V. Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW : NO. 99-6509 CIVIL TERM : PROTECTION FROM ABUSE AND CUSTODY ORDER AND NOW, this Z? day of+far2000, upon consideration of the within Petition, the portions of the Protection Order, dated November 10, 1999, which prohibit the defendant, Jeffery Singer, from having any direct or indirect contact with the plaintiff, including but not limited to, telephone and written communications, are vacated. In all other respects the Protection Order entered November 10, 2000, remains in effect. Joan Carey Attorney for Plaintiff Jcffcry Singer Pro Sc Defendant By the Court, Edward E. Guido, Judge 4aL;A) 44jj VOJ "-j 4-012-00 b Ps 1Q : a.:. VK 0, Gib ,IU:I -2 U Et 23 CUV'_'..i j+0 COUNTY PENNSAVANA s IN r P II J i ?? S1 e o 'AM M i Catherine Singer, and on behalf of the minor child, Danny Robert Cox, Plaintiff Jeffery Singer, V. Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION -LAW NO. 99-6509 CIVIL TERM : PROTECTION FROM ABUSE AND CUSTODY PETITION FOR MODIFICATION The plaintiff, Catherine Singer, by and through her attorney, Joan Carey, of LEGAL SERVICES, INC., represents the following: I . The plaintiff, Catherine Singer, and the defendant, Jeffery Singer, are in the process of reconciling their differences. 2. The plaintiff desires that the defendant no longer be prohibited from havingcontact with her. 3. The plaintiff and defendant arc planning to attend counseling sessions together through the Hclcn Stevens Mcntal Health Center. 4. The plaintiff desires that all other provisions of the Protection Order dated November 10, 2000, remain in effect. WHEREFORE, the plaintiff requests that the Protection Order of November 10, 1999, be modified to reflect the above terms. Respectfully submitted, jban Carey 11 Attorney for Plaintiff LEGAL SERVICES, INC. 8 Irvine Row Carlisle, PA 17013 Verification The above-namcd plaintiff, Catherine Singer, verifies that the statcments made in the above Petition are true and correct. The plaintiffunderstands that false statements herein are made subject to the penalties of 18 Pa.C.S. § 4904 relating to unswom falsification to authorities. Date: - Catherine Singer, Plaintiff ?r N ?e Bv? cf +- d L.rk'n tY''a C5 ez " -- C 3 h i I ) : - _ Catherine Singer, and on behalf of the minor, child, Danny Robert Cox, Plaintiff V. IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION -LAW NO. 99-6509 CIVIL TERM Jeffery Singer, Defendant PROTECTION FROM ABUSE ORDER AND NOW, this??ay of August 2000, upon consideration of the within Petition, the portions of the Protection Order, dated November 10, 1999, which prohibit the defendant, JctTery Singer, from entering the plaintiff's residence, are vacated. In all other respects the Protection Order entered November 10, 1999, remains in effect. By the Caurt, Edward E. Guido, Judge Joan Carey Attorney for Plaintiff Jeffery Singer Pro Sc Defendant ma?lel e?les g.aa o0 Faxed 4 rt% 'W fo Ps P OKs 5 1'. g` : -T CUarl: ?. f(r ?\l/ .4 JNT PCINN'vYLVANA ,.r Yl. ' r. A xe' t :4 k?. a Catherine Singer, and on behalf of the minor, : IN THE COURT OF COMMON PLEAS OF child, Danny Robert Cox, Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA v : CIVIL ACTION -LAW NO. 99-6509 CIVIL TERM Jeffery Singer, ; Defendant PROTECTION FROM ABUSE PETITION FOR MODIFICATION The plaintiff, Catherine Singer, by and through her attorney, Joan Carey, of LEGAL SERVICES, INC., represents the following: 1. The plaintiff and defendant are attempting a reconciliation. 