Loading...
HomeMy WebLinkAbout02-0644In The Court of Common Pleas Cumberland County Commonwealth of Pennsylvania RE: Cory A. Cormany v. Earl Reitz Jr., et al. PETITION I, Cory A. Cormany, declare that I am the petitioner in the above titled proceeding; that in support of my request to proceed without being required to prepay fees, costs or give security thereof, I state that because of my poverty, I am unable to pay the cost of said proceedings or give security thereof; that I believe I am entitled to relief. The nature of my action, defense, or other proceedings or the issues I intend to present on appeal briefly stated as follows: In further support of the application, I answer the following questions: Are you presently employed? (No) Have you received within the past twelve months any money from any of the following sources? (a) Business, profession or other form of self-employment? (No) (b) Rent payments, interest or dividends? (No) (c) Pension, annuities or life insurance payments? (No) (d) Gifts or inheritances? (No) (e) Any other sources? (No) Do you have any cash, or do you have money in checking/savings accounts? (Yes) I have approximately twenty five and O0 dollars available in my checking/savings account. Do you own or have any interest in any real estate, stocks, bonds, notes, automobiles or other valuable property (excluding ordinary household furnishings and clothing)? (No) Not at present. List the persons who are dependent upon you for support, state your relationship to those persons and indicate how much you contribute toward their support. I have an unsecured loan with American General Finance Company for amounts required. I have a biological daughter, however, is relevant to proceeding concerning financial obligation. I declare under penalty of perjury that the foregoing is true and correct. Executed o n____.~_/_~_o_~ Cormany ~ -2- Cory A. Cormany 1101 Claremont Rd. Carlisle, Pa. 17013 February 6, 2002 Cumberland County Chief Judge Cumberland County Court House 1 South Hanover St. Carlisle, Pa. 17013 Dear Judge Hoffer, Please find enclosed another civil matter to be petitioned through the Cumberland County Court. I have also acknowledged a Grievance Complaint to the U.S. District Court pertinent herein my incarceration, and have proceeded criminal reviews to the District Attorney's Office pursuant thereto the enclosed. I very much thankyou for your attention and will be petitioning grievance to your honor's said court as well, relevant my current and prior criminal dilemnas. Sincerely, Cory A. Cor~ :CAC PLAINTIFF CORY A. CORMANY Vo DEFENDANT EARL REITZ CALAMAN, COLBERTSON, ADAMS, JOHN TERRY DARR, DEIHL, PAUL JR., STEVE CURTIS JOHN PORTER, GREG GREEN, FRANK TEANEY OF THE CUMBERLAND COUNTY PRISON, GARY SHOLENBERGER, JEFFREY KURTZ, MATHEW KENNEDY OF THE CARLISLE DEPARTMENT, FRANKS OF CUMBERLAND D.A. AND CORREAL POLICE JEFFREY THE COUNTY PAULA IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA - Zo CIVIL ACTION - LAW JURY TRIAL NOTICE You have been sued in Court. If you wish to defend against the claim set forth in the following pages, you must take action within twenty (20) days after the Complaint and Notice are served by entering a written appearance personally or by attorney and by filing in writing with the Court your defense or objection to the claims set forth against you. You are warned that if you fail to do so the case may proceed without you and judgment may be entered against you by the Court without further notice for any money claimed in the Complaint or for any other claim or relief requested by Plaintiff. You may lose money or property or other rights important to you. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. 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. Court Administrator Cumberland County Court House 1 South Street Carlisle, PA. 17013 PLAINTIFF CORY A. CORMANY Vo DEFENDANT EARL REITZ JR., CALAMAN, COLBERTSON, ADAMS, JOHN TERRY DARR, DEIHL, PAUL STEVE CURTIS JOHN PORTER, GREG GREEN, FRANK TEANEY OF THE CUMBERLAND COUNTY PRISON, GARY SHOLENBERGER, JEFFREY KURTZ, MATHEW KENNEDY OF THE CARLISLE DEPARTMENT, FRANKS OF CUMBERLAND D.A. AND CORREAL POLICE JEFFREY THE COUNTY PAULA IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA CASE NO. CIVIL ACTION - LAW COMPLAINT AND NOW comes, Cory Cormany, Plaintiff, and sets forth causes of action against the above Defendants, whereof the following is a statement: 1. Plaintiff is Cory Commny, an adult individual residing in Carlisle, Cumberland County, Pennsylvania. 