HomeMy WebLinkAbout04-4117MAUREEN C. REPETTO, ESQUIRE
ATTORNEY I.D. # 59447
14 W. Front Street
Media, PA 19063
(610) 565-3008 Attorney for Plaintiff
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,
PENNSYLVANIA
JANET C.H. HANNUM
S.S. #166-42-2158
AND
CHARLES HANNUM
S.S. # 164-36-2216
Plaintiffs
NO.: D 'V- '7111
IN CUSTODY
VS.
ALISON HANNUM
S.S. # 185-66-6460
Defendant
COMPLAINT TO CONFIRM CUSTODY
TO THE HONORABLE, THE JUDGES OF SAID COURT:
AND NOW, comes Janet C.H. Hannum and Charles P. Hannum, by and
through their attorney, MAUREEN C. REPETTO, ESQUIRE, who respectfully
represents:
1. Plaintiffs are Janet C.H. Hannum and Charles P. Hannum, who
reside at 56 War Admiral Lane, Media, Delaware County, Pennsylvania 19061.
2. Defendant, Alison MacAdam Hannum, has a last known address of
P.O. Box 13, Summerdale, Cumberland County, Pennsylvania 17093.
3. The natural father is Charles Anthony Hannum who resides in
California.
4. The parties have grandchildren, ASHLEY MacADAM HANNUM,
born May 5, 1996 and ANTHONY B. HANNUM, born October 7, 1997.
5. The children have resided with Plaintiffs from birth until March,
2003, excepting periods of instability with mother.
6. Plaintiffs, children and mother have resided at 56 War Admiral
Lane, Media, Delaware County, Pennsylvania until March, 2003. Since March,
2003, the minor children have resided with their mother in Summerdale,
Cumberland County, Pennsylvania 17093.
6. Plaintiffs were the primary caretakers until May, 2003.
7. Defendant continues to maintain an unstable life style, including but
not limited to a criminal record, domestic violence, neglect, etc.
8. Plaintiffs have not participated as a party, witness or otherwise in
any other litigation concerning the custody of the children in Pennsylvania or any
other state.
9. Plaintiffs have no information of any custody proceeding concerning
the child pending in this or any other jurisdiction.
10. Plaintiffs do not know of any person not a party to this proceeding
who has physical custody of said children or who claims to have custody or
visitation rights with respect to them.
11. The best interest and permanent welfare of the child will be served
by granting the relief requested because of the following: Plaintiffs have and will
continue to provide the child with a stable and loving environment.
WHEREFORE, Plaintiffs respectfully request your Honorable Court to
enter an Order confirming that Plaintiffs have primary physical and legal custody
of the minor children and that the parties share legal custody.
Maureen C. Repe , Esquire
Attorney for Plaintiffs
VERIFICATION
I, JANET C. HANNUM, hereby verify that the statements
made in the attached COMPLAINT IN CUSTODY are true and correct to
the best of my knowledge, information and belief. I understand
that false statements herein are made subject to penalties of 18
Pa.C.S.A. Section 4904, relating to unsworn falsification to
authorities.
DATE:' /-?? ?• ' 1"??in111AtJw?
JANET HANNUM
VERIFICATION
I, CHARLES P. HANNUM, hereby verify that the statements
made in the attached COMPLAINT IN CUSTODY are true and correct to
the best of my knowledge, information and belief. I understand
that false statements herein are made subject to penalties of 18
Pa.C.S.A. Section 4904, relating to unsworn falsification to
authorities.
DATE : ??-1I t"?) ZIJ(JI`-'
CHARLES P. HANNUM
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JANET & CHARLES HANNUM IN THE COURT OF COMMON PLEAS OF
PLAINTIFF CUMBERLAND COUNTY, PENNSYLVANIA
V. 04-4117 CIVIL ACTION LAW
ALISON HANNUM IN CUSTODY
DEFENDANT
ORDER OF COURT
AND NOW, Wednesday August 25, 2004 , upon consideration of the attached Complaint,
it is hereby directed that parties and their respective counsel appear before Hubert x. Gilroy Esq. the conciliator,
Thursda Se tember 30, 2004 at 8:30 AM
at 4th Floor, Cumberland Count Courthouse, Carlisle on y, p
effort will be made to resolve the issues in dispute; or
for a Pre-Hearing Custody Conference. At such conference, an
if this cannot be accomplished, to define and narrow the issues to be heard by the court, and to enter into a temporary
order. All children age five or older may also be present at the conference. Failure to appear at the conference may
provide grounds for entry of a temporary or permanent order.