2. The plaintiff desires that the defendant no longer be enjoined from entering her residence. 3. The plaintiffdcsires that all other provisions ofthe Protection order datedNovcmbcr 10, 2000, remain in effect. WHEREFORE, the plaintiff requests that the Protection Order of November 10, 1999, be •Fi modified to reflect the above terns. Respectfully so itted, x Y; 'Q. 4r f Joan Carey Attorney for Plaintit LEGAL SERVICES. INC. 8 Irvine Row Carlisle, PA 17013 ?'z Verification The above-named plaintiff, Catherine Singer, verifies that the statements made in the above Petition are true and correct. The plaintiff understands that false statements herein arc made subject to the penalties of 18 Pa.C.S. § 4904 relating to unswom falsification to authorities. Dater-1 7-od cI- Catherine Singer, Plaintiff .;; ? . iT'. n) - tf: r?? j ti '} ? r 7 { !. ,. .-?? t 3 =' ;. ti j tJ` "^r ulli] . f tS _ : . Y ? . . --? 4 1 ? ¦+`J 08/22/00 TUE 10:39 PAX 717 240 8575 CUMO CO PROTHONOTARY wool ^ sssssttssesstsssstsss ss• TX REPORT sas assssesssesssesssssss TRANSMISSION OK TX/RX NO 2091 CONNECTION TEL 92490779 CONNECTION ID ST. TIME 08/22 10:55 USAGE T 05'54 PGS. 5 RESULT OK :-Ar L, CATHERINE TERRY SINGER for herself and on behalf of her minor child: BRIAN RAY COX. VS. JEFFREY RAY SINGER Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO. 99-6509 CIVIL TERM 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. Ifyou 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 this matter is scheduled on the Z/ujd-ay of March, 2001, at 33 0 -.m., in Courtroom No..-,I-- on the 4" Floor orthe Cumberland County Courthouse, I 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. 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 in jail under 23 Pa.C. S. §6114. Violation may also subject you to prosecution and criminal penalties under the Pennsylvania Crimes Code. Under federal law, 18 U.S.C. §2265, this Order is enforceable anywhere in the United States, tribal lands, U.S. Territories and the Commonwealth of Puerto Rico. If you travel outside of the state and intentionally violate this Order, you may be subject to federal criminal proceedings under the Violence Against Women Act, 18 U.S.C. § 2261-2262. You should take this paper to your lawyer at once. You have the tight 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 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. r.. T, - ?? j.,. ? = j . , i? . ? - 0,? ._ - ..1',_i ,:? <v . ; ?.. =,?i i ?3 ? ? ?7 ,, CATHERINE TERRY SINGER, for herself and on behalf of her minor child: BRIAN RAY COX, Plaintiffs V. JEFFREY RAY SINGER, Defendant In the Court of Common Pleas of CUMBERLAND County, :PENNSYLVANIA Civil Action - Law : No. 99.6509 Protection From Abuse No. TEMPORARY PROTECTION FROM ABUSE ORDER Defendant's Name is: Jeffrey Ray Singer Defendant's Date of Birth is: July 4,1973 Name(s) of All protected persons, including Plaintiff and minor children: 1. Catherine Terry Singer 2. Brian Ray Cox AND NOW, on 28th Day of February, 2001 upon consideration of the attached Petition for Protection from Abuse, the court hereby enters the following Temporary Order: Plalntift's request for a temporary protection order Is granted. 1. Defendant shall not abuse, harass, stalk or threaten any of the above persons in any place where they might be found. 2. Defendant shall be evicted and excluded from the residence at: 5 Adams Street, Apt. 10, Enola, 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. 