2. Defendants Earl Reitz Jr., SteVe Calaman, Curtis Colbertson, John Adams, John Porter, Terry Darr, Greg Deihl, Paul Green, Frank Teaney, Gary Sholenberger, Jeffrey Kurtz, Mathew Kennedy and Jeffrey Franks are adult individuals residing in the Cumberland County Community, Pennsylvania. 3. Defendant Honorable District Justice Paula Correal is an adult individual residing in the Cumberland County Community, Pennsylvania. 4. Plaintiff Cory Cormany is an adult individual preceding employment with K-Mart Corporation, Carlisle, Pennsylvania. The Plaintiff is a taxpayer, a registered voter and a citizen of the United States of America. 5. Plaintiff Cory Cormany is a high school graduate in attending South Middleton School District. He is also academically achieved through the Pennsylvania State University. 6. Pursuant therefore the foregoing statement, Defendants John Adams, John Porter, Terry Darr, Greg Deihl, Paul Green and Frank Teaney did perpetrate a series of questionable situations and circumstances reportorial the Plaintiff Cory Cormany and the District Attorney of Cumberland County. 7. On April 1st, of the year 1996, Defendant Steve Calaman did corroborate and corrupt criminative offenses directional the Plaintiff Cory Cormany, without superior affimiation political the Cumberland County Prison, Pennsylvania. 8. Prior therein the foregoing statement, Plaintiff Cory Cormany did petition a criminal and a civil matter substantial Defendant Jeffrey Franks and the Cumberland County District Attorney. 9. On May 29th, of the year 1996, Defendants Steve Calaman and Jeffrey Franks did solicit to commit and justify criminal acts against the Plaintiff Cory Cormany pursuant the Defendant Honorable District Justice Paula Correal. 10. On September 6th, of the year 1996, Defendant Gary Sholenberger did commit and construe criminative offenses perspicacious the Plaintiff Cory Cormany, prior a commitment to the Cumberland County Prison. 11. On February 8th, of the year 2000, Defendant Jeffrey Kurtz did commit and coerce criminative offenses cumulative the Plaintiff Cory Cormany, proceeding a commitment to the Cumberland County Prison. 12. On May 21st, of the year 2001, Defendant Mathew Kennedy did commit and abscond criminative offenses calumnious the Plaintiff Cory Connany, prescient a commitment to the Cumberland County Prison. 13. On September 12th, of the year 2001, Plaintiff Cory Cormany did waive and consent a guilty ramification objectional Defendants Mathew Kennedy and Honorable District Justice Paula Correal. 14. On September 25th, of the year 2001, Plaintiff Cory Cormany did petition a civil complaint with the United States District Court impetuous the Defendant Honorable District Justice Paula Correal. 15. On October 2nd, of the year 2001, Defendant Mathew Kennedy did aggress and implement criminative offenses destitutional the Plaintiff Cory Cormany, without jurisdictional approval influential the Cumberland County Prison, Pennsylvania. 16. On November 4th, of the year 2001, Plaintiff Cory Cormany did listen to and comprehend; a number of detrimental procrastinations continual therefore, a Mr. Maswadeh Arafat and associates complaisant the District Attorney of Cumberland County. 17. Prior herein and pertinent hereto, Defendant Honorable District Justice Paula Correal did conspire to the solicitations of the Defendants Jeffrey Franks and Curtis Colbertson instantaneous the Defendant Mathew Kennedy. 18. On December 7th, of the year 2001, Defendant Mathew Kennedy and Honorable District Justice Paula Correal did again solicit to commit and justify criminal acts against the Plaintiff Cory Cormany. 19. On December 10th, of the year 2001, Plaintiff Cory Company did remand a commitment noncertified an official service in the Cumberland County Prison, Pennsylvania. 20. On December 24th, of the year 2001, Plaintiff Cory Cormany did service a criminal report to the District Attorney's Office of Cumberland County consequential Defendants Paula Correal and William Deihl reliable Defendant Jeffrey Franks. 