The court hereby directs the parties to furnish any and all existing Protection from Abuse orders,
Special Relief orders, and Custody orders to the conciliator 48 hours prior to scheduled hearing.
FOR THE COURT,
mhc
By: /s/ Hub rtX •. 11 'W
Custody Conciliator
The Court of Common Pleas of Cumberland County is required by law to comply with the
Americans with Disabilites Act of 1990. For information about accessible facilities and rcontact our office.
accommodations available to disabled individuals having business before the court, please 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.
YOU SHOULD TAKE THIS PAPER TO YOUR ATTORNEY AT ONCE. IF YOU DO NOT
HAVE AN ATTORNEY OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET
FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP.
Cumberland County Bar Association
32 South Bedford Street
Carlisle, Pennsylvania 17013
Telephone (717) 249-3166
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OCT 0 8 2004
JANET C.H. HANNUM and, : IN THE COURT OF COMMON PLEAS OF
CHARLES HANNUM, : CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff,
v CIVIL ACTION - LAW
ALISON MACADAM, : NO. 2004 - 4117
Defendant : IN CUSTODY
COURT ORDER
AND NOW, this /y' day of oc-/vd.? , 2004, upon consideration of
the attached Custody Conciliation report, it is ordered and directed as follows:
1. The mother, Alison MacAdam, shall enjoy legal and physical custody of
Ashley MacAdam Hannum, born May 5, 1996, and Anthony B. Hannum,
born October 7, 1997.
2. The paternal grandparents, Janet C.H. Hannum and Charles Hannum, shall
enjoy periods of temporary physical custody with the minor children as
follows:
a. On one weekend a month from Friday until Sunday, with the pick up time
arranged between the parties between 4:30 p.m. and 6:00 p.m. on Friday
and a delivery of the children back to the mother arranged between the
parties between 4:30 p.m. and 6:00 p.m. on Sunday. Unless agreed
otherwise by the parties, exchange of custody shall take place at the
children's aunt and uncle's home in Parkesburg.
b. Where appropriate, the alternating weekend schedule ordered to the
grandparents shall be expanded on weekends where a Monday or Friday is
available for the children to be off school and the parties can make
arrangements for the grandparents to have a long weekend that would
include 3 overnights.
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c. The grandparents shall also be afforded the opportunity to have time with
the children on or around major holidays pursuant to a schedule as agreed
upon by the parties.
d. The grandparents shall also be afforded an opportunity to have custody of
the minor children at such other times as agreed, with it being anticipated
that the children will go with the paternal grandparents for the routine one
week vacation during the summer months.
e. It is understood that the mother will communicate directly with the
paternal grandparents relative to custody and that the parties will not
allow any third party interfere with respect to any communications
involving these matters.
3. This order is entered pursuant to an agreement reached by the parties. In the
event either party desires to modify this order, that party may have their
attorney contact the Custody Conciliator directly to schedule a Custody
Conciliation Conference which may be done by telephone between the
attorneys for the parties and the Custody Conciliator. If a hearing is required
after such a Conciliation Conference, the Conciliator can recommend the
scheduling of a hearing to address any issues that are required.
4. The first weekend the grandparents shall have custody shall be the weekend of
October 15, 2004.
5. Mother will share with the paternal grandparents information concerning the
children's school and social activities so that, if appropriate, the grandparents
can participate in those activities.