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. Any future place of employment that Plaintiff may establish. 4. 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. The following additional relief is granted: Law enforcement agencies, human service agencies and school districts shall not disclose the presence of Plaintiff In this jurisdiction or district or furnish any address, telephone number, or any other demographic Information about Plaintiff, except by further Order of Court. Defendant Is enjoined from damaging or destroying any property owned jointly by the parties or owned solely by Plaintiff. Defendant Is ordered to refrain from harassing Plaintiffs relatives. 6. A certified copy of this Order shall be provided to the police department where Plaintiff resides and any other agency specified hereafter: East Pennsboro Police Department 7. The sheriff, police or other law enforcement agencies arc 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. 8. THIS ORDER SUPERSEDES ANY PRIOR PFA ORDER 9. THIS ORDER APPLIES IMMEDIATELY TO DEFENDANT AND SHALL REMAIN IN EFFECT UNTIL AUGUST 28, 2002 OR UNTIL OTHERWISE MODIFIED OR TERMINATED BY THIS COURT AFTER NOTICE AND HEARING. NOTICE TO 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 tiling of appropriate court papers for thatpurpose. 23Pa.C.S.§6113. Defendant is further noti fled 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. Any protection order granted by a court may be considered in any subsequent proceedings, including child custody proceedings, under title 23 (Domestic Relations) of the Pennsylvania Consolidated Statutes. NOTICE TO LAW ENFORCF.MF,NT OFFICIALS This Order shall be enforced by the police who have jurisdiction over Plaintiffs residence OR any locations where a violation of this order occurs OR where Defendant may be located. If Defendant violates Paragraphs I through 6 of this Order, Defendant may be arrested on the charge of Indirect Criminal Contempt. An arrest for violation of this Order may be made without warrant, based solely on probable cause, whether or not the violation is committed in the presence of law enforcement. Subsequent to an arrest, the law enforcement officer shall seize all firearms and/or weapons used or threatened to be used during the violation of the Protection Order OR during prior incidents of abuse. The Cumberland County Sheriffs Department shall maintain possession of the firearms and/or weapons until further Order of this court. Firearms and/or weapons must forthwith be delivered to the Sheriffs office of the county which issued this Order, which office shall maintain possession of the firearms and/or weapons until further Order of this Court, unless the firearms and/or weapons are evidence of a crime, in which case, they shall remain with the law enforcement agency whose officer made the arrest. Defendant may upon the expiration of this Order request that the Sheriff return any firearms and/or weapons held pursuant to this Order. The Sheriff shall determine if Defendant is otherwise legally entitled to possess the firearms and/or weapons. If the Protection From Abuse Order has expired and Defendant is legally entitled to possess firearms and/or weapons, the Sheriff shall present an Order to the Court authorizing that the firearms and/or weapons he returned to Defendant. Otherwise the Sheriff shall notify Defendant that he/site must file a petition with the Court seeking a return of the firearms and/or weapons, in which case the Court, upon petition, will schedule n hearing with notice to Plaintiff. Distribution to: Joan Carey, Attorney for Plaintiff Fax and Mail PSP C:atiwrir?e !'crry Singeturi?esl1. and ur bcllalfuf Lc ?ninur cd, d. Briar P,ay Cux, Ylaintitf Jel;icyJap Singer. Uefeudw?t PF'AD NUMIKT: Za l 199977J 1N THE COURT OF COMMON PLEAS OF CUMBERLAND COUN7.1'. PENNSYLVANIA Na. : CIVIL ACTION - LAW : PROTECTION FRom ABUSE 1'E1'1'll0r' FOR ! WIECTION FROM ABUSE 1 1. 