21. On December 24th, of the year 2001, Plaintiff Cory Cormany did file a criminal complaint with the District Attorney's Office of Cumberland County infommtive Defendants Stephen L. Margeson and Associates remissible Defendant Earl Reitz Jr. 22. On December 24th, of the year 2001, Plaintiff Cory Cormany did pursue a criminal complaint in the District Attorney's Office of Cumberland County culpable Defendants Steve Calaman, Gary Sholenberger, Jeffrey Kurtz, Mathew Kennedy, Curtis Colbertson, Samuel Coover and Jeffrey Franks applicable Defendant Earl Reitz Jr. 23. On January 3rd, of the year 2002, Plaintiff Cory Company was scheduled to be released and/or discharged from the Cumberland County Prison careful a policy and obligatory the order of the court set forth by the Commonwealth of Pennsylvania, Court of Common Pleas, Cumberland County, Pennsylvania. 24. The Plaintiff Cory Cormany has suffered public humiliation as caused by the defamation of his character, pain and physical injury as a result of the Defendant's solicit and malicious actions. 25. The Plaintiff Cory Cra-many has suffered mental anguish, emotional distress, imprisonment and loss of employment as a result of the Defendant's solicit and malicious actions. 26. The Plaintiff Cory Comiany has suffered lost wages, benefits, fees and property in the amount or in the potential amount of One Hundred Twenty Five Thousand and 00 Dollars (125,000.00) as a result of the Defendant's solicit and malicious actions. COUNT ONE CORY A. CORMANY V. EARL REITZ JR. CIVIL ACTION - LAW PREJUDICIAL ERROR 27. The averments set forth in Paragraphs one through twenty six (1-26) of the Complaint are incorporated by reference as if set forth at length. 28. The prejudicial and conspiratorial issues and crimes are serious as having happened in the Cumberland County, Pennsylvania, respectfully submitted exhibits; A - T. 29. Proceeding hereto and relevant herein the Defendant Earl Reitz Jr. did maliciously solicit a requisite criminal intention careless a constitutional statute and deliberate a willful conduct. 30. The Plaintiff Cory Cormany did suffer pain for injuries felt and sustained, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. 31. By reason of the aforesaid matter, Plaintiff Cory Cormany has suffered pain, injury, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. WHEREFORE, the Plaintiff Cory Cormany, claims from the Defendant in an amount in excess of One Hundred Twenty Five Thousand and 00 Dollars (125,000.00) plus cost of suit. COUNT TWO CORY A. CORMANY V. STEVE CALAMAN CIVIL ACTION - LAW PREJUDICIAL ERROR 32. The averments set forth in Paragraphs one through twenty six (1-26) of the Complaint are incorporated by reference as if set forth at length. 33. The prejudicial and conspiratorial issues and crimes are serious as having happened in the Cumberland County, Pennsylvania, respectfully submitted exhibits; A - T. 34. Proceeding hereto and relevant herein the Defendant Steve Calaman did maliciously solicit a requisite criminal intention careless a constitutional statute and deliberate a willful conduct. 35. The Plaintiff Cory Cormany did suffer pain for injuries felt and sustained, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. 36. By reason of the aforesaid matter, Plaintiff Cory Cormany has suffered pain, injury, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. WHEREFORE, the Plaintiff Cory Cormany, claims from the Defendant in an amount in excess of One Hundred Twenty Five Thousand and 00 Dollars (125,000.00) plus cost of suit. COUNT THREE CORY A. CORMANY V. CURTIS COLBERTSON CIVIL ACTION - LAW PREJUDICIAL ERROR 37. The averments set forth in Paragraphs one through twenty six (1-26) of the Complaint are incorporated by reference as if set forth at length. 38. The prejudicial and conspiratorial issues and crimes are serious as having happened in the Cumberland County, Pennsylvania, respectfully submitted exhibits; A - T. 39. Proceeding hereto and Colbertson did maliciously solicit relevant herein the Defendant Curtis a requisite criminal intention careless a constitutional statute and deliberate a willful conduct. 40. The Plaintiff Cory Cormany did suffer pain for injuries felt and sustained, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. 41. By reason of the aforesaid matter, Plaintiff Cory Cormany has suffered pain, injury, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. WHEREFORE, the Plaintiff Cory Cormany, claims from the Defendant in an amount in excess of One Hundred Twenty Five Thousand and 00 Dollars (125,000.00) plus cost of suit. COUNT FOUR CORY A. CORMANY V. JOHN ADAMS CIVIL ACTION - LAW PREJUDICIAL ERROR 42. The averments set forth in Paragraphs one through twenty six (1-26) of the Complaint are incorporated by reference as if set forth at length. 