BY THE COURT,
cc: ?Maureen C. Repetto, I
?Alison MacAdam V
10-w o
JANET C.H. HANNUM and,
CHARLES HANNUM,
Plaintiffs
v
ALISON MACADAM,
Defendant
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
: NO. 2004 - 4117
: IN CUSTODY
CONCILIATION CONFERENCE SUMMARY REPORT
IN ACCORDANCE WITH THE CUMBERLAND COUNTY CIVIL RULE OF
PROCEDURE 1915.3-8(b), the undersigned Custody Conciliator submits the following
report:
1. The pertinent information pertaining to the children who are the subject of this
litigation is as follows:
Ashley MacAdam Hannum, born May 5, 1996 and Anthony B. Hannum, born
October 7, 1997.
2. A Conciliation Conference was held on September 30, 2004, with the following
individuals in attendance:
The paternal grandparents, Janet C.H. Hannum and Charles Hannum, with their
counsel, Maureen C. Repetto, and the mother, Alison MacAdam who appeared
without legal counsel.
3. The parties agree to the entry of an order in the form as attached.
I)ATE?????
Hubert X. Gilroy, quire
Custody Concili or
MAUREEN C. REPETTO, ESQUIRE
Attorney ID No. 59447
323 East Front Street
Media, PA 19063
610-565-3008
_ Attorney for Petitioner
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
JANET AND CHARLES HANNUM
SSN
V. NO. 04-4117 civil
IN CUSTODY
ALISON HANNUM
SSN:
PETITION FOR CONTEMPT IN CUSTODY
TO THE HONORABLE, THE JUDGES OF THE SAID COURT:
AND NOW, comes Janet C . H . Hannum and Charles P. Hannum by
and their attorney, Maureen C. Repetto, Esquire, who respectfully
represents as follows:
1. Petitioners are JANET and CHARLES HANNUM who reside
at 56 War Admiral Lane, Media, Delaware County, Pennsylvania.
2. Respondent is ALISON MacADAM HANNUM, whose last know
address is P.O. Box 13, Summerdale, Cumberland County,
Pennsylvania.
3. The natural father is Charles Anthony Hannum who
resides in California.
4. The Petitioners are the grandparents of ASHLEY MacADAM
HANNUM, born on May 5, 1996 and ANTHONY B. HANNUM, born on October
7, 1997.
5. Petitioners were the primary caretakers of the
children until May of 2003.
6. This Honorable Court entered the attached Order. The
Order dated October 14, 2004 is attached hereto, made a part hereof
and marked "Exhibit A."
7. The Respondent has maliciously interfered with the
relationship between the grandparents and the children by depriving
the Petitioners of the weekend visitation directed in the Order of
October 14, 2004.
8. The Petitioners have been denied their visitation
weekends since January of 2008.
9. The Petitioners began to work with the Respondent so
that she would not be responsible for all of the traveling to
Parkesburg.
10. The Petitioners were told by Respondent that she was
having additional financial problems and various other problems
with vehicles.
11. The Petitioners worked with Respondent during that
period.
12. In late February and March, the Respondent stopped
responding to phone calls.
13. At one point in March, counsel for Petitioners'
contacted Respondent to work out a schedule for the end of March so
that grandparents could enjoy the spring break/Easter holiday week
with the children.
14. After that initial conversation and commitment of
Respondent, Respondent stopped answering the phone to counsel for
Petitioners'.
15. Paternal Grandmother called Respondent during the
month of April. Ashley answered the phone to her grandmother and
was berated and yelled at by her mother for answering the phone.
16. Petitioners are now in fear for the safety of the
children.
17. Mother insinuated on the phone that the custody
issue depended on whether Grandmother would "force" Father into a
divorce.
18. It is now painfully obvious that the Mother is using
the children as pawns in an effort to gain leverage in the divorce
process. It should be noted that Mother has not even filed for
divorce against Father and Grandmother will not get involved.
19. The minor children have developed a strong and
loving relationship with the grandparents.
20. It has and will continue to emotionally damage the
children without the continued relationship of the grandparents.
21. Mother continues to not work in the best interest of
the children.
22. Mother is causing irreparable harm to the children.
23. Mother is not kind to the children when they express
love for their grandparents.
24. It is likely that Mother is not keeping their best
interest at heart as she has not shared any information with
grandparents concerning extracurricular activities or social
activities for the children.
25. Mother must be ordered to undergo a psychological
evaluation if she truly believes that using her children as pawns
will get her divorced quickly.