1'laiuulf's nwnc is. x Catl?crir?c 'ferry siugcr l 2. 1, (tl?c;Plaintillj, urn tiling this 1'ctiuun un behalibli i I - nryecJf w?d as pu, u?t of wLwr Rlwatill(s) 3. NwmXs) of Al,l. pawn(s), including minor children, who suck prulm un from abuse. M• CaUrctiuc'lerrysinge,, u. AxiunRoy Cuz A. 1'luinfil)'s/?ddress is :,C'yplldeulful 3. 1)clcudanl's Nwuc is: !I ?rll'vy SPY SArKcI' 1 ?ae)el)r1u1)l js Jlcllevcd to live w the fullgwurk address: 1ieK?Jle'flN?>r N»I'111, ?'>'rl)s?e, PA 17013 pole ul'Ilirlh is: '[lllylr 1a7.? Ia 8. Defendant is an adult. 9. The relationship between the Plaintiff and the Defendant is: Spouse Parents of the same children 10. The Plaintiff and the Defendant been involved in the following court actions: a. Divorce b. Custody c. Protection From Abuse 11. Other details of the court action are: Custody and Protection From Abuse, Cumberland County Court of Common Pleas, Docket no. 99-6509 Divorce, Cumberland County Court of Common Pleas 12. The defendant has been involved In a criminal court action. 13. Plaintiff and Defendant are the parents of the following minor child/rcn: a. Brian Ray Cox Child's address is: confidential 14. The facts of the most recent incident of abuse arc as follows: On about Tuesday, February 13, 2001 location: 5 Adam St. Apt. 10 Ennis, PA On or about Feb. 13, 2001, Defendant was In an agitated state, screamed at Plaintiff and the minor children, threw cassette tapes causing small holes In the wall, and pushed over the dining room table causing It to break. Defendant left the residence and called Plaintiff several times on the phone and during one of the phone calls, he threatened to physically harm her. Plaintiff called the police and left the apartment in fear for her safety and that of the minor children. Defendant has been diagnosed with Schizophrenia, he has been abusive In the past, and he does not properly take his medicine exacerbating Plaintiff's fear. This incident caused Plaintiff reasonable fear of Imminent serious bodily injury. 15. 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: In or about January 2001, Defendant slapped the minor child, Brian Ray Cox, on the mouth and on the leg. The child suffered a cut lip, bleeding, and redness to his leg as a result of the incident. The child suffered pain. _ In or about November 1999, this Court granted Plaintiff a Protection From Abuse Order against Defendant. Defendant is currently exhibiting irrational and aggressive behavior towards Plaintiff and the minor children, he has been hospitalized several times for his Schizophrenia episodes, and has attempted to commit suicide on at least one occasion, causing her to fear for her safety and that of the minor children. 16. The police department(s) or law enforcement agencies that should be provided with a copy of the protection order arc: Fast Pennshoro Police Department 17. There is an immediate and present danger of further abuse from the Defendant. 