43. The prejudicial and conspiratorial issues and crimes are serious as having happened in the Cumberland County, Pennsylvania, respectfully submitted exhibits; A - T. 44. Proceeding hereto and relevant herein the Defendant John Adams did maliciously solicit a requisite criminal intention careless a constitutional statute and deliberate a willful conduct. 45. The Plaintiff Cory Coimany did suffer pain for injuries felt and sustained, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. 46. By reason of the aforesaid matter, Plaintiff Cory Cormany has suffered pain, injury, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. WHEREFORE, the Plaintiff Cory Connany, claims from the Defendant in an amount in excess of One Hundred Twenty Five Thousand and 00 Dollars (125,000.00) plus cost of suit. COUNT FIVE CORY A. CORMANY V. JOHN PORTER CIVIL ACTION - LAW PREJUDICIAL ERROR 47. The avemients set forth in Paragraphs one through twenty six (1-26) of the Complaint are incorporated by reference as if set forth at length. 48. The prejudicial and conspiratorial issues and crimes are serious as having happened in the Cumberland County, Pennsylvania, respectfully submitted exhibits; A - T. 49. Proceeding hereto and relevant herein the Defendant John Porter did maliciously solicit a requisite criminal intention careless a constitutional statute and deliberate a willful conduct. 50. The Plaintiff Cory Cormany did suffer pa'm for injuries felt and sustained, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. 51. By reason of the aforesaid matter, Plaintiff Cory Cormany has suffered pain, injury, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. WHEREFORE, the Plaintiff Cory Cormany, claims from the Defendant in an amount in excess of One Hundred Twenty Five Thousand and 00 Dollars (125,000.00) plus cost of suit. COUNT SIX CORY A. CORMANY V. TERRY DARR CIVIL ACTION - LAW PREJUDICIAL ERROR 55. sustained, mental anguish, public humiliation, emotional employment and property, confinement and incarceration. 52. The averments set forth in Paragraphs one through twenty six (1-26) of the Complaint are incorporated by reference as if set forth at length. 53. The prejudicial and conspiratorial issues and crimes are serious as having happened in the Cumberland County, Pennsylvania, respectfully submitted exhibits; A - T. 54. Proceeding hereto and relevant herein the Defendant Terry Darr did maliciously solicit a requisite criminal intention careless a constitutional statute and deliberate a willful conduct. The Plaintiff Cory Cormany did suffer pain for injuries felt and distress, loss of 56. By reason of the aforesaid matter, Plaintiff Cory Comiany has suffered Pain, injury, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. WHEREFORE, the Plaintiff Cory Connany, claims from the Defendant in an amount in excess of One Hundred Twenty Five Thousand and 00 Dollars (125,000.00) plus cost of suit. COUNT SEVEN CORY A. CORMANY V. GREG DEIHL CIVIL ACTION - LAW PREJUDICIAL ERROR 57. The averments set forth in Paragraphs one through twenty six (1-26) of the Complaint are incorporated by reference as if set forth at length. 58. The prejudicial and conspiratorial issues and crimes are serious as having happened in the Cumberland County, Pennsylvania, respectfully submitted exhibits; A - T. 59. Proceeding hereto and relevant herein the Defendant Greg Deihl did maliciously solicit a requisite criminal intention careless a constitutional statute and deliberate a willful conduct. 60. The Plaintiff Cory Cormany did suffer pain for injuries felt and sustained, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. 61. By reason of the aforesaid matter, Plaintiff Cory Connany has suffered pain, injury, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. WHEREFORE, the Plaintiff Cory Comiany, claims from the Defendant in an amount in excess of One Hundred Twenty Five Thousand and 00 Dollars (125,000.00) plus cost of suit. COUNT EIGHT CORY A. CORMANY V. PAUL GREEN CIVIL ACTION - LAW PREJUDICIAL ERROR 62. The averments set forth in Paragraphs one through twenty six (1-26) of the Complaint are incorporated by reference as if set forth at length. 63. The prejudicial and conspiratorial issues and crimes are serious as having happened in the Cumberland County, Pennsylvania, respectfully submitted exhibits; A - T. 64. Proceeding hereto and relevant herein the Defendant Paul Green did maliciously solicit a requisite criminal intention careless a constitutional statute and deliberate a willful conduct. 