26. Mother must be directed to give to grandparents make
up time for the time missed with the grandparents. An additional
week in the summer is requested.
27. Mother must be directed to have a time certain that
the grandparents will be calling each week to speak with the
children. Mother must be directed to be sure that the children
pick up the phone.
28. The grandparents visitation must begin again
immediately.
29. It is respectfully requested that this Honorable
Court award to grandparents the sum of $1,500.00 for attorney's
fees incurred as a result of Mother's behavior.
30. The filing of this petition would not have been
necessary had Mother complied with the order of Court.
31. Apparently, Mother is going to ignore directives set
forth by this Honorable Court.
32. Petitioners have always had the children for one
week in the summer.
33. Petitioners are worried that Mother will not comply
in light of her most recent behavior.
WHEREFORE, Petitioners request that Mother be held in
contempt and sanctioned for her actions. Additionally, Petitioners
are requesting make up time for the time missed, two summer
vacation weeks, at least two weekly phone calls with the children
the social and extracurricular activity schedules and an entire
year outlined to determine the exact weekends for grandparents to
enjoy the grandchildren. Additionally, the Petitioners are
requesting that the pick up and drop off point be changed to a
"half-way point".
Respectfully submitted:
t
MAUREEN C. REPETT , ESQUIRE
Attorney for Petitioner
OCT 0 8 2004
JANET C.H. HANNUM and, : IN THE COURT OF COMMON PLEAS OF
CHARLES HANNUM, : CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff,
v CIVIL ACTION - LAW
ALISON MACADAM, NO. 2004 - 4117
Defendant IN CUSTODY
COURT ORDER
AND NOW, this 14 day of 2004, upon consideration of
the attached Custody Conciliation report, it is ordered and directed as follows:
1. The mother, Alison MacAdam, shall enjoy legal and physical custody of
Ashley MacAdam Hannum, born May S, 1996, and Anthony B. Hannum,
born October 7, 1997.
2. The paternal grandparents, Janet C.H. Hannum and Charles Hannum, shall
enjoy periods of temporary physical custody with the minor children as
follows:
a. On one weekend a month from Friday until Sunday, with the pick up time
arranged between the parties between 4:30 p.m. and 6:00 p.m. on Friday
and a delivery of the children back to the mother arranged between the
parties between 4:30 p.m. and 6:00 p.m. on Sunday. Unless agreed
otherwise by the parties, exchange of custody shall take place at the
children's aunt and uncle's home in Parkesburg.
b. Where appropriate, the alternating weekend schedule ordered to the
grandparents shall be expanded on weekends where a Monday or Friday is
available for the children to be off school and the parties can make
arrangements for the grandparents to have a long weekend that would
include 3 overnights.
c. The grandparents shall also be afforded the opportunity to have time with
the children on or around major holidays pursuant to a schedule as agreed
upon by the parties.
d. The grandparents shall also be afforded an opportunity to have custody of
the minor children at such other times as agreed, with it being anticipated
that the children will go with the paternal grandparents for the routine one
week vacation during the summer months.
e. It is understood that the mother will communicate directly with the
paternal grandparents relative to custody and that the parties will not
allow any third party interfere with respect to any communications
involving these matters.
3. This order is entered pursuant to an agreement reached by the parties. In the
event either party desires to modify this order, that party may have their
attorney contact the Custody Conciliator directly to schedule a Custody
Conciliation Conference which may be done by telephone between the
attorneys for the parties and the Custody Conciliator. If a hearing is required
after such a Conciliation Conference, the Conciliator can recommend the
scheduling of a hearing to address any issues that are required.
4. The first weekend the grandparents shall have custody shall be the weekend of
October 15. 2004.
5. Mother will share with the paternal grandparents information concerning the
children's school and social activities so that, if appropriate, the grandparents
can participate in those activities.
BY THE COURT,
Judge
cc:
Maureen C. Repetto, Esquire TR'_'ri'Y Fen. R"s^D
Alison MacAdam In Test:m, ny ?hereo , i h :re nto s-
and a sea! of s ' ?''/ hand
aid Co??r
Th .? t Ca its e, Fa.