18. Plaintiff is asking the court to evict and exclude the Defendant from the following residence: 5 Adam St. Apt. 10 Enela, PA Rented By:Catherine Singer and Jeffrey Singer 19. FOR THE REASONS SET FORTH ABOVE,1 REQUEST THAT THE COURT ENTER A TEMPORARY ORDER, and AFTER HEARING, A FINAL ORDER THAT WOULD DO THE FOLLOWING: a. Restrain Defendant from abusing, threatening, harassing, or stalking Plaintiff and/or minor child/ren in any place where Plaintiff may be found. b. Evict/exclude Defendant from Plaintiffs residence and prohibit Defendant from attempting to enter any temporary or permanent residence of the Plaintiff. c. Prohibit Defendant from having any contact with Plaintiff and/or minor child/rcn, 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 children. d. Order Defendant to pay the costs of this action, including filing and service fees. e. Order the following additional relief, not listed above: Defendant shall pay $250.00 to one of MidPenn Legal Services as reimbursement for litigation in this case. Defendant shall not damage or destroy and property owned jointly by the parties or solely by Plaintiff. Defendant shall refrain from harassing Plaintiffs relatives. f. Grant such other relief as the court deems appropriate. g. Order the police or other low enforcement agency to serve the Defendant with it copy ofthis Petition, any Ordcr issued, and the Order for I [caring. The petitioner will inform the designated authority of any addresses, other than the Defendant's residence, where Dcfcndant can be served. Date: Respectfully submitted, n -n dfivid Lopez, Attomey for MID-PENN LEGAL SEl 8 Irvine Row Carlisle, PA 17013 (717) 243-9400 q''iii VERIFICATION 1 verify that 1 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 unswomfalsiflcation to authorities. n ? ?•-r Dated: -0 Catherine Singer, Plaintiff v 1 1 1- fV 3 ? nt/nf /n1 T,m ns.ee e.. ssttsssststsssttssssstsssts sss MULTI TN REPORT tts ttstsstssstssssssssttssssss Tx/RE NO 2488 INCOMPLETE T.X/RE TRANSACTION OK I 0118P2405881 CENTRAL PROCESS l 031OP2438028 LEGAL SERVICES l 04182480778 PSP OFFICE OF TIM PRaMCNOTARY aMERLAND COUM'Y OOIMMiCUSE ONE CcuMHOUSE SQUARE CARLISLE, PA. 17013-3387 (717) 240-6195 FAX (117) 240-6573 V I A T E L E C O P I E R TO: PA STATE POLICE ?e ?rOCe IN 1 M P. rte/ FAX 1: 717-249-0779 FROM: CURTIS R. LONG RE; PFA ORDERS MESSAGE2 W. OF PAGES (INCLUDING OMER SP=r) i Tt& ffamm y is intmtw ally fax tine U30 of ft irdividtal aC entity to thldt is is a . ar 8m =b& inlisaetion det is l?l?, a nEkb*Jal erd emrot f3= diwicum tt?x qpiia0a . tim ax1ES of alis mmap in roc tie int?d?W tudPia?t. Ya are ?110dEW tint any dis n, %kd im is abictly. Rdublted. If y u h%e tecni diattitxrtdm ¢ ccW CC -I ?;w IK kmPCtietaly W teleftre and tetlan tie anginal nems;P to L6 al SHERIFF'S RETURN - REGULAR CASE NO: 1999-06509 P COMMONWEALTH OF PENNSYLVANIA: COUNTY OF CUMBERLAND SINGER CATHERINE ET AL VS SINGER JEFFREY SHAWN HARRISON , Sheriff or Deputy Sheriff of Cumberland County,Pennsylvania, who being duly sworn according to law, says, the within PROTECTION FROM ABUSE was served upon SINGER JEFFREY RAY the DEFENDANT , at 0019:32 HOURS, on the 28th day of February , 2001 at REGENCY WOODS NORTH LOT 42 CARLISLE, PA 17013 by handing to JEFFREY RAY SINGER a true and attested copy of PROTECTION FROM ABUSE together with NOTICE OF HEARING & ORDER, TEMPORARY PROTECTION FROM ABUSE ORDER, PETITION and at the same time directing His attention to the contents thereof. Sheriff's Costs: Docketing 18.00 Service 3.10 Affidavit 00 Surcharge 10.00 .00 31.10 Sworn and Subscribed to before me this J ...L day of Prothonotary So Answers R. Thomas Kline 