65. The Plaintiff Cory Cormany did suffer pain for injuries felt and sustained, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. 66. By reason of the aforesaid matter, Plaintiff Cory Cormany has suffered pain, injury, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. WHEREFORE, the Plaintiff Cory Cmmany, claims from the Defendant in an amount in excess of One Hundred Twenty Five Thousand and 00 Dollars (125,000.00) plus cost of suit. COUNT NINE CORY A. CORMANY V. FRANK TEANEY CIVIL ACTION - LAW PREJUDICIAL ERROR 67. The averments set forth in Paragraphs one through twenty six (1-26) of the Complaint are incorporated by reference as if set forth at length. 68. The prejudicial and conspiratorial issues and crimes are serious as having happened in the Cumberland County, Pennsylvania, respectfully submitted exhibits; A - T. 69. Proceeding hereto and relevant herein the Defendant Frank Teaney did maliciously solicit a requisite criminal intention careless a constitutional statute and deliberate a willful conduct. 70. The Plaintiff Cory Comiany did suffer pain for injuries felt and sustained, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. 71. By reason of the aforesaid matter, Plaintiff Cory Cormany has suffered pain, injury, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. WHEREFORE, the Plaintiff Cory Cormany, claims from the Defendant in an amount in excess of One Hundred Twenty Five Thousand and 00 Dollars (125,000.00) plus cost of suit. COUNT TEN CORY A. CORMANY V. GARY SHOLENBERGER CIVIL ACTION - LAW PREJUDICIAL ERROR 72. The averments set forth in Paragraphs one through twenty six (1-26) of the Complaint are incorporated by reference as if set forth at length. 73. The prejudicial and conspiratorial issues and crimes are serious as having happened in the Cumberland County, Pennsylvania, respectfully submitted exhibits; A - T. 74. Proceeding hereto and relevant herein the Defendant Gary Sholenberger did maliciously solicit a requisite criminal intention careless a constitutional statute and deliberate a willful conduct. 75. The Plaintiff Cory Comiany did suffer pain for injuries felt and sustained, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. 76. By reason of the aforesaid matter, Plaintiff Cory Cotmany has suffered pain, injury, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. WHEREFORE, the Plaintiff Cory Connany, claims from the Defend_a_nt in an amount in excess of One Hundred Twenty Five Thousand and 00 Dollars (125,000.00) plus cost of suit. COUNT ELEVEN CORY A. CORMANY V. JEFFREY KURTZ CIVIL ACTION - LAW PREJUDICIAL ERROR 77. The averments set forth in Paragraphs one through twenty six (1-26) of the Complaint are incorporated by reference as if set forth at length. 78. The prejudicial and conspiratorial issues and crimes are serious as having happened in the Cumberland County, Pennsylvania, respectfully submitted exhibits; A - T. 79. Proceeding hereto and relevant herein the Defendant Jeffrey Kurtz did maliciously solicit a requisite criminal intention careless a constitutional statute and deliberate a willful conduct. 80. The Plaintiff Cory Cormany did suffer pain for injuries felt and sustained, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. 81. By reason of the aforesaid matter, Plaintiff Cory Cormany has suffered pain, injury, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. WHEREFORE, the Plaintiff Cory Cotmany, claims from the Defendant in an amount in excess of One Hundred Twenty Five Thousand and 00 Dollars (125,000.00) plus cost of suit. COUNT TWELVE CORY A. CORMANY V. MATHEW KENNEDY CIVIL ACTION - LAW PREJUDICIAL ERROR 82. The averments set forth in Paragraphs one through twenty six (1-26) of the Complaint are incorporated by reference as if set forth at length. 83. The prejudicial and conspiratorial issues and crimes are serious as having happened in the Cumberland County, Pennsylvania, respectfully submitted exhibits; A - T. 84. Proceeding hereto and relevant herein the Defendant Mathew Kennedy did maliciously solicit a requisite criminal intention careless a constitutional statute and deliberate a willful conduct. 85. The Plaintiff Cory Cot-many did suffer pain for injuries felt and sustained, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. 