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MAUREEN C. REPETTO, ESQUIRE
Attorney I.D. #59447
323 East Front Street
Media, PA 19063
(610) 565-3008
JANET AND CHARLES HANNUM :
Attorney for Plaintiffs
NO. 04-4117
VS.
ALLISON HANNUM IN CUSTODY
CERTIFICATE OF SERVICE
I, Maureen C. Repetto, Esquire, hereby certify that I am attorney for the
plaintiffs in the above action, and that on May 7, 2008 I served a true and correct
copy of the Petition for Contempt in Custody on the defendant by Certified Mail,
Return Receipt Requested, at the address below:
Allison MacAdam Hannum
P.O. Box 13
Summerdale, Pennsylvania
MAUREEN C. REPETTO, QUIRE
Attorney for Plaintiffs
VERIFICATION
MAUREEN CALLAHAN REPETTO, ESQUIRE, hereby deposes and
states that she is the attorney representing Plaintiffs, JANET AND
CHARLES HANNUM, in the within action, and as such is authorized to
make this Verification on their behalf; that MAUREEN CALLAHAN
REPETTO, ESQUIRE, is familiar with the averments in the foregoing
pleading in-accordance with the representations made by Petitioner
and that the same are true and correct to the best of her
knowledge, information and belief; and that this Verification is
given pursuant to the penalties of 18 Pa.C.S.A. Section 4904
relating to unsworn falsification to authorities.
MAUREEN CALLAHAN R TTO, ESQUIRE
P7
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JANET AND CHARLES HANNUM IN THE COURT OF COMMON PLEAS OF
PLAINTIFF CUMBERLAND COUNTY, PENNSYLVANIA
V. 2004-4117 CIVIL ACTION LAW
ALLISON HANNUM
IN CUSTODY
DEFENDANT
ORDER OF COURT
AND NOW, Tuesday, June 10, 2008 , upon consideration of the attached Complaint,
it is hereby directed that parties and their respective counsel appear before Hubert X. Gilroy, Esq. , the conciliator,
at 4th Floor, Cumberland County Courthouse, Carlisle on Friday, July 18, 2008 at 8:30 AM
for a Pre-Hearing Custody Conference. At such conference, an effort will be made to resolve the issues in dispute; or
if this cannot be accomplished, to define and narrow the issues to be heard by the court, and to enter into a temporary
order. Failure to appear at the conference may provide grounds for entry of a temporary or permanent order.
The court hereby directs the parties to furnish any and all existing Protection from Abuse orders,
Special Relief orders, and Custody orders to the conciliator 48 hours prior to scheduled hearing.
FOR THE COURT,
By: /s/ Hubert X. Giko ,Es q.
Custody Conciliator
The Court of Common Pleas of Cumberland County is required by law to comply with the Americans
with Disabilites 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.
YOU SHOULD TAKE THIS PAPER TO YOUR ATTORNEY AT ONCE. IF YOU DO NOT
HAVE AN ATTORNEY OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET
FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP.
Cumberland County Bar Association
32 South Bedford Street
Carlisle, Pennsylvania 17013
Telephone (717) 249-3166
`d1NVNI N ?8 ilk
6C .Z Wd 1 iC 8002
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MAUREEN C. REPETTO, ESQUIRE
Attorney I.D. #59447
323 East Front Street
Media, PA 19063
(610) 565-3008 Attorney for
JANET AND CHARLES HANNUM : NO. 04-4117
VS.
ALLISON HANNUM IN CUSTODY
MOTION FOR CONTINUANCE
NOW COMES plaintiffs, Janet and Charles Hannum, by and dw
attorney, Maureen C. Repetto, Esquire, and moves for a continuance as
1. The above-captioned matter is scheduled for a Pre-Hearing
Conference on July 18, 2008 at 8:30 a.m before Conciliator Hubert X.
Esquire.
2. The moving parties for the said proceeding are plaintiffs,
Charles Hannum.
3. The other party in the case is Allison Hannum, who is not
represented by an attorney.