03/01/2002 By: CATHERINE TERRY SINGER, for herself and on behalf of her minor child: BRIAN RAY COX, Plaintiffs V. JEFFREY RAY SINGER, Defendant : In the Court of Common Picas of : CUMBERLAND County, : PENNSYLVANIA : Civil Action - Law : No. 99-6509 : Protection From Abuse No. 99.6509 CONTINUED TEMPORARY ORDER AND NOW, this nd ay of March, 2001, pursuant to 23 Pa.C.S. §6107(c), the terms and conditi ns of the Temporary Order issued on 28th Day of February, 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 April 3, 2001, at 3:OOPM in Courtroom 3 of the Cumberland County Courthouse, One Courthouse Square, Carlisle. , President Judge Distribution To: MidPenn Legal Services Faxed & Mailed to PSP Jeffery Singer 42 Regency Woods North Carlisle, PA 17013 C(vI '/9lvt'n ?C; I'JC.?II 3-91 6'1 .'W,rrt..c%xfx'xntA:?f?ro-w.far..r.?frSt. .,.as ..vs3.?r .... ?..v -e....« .?..> ?.,,o,.....,..rr. ?.,,., W .?...;.,,.?. .._..,,,,-?;,,.. It. I 71r - CATHERINE TERRY SINGER, FOR HERSELF, AND ON BEHALF OF THE MINOR CHILD, BRIAN RAY COX, Plaintiff VS. JEFFERY RAY SINGER, Defendant IN THE COURT OF COMMON PLEAS OF :CUMBERLAND COUNTY, PENNSYLVANIA NO. 99-6509 CIVIL TERM PROTECTION FROM ABUSE The Plaintiff, Catherine Singer, by and through her attomey, Joan Carey of MidPenn 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 February 28 2001, scheduling a hearing for March 2, 2001, at 1:30 p.m. 2. The Cumberland County SheriflsDepartment served Defcndantwithacertifiedcopy of the Temporary Protection From Abuse Order and Petition for Protection From Abuse at his residence located at 42 North Regency Woods, Carlisle, Pennsylvania on February 28, 2001. 4. The parties agree the hearing be rescheduled to afford the defendant time to retain counsel. 5. 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. 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. Respectfully bmitted, oan Carcy, Attornfor Plaintiff MIDPENN LEG SERVICES 8 Irvine Row Carlisle, PA 17013 (717) 243-9400 ?1Y?6WI\ APP.F3rRMR»YSn+Cm+63MasNM++Wi.ar n.a.Nrx4 e..+nuu:.. ..w?.e'n::w,.,.„i. wa.tiws:-: aw..v,?::..'.i; a, r.-,. .!.1s,?.:..w+r,.w?;w.Ye,.».m,?.w.+..+?i+Jrv.n.+w4.i4'., a .`•.10f°"•`• ?. r? ?" ' > t. a ?, r ?r, . s ? ? r (?1+ ? i" !/l J ? ? i:;? . t / a r t' ? p ?.: 1 LI _ 1 (« ? j1f.,? ? ? ?Y z,a rp ;d te ( e y .(?+° ? ?? l?.r' is iF.? H: t ?.. .. G iYj ? j j ?; wr \ ?' `` .?. .. {: ? . r , AA i i K i It . ?? ?} ?? ,f . .L ?.: e ... t dt ,?„ ?r :.. . a ?'. .'. _ - CATHERINE TERRY SINGER, for herself and on behalf of her minor child: BRIAN RAY COX, Plaintiffs V. JEFFREY RAY SINGER, Defendant .In the Court of Common Pleas .of :CUMBERLAND County, PENNSYLVANIA :Civil Action- Law No. 99.6509 - PROTECTION FROM ABUSE AND CUSTODY FINAL ORDER OF COURT Defendant's Name is: Jeffrey Ray Singer Defendant's Date of Birth is: July 4,1973 Name(s) of All protected persons, including Plaintiff and minor children: 1. Catherine Terry Singer 2. Brian Ray Cox AND NOW, this 281h Day of March, 2001 the court having jurisdiction over the parties and the subject-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 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 completely evicted and excluded from the residence at: 5 Adams Street, Apt. 10, Enola, PA (See exception under paragraph #5). 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. 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. Any future place of employment that Plaintiff may establish. 4. 