4. The proceeding was scheduled by a Cumberland County
Court dated June 10, 2008.
their
Custody
and
of
5. This proceeding has not been previously continued.
6. A continuance is requested because plaintiffs' counsel, Maureen C.
Repetto, Esquire, has pre-existing arrangements to attend a Family
Conference in Baltimore, Maryland, on July 18, 2008. Supporting
has been attached hereto as an exhibit.
7. Defendant, Allison Hannum, has been notified of this request by a
copy of this Motion for Continuance.
8. I hereby certify that if a continuance is granted, the pantie moving for
the continuance will be provided a copy of this Motion forthwith, and will notify
i
all witnesses who would be appearing at my request.
9. I specifically request a continuance of not less than thirty
Respectfully submitted,
Date: 1 2008
MAUREEN C. REPE
Attorney for Plaintiffs
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BAL 77,K
From: "Sarah Germak" <sarah.germak@pabar.org>
To: "Maureen Repetto" <mcrepetto@comcast.net>L 4 /1-19
Subject: Pennsylvania Bar Association Customer Receipt/Purchase Confirmation
Date: Thursday, May 15, 2008 5:28:28 PM
i
___= GENERAL INFORMATION
Merchant : Pennsylvania Bar Association
Date/Time : 15-May-2008 06:28:26 PM
Transaction ID: 1840863679
________= ORDER INFORMATION
Invoice Number : 1314
Description : PBA Store Receipt
Total : US $639.00
Payment Method : MasterCard
___= BILLING INFORMATION
Customer ID: 899
First Name : Maureen
Last Name : Repetto
Company :
Address :
City : IMMIRW
State/Province 40
Zip/Postal Code :J?
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Phone
Fax :
Email
___= SHIPPING INFORMATION
First Name : Maureen
Last Name : Repetto
Company:
Address
City :?
State/ProvinceZip/Postal Code :401MW
Country :
http://mailcenter3. comcast.net/wmc/v/wm/486BAE3B0007106D000029722216?3 8496019...
7/2/2008
MAUREEN C. REPETTO, ESQUIRE
Attorney I.D. #59447
323 East Front Street
Media, PA 19063
(610) 565-3008 Attorney
JANET AND CHARLES HANNUM : NO. 04-4117
VS.
ALLISON HANNUM IN CUSTODY
CERTIFICATE OF SERVICE
I, Maureen C. Repetto, Esquire, hereby certify that I am the
plaintiffs
for the
plaintiffs in the above action, and that a true and correct copy of the within Motion
for Continuance was sent to defendant, Allison Hannum, by first-class U.S. mail
on July 1, 2008 as follows:
Allison Hannum
P.O. Box 13
Summerdale, PA 17095
Date: uT, y 1, 2008
NIAUREEN C. REPETTO,
Attorney for Plaintiffs
I, Maureen C. Repetto, Esquire, hereby verify that I am attorney l?for the
plaintiffs in the foregong action, and that the facts set forth in the Motion for
Continuance are true and correct to the best of my knowledge, information, and
belief. The undersigned understands that the facts set forth therein are ode
subject to the penalties of 18 Pa. C.S.A. Section 4904 relating to unswgm
falsification to authorities.
Date: hdyjL008
MAUREEN C. REPETTO,
w
m
E-mail Address:
mcrepettogcomcast. net
MAUREEN C. REPETTO
ATTORNEY AT LAW
323 East Front Street
Media, Pennsylvania 19063
July 1, 2008
Office of the Prothonotary
Court of Common Pleas of Cumberland County
One Courthouse Square
Carlisle, PA 17013
RE: Janet and Charles Hannan vs. Allison Hannon
Court of Common Pleas of Cumberland County
No. 04-4117 -In Custody
Dear Sir/Madam:
Enclosed please find the original and two copies of a Motion for Continuance for
filing of record with the Court in the above-optioned case. Also enclosed are self-
addressed, stamped envelopes for all involved parties.
Would you kindly return the extra copy of the Motion for Continuance for my file
after it has been stamped by the Court. I have included a self-addressed, stamped
envelope for this purpose as well.
If you require any additional information, kindly contact my office.
Your attention is appreciated.
MCR/nf
Enclosures
cc: Ms. Allison Hamann
Janet & Charles Hannum
Very yon,
Maureen C. Repetto, Esquire
610-565-3008
(Fax) 610-565-3271
VP Q ? [UU8
JANET AND CHARLES HANNUM, : IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
v CIVIL ACTION - LAW
ALLISON HANNUM, NO. 2004-4117
Defendant IN CUSTODY
COURT ORDER
-1
AND NOW, this a day of August, 2008, the Conciliator being advised the parties
have reached an agreement and a Conciliation Conference is no longer needed, the Conciliator
relinquishes jurisdiction.
Hubert X. Gilroy,
Custody Concilial
C= Q
Fri
1
C.aJ
.ol
JANET AND CHARLES HANNUM,
Plaintiff
v
ALISON HANNUM,
Defendant
PRIOR JUDGE: KEVIN A. HESS
SAN ? n zoos ? y
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
NO. 2004-4117
IN CUSTODY
COURT ORDER
AND NOW, this zi' day of January, 2009, upon consideration of the attached Custody
Conciliation Report, it is ordered and directed as follows:
1. This court's prior order of October 14, 2004, is affirmed subject to the modifications
as set forth below:
2. The paternal grandparents' weekends for custody with the minor children as provided
in paragraph 2A of the October 14, 2004, order shall for the upcoming months be as
follows:
A. February 13 to February 16, March 13 to March 15, April 17 to April 19, May
22 to May 25, June 19 to June 21, July 10 to July 19 (which includes a week
vacation as set forth in the prior order), July 31 to August 9 (which also
includes vacation time), September 11 to September 13, October 9 to October
12, November 27 to November 30, and December 18 to December 20.
3. Exchange of custody between the parties shall occur at 6:00 p.m. on the mentioned date
at the Morgantown Exit McDonald's off the PA Turnpike.
4. The mother shall provide the grandparents with telephone contact with the minor child
on at least once per week.
5. It is noted that this order is entered pursuant to the attached custody conciliator's
recommendation and that the mother did not appear at the custody conciliation
conference. In the event the mother desires to modify this order, the mother may
petition the court to have the case again scheduled with the custody conciliator for a
conference. The conciliator will schedule a conference upon the filing of such a
petition.
6. Pending further order of this court, the mother is directed to abide by the schedule set
forth above.
7. The grandparents petition to hold the mother in contempt is deemed withdrawn subject,
however, to the grandparents ability to re-file this petition to include allegations that
were set forth therein along with any new allegations in the event mother does not abide
by the terms of the existing order.
BY THE COURT,
Judge K n A. Hess
cc: *?d'gureen C. Repetto, Esquire
X. Alison MacAdam
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JANET AND CHARLES HANNUM,
Plaintiff
v
ALISON HANNUM,
Defendant
PRIOR JUDGE: KEVIN A. HESS
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
NO. 2004-4117
: IN CUSTODY
CONCILIATION CONFERENCE SUMMARY REPORT
IN ACCORDANCE WITH THE CUMBERLAND COUNTY RULE OF CIVIL
PROCEDURE 1915.3-8(b), the undersigned Custody Conciliator submits the following report:
1. The pertinent information pertaining to the children who are the subject of this
litigation is as follows:
Ashley MacAdam Hannum, born May 5,1996, and Anthony B. Hannum, born October
7, 1997.
2. A Conciliation Conference was held on January 16, 2009, with the following
individuals in attendance:
The paternal grandparent, Janet C. H. Hannum and Charles Hannum, with their
counsel, Maureen C. Repetto, Esquire. The father is in California and has not
been active in the case and has not participated in the past. The mother, Alison
MacAdam, did not appear at the custody conciliation conference even though
she had received notice of the conference.
3. The grandparents are not seeking any dramatic change in the order but, at this point, are
merely seeking to set a specific time to implement their periods of custody as provided
in the October 14, 2004, order. The grandparents are also seeking some limited
provisions relative to telephone communication, etc. On that basis, the Conciliator
feels comfortable to submit the attached recommended order to the court rather than
scheduling this case for a hearing.
4. The Conciliator recommends an Order in the form as attached.
Date: January I q , 2009
Hubert X. Gilroy, Esquire
Custody Conciliator