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. The following additional relief is granted as authorized by §6108 of the Act: Defendant is enjoined from damaging or destroying any property owned solely by Plaintiff or jointly by the parties. Defendant is ordered to refrain from harassing Plaintiff's relatives. Defendant shall take all medications as prescribed by his physician. All visits with the children are conditional upon Defendant's compliance with this provision. All visits with the children shall be supervised by a mutually agreed upon third party. This provision modifies the Custody Order entered on November 10, 1999. Any contact between the parties with a mutually agreed upon third party present, including but not limited to marriage counseling and visits by the defendant with the children, shall not be deemed a violation of this Order. With the agreement of the plaintiff, this contact may occur at her residence. The court costs and fees are waived. 6. A certified copy of this Order shall be provided to the police department where Plaintiff resides and any other agency specified hereafter: East Pennsboro Police Department 7. THIS ORDER SUPERSEDES: 1. ANY PRIOR PFA ORDER 8. All provisions of this order shall expire on: September 28, 2002 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 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 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 MAY BE 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 located, shall enforce this order. An arrest for violation of Paragraphs 1 through 4 of this order may be without warrant, based solcy 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. .-k "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. _( At? "e , S- vv/ - Catherine Singer, Plaintiff t Marya Murphy Attorney for Plaintiff MidPenn Legal Services 8 Irvine Row Carlisle, PA 17013 p3P-CP-L3 -Faxed 03 •d9 •o P5P- LS -X? R (?\atled. W oVQ OJT c, - J ffhrr4Singe , Defendant 0 1 hPA 4 Jame's Kavdr ?rney o efendant Offi (Vf Kayer and Brown ibertV Avenue lisle, PA 17013 ,., .. :;thy ?' 'lh V ? ??? ' ?i ? ?. { ' 1 l ? ylt -i ? ?` 'h7Y 'r? r F? ;r t, ? ; . ?`? x + , rA: r>: a .} t? d ?s,. .a'; , ?; ?': ^' y ? "' ; ,° ? <;, ?? '. ;i '??'. ?3 - ?.?, :?:. _ °'. :. t"`.. ' ., _ . . . A ` 1 i r 4 {,? A ?{? ?. 3: i' ? 5..?°?4,t S.n ? . +l A' F{grvy f' ' ? S:d. ( 3 9?? " .,e ?j ' 'J f . ? i. :, ,N ?1^' ., 3 f) i ¢ t xs ?si. , ,??,r, , >y .? A 3?`pi1^ x `??A t.. C pp 'af? ? t ? ?Y ? +?`. 4 ? f ? ?.. p+? ?{ `?e . 3 Y /: ; ?ry < ?. y yy, ? { a?ti., ?? f ? 4., ?.. F >_;: py? VNS'Af5$?` Nl`W?MiM3'HfL1}Y?L$K`1'A%G?M?`Ne"'+^ .. .... _ n .... -m±..1'?Y?s'.fCttL'%N3nTwrtY'rlr ..., anu ao:at rAA nt 47U Data . AwUND W 1'RUFRUNUFARY sss MULTI TN REPORT sss sstsssssssssssssss:sssfssss Tx/Rx NO INCOMPLETE TE/Rx TRANSACTION OK 2537 1 OIIOP2405331 1 0319P2438020 1 04192490779 CENTRAL PROCESS LEGAL SERVICES PSP ERROR S OFFICE OF THE p(tCr11It7NOTARY CUMBERLAND COUNW COUR714OUSE ONE OWMCUSE SQUARE CARLISLE, PA. 17013-3387 (717) 240-6195 FAX (717) 240-6573 V I A T E L E COP I E R prOC2?SINq M p. f,?n Ser ttl'ee TO; PA STATE POLICE ?e?k r FAX 1: 717-249-0779 FRQ41 CURTIS R. LONG RE: PFA ORDERS 7 rt-` t4ESSAGE t d J7 NO. OF PAGES (Itr.LUDING COVER SFi>'ET) mmosgi is int?+d ally fix Un tB0 Gf ft iltllv41n1 ar ertlty W wttlttt i8 is adiltdga, a . rtehf • If aW- Ttds 03rtkh jA aid eaatpt Cron de, Oda ?inWmW ceciPi M, Wj am MA' °0 U1 mtificd the wffJE< Is ? If ? ? Coco-""d this pot d? ?'? rn is stxictJy p?d>ibitl9d• .°f • .?I„ t., ?.+tt -h-m " get= do Qigtnsl rtes to L , at