86. By reason of the aforesaid matter, Plaintiff Cory Comiany has suffered pain, injury, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. WHEREFORE, the Plaintiff Cory Coimany, claims from the Defendant in an amount in excess of One Hundred Twenty Five Thousand and 00 Dollars (125,000.00) plus cost of suit. COUNT THIRTEEN CORY A. CORMANY V. JEFFREY FRANKS CIVIL ACTION - LAW PREJUDICIAL ERROR 90. sustained, mental anguish, public humiliation, emotional employment and property, confinement and incarceration. 87. The averments set forth in Paragraphs one through twenty six (1-26) of the Complaint are incorporated by reference as if set forth at length. 88. The prejudicial and conspiratorial issues and crimes are serious as having happened in the Cumberland County, Pennsylvania, respectfully submitted exhibits; A - T. 89. Proceeding hereto and relevant herein the Defendant Jeffrey Franks did maliciously solicit a requisite criminal intention careless a constitutional statute and deliberate a willful conduct. The Plaintiff Cory Comiany did suffer pain for injuries felt and distress, loss of 91. By reason of the aforesaid matter, Plaintiff Cory Cormany has suffered pain, injury, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. WHEREFORE, the Plaintiff Cory Commny, claims from the Defendant in an amount in excess of One Hundred Twenty Five Thousand and 00 Dollars (125,000.00) plus cost of suit. COUNT FOURTEEN CORY A. CORMANY V. PAULA CORREAL CIVIL ACTION - LAW PREJUDICIAL ERROR 92. The averments set forth in Paragraphs one through twenty six (1-26) of the Complaint are incorporated by reference as if set forth at length. 93. The prejudicial and conspiratorial issues and crimes are serious as having happened in the Cumberland County, Pennsylvania, respectfully submitted exhibits; A - T. 94. Proceeding hereto and relevant herein the Defendant Paula Correal did maliciously solicit a requisite criminal intention careless a constitutional statute and deliberate a willful conduct. 95. The Plaintiff Cory Connany did suffer pain for injuries felt and sustained, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. 96. By reason of the aforesaid matter, Plaintiff Cory Cormany has suffered pain, injury, mental anguish, public humiliation, emotional distress, loss of employment and property, confinement and incarceration. WHEREFORE, the Plaintiff Cory Cotmany, claims from the Defendant in an amount in excess of One Hundred Twenty Five Thousand and 00 Dollars (125,000.00) plus cost of suit. VERIFICATION I, Cory A. Cmmany, Plaintiff in the above captioned action, hereby verify and state that the facts set forth in the Complaint against Earl Reitz Jr., Steve Calaman, Curtis Colbertson, John Adams, John Porter, Terry Darr, Greg Deihl, Paul Green, Frank Teaney, Gary Sholenberger, Jeffrey Kurtz, Mathew Kennedy, Jeffrey Franks and Paula Correal are tree and correct to the best of my information, knowledge, and belief. I understand that false statements herein are made subject to the penalties of 18 Pa. C.S.A. Section 4904 relating to unswom verification to authorities. Dated Cory A. Comiany CERTIFICATION OF SERVICE AND NOW, this day of 2002, I Cory A. Cormany foregoing the aforesaid matter with my Attorney , hereby certify that I have served the foregoing document upon the following by depositing a copy of same in the United States Mail, at Carlisle Pennsylvania, addressed as follows: Cumberland County Prison Earl Reitz Jr. Steve Calaman Curtis Colbertson John Adams John Porter Terry Dart Greg Deihl Paul Green Frank Teaney 1101 Claremont Road Carlisle, PA 17013 D. J. Paula Correal 1 South Hanover Street Carlisle, PA 17013 D.A. Court House Jeffrey Franks 1 South Hanover Street Carlisle, PA 17013 Carlisle Police Departmem Gary Sholenberger Jeffrey Kurtz Matthew Kennedy 53 West South Street Carlisle, PA 17013 Cory A. Cormany 1883 Douglas Drive Carlisle, PA 17013 c/o Cumberland County Prison 1101 Claremont Road Carlisle, PA 17013 COUNTY Of: CUMBER~ Mag. Dial No.: 09-2-01 DJ Name: Hon. Add ..... EAST WING - COURTHOUSE 1' COURTHOUSE SQUARE CARLISLE, PA T. lo.oho,,: (717) 240-6564 ...... 17013-0000 CORY A. CORMANY 1883 DOUGLAS DR. CARLISLE, PA 17013 COMMONWEALTH OF PENNSYLVANIA VS. DEFENDANT: NME and ADDRE~ ~ORMANY, CORY ALLiSTER 1883 DOUGLAS DR. CARLISLE, PA 17013 l Docket No.: NT-0000726-96 Date Filed: 5/29/96 18 §2709 §§A3 HARASSMENT/REPEATEDLY AT.ARM, ANNOY ...... =-~' =- -.~,':': : .... '= ...... ......... (uharge)-' ' (Charge) I, PAULA P CORREAL , hereby state that on December 3 ,19 96, I sentenced you, the above defendant, to pay a fine and/or costs in the amount of $1 ? 2.50 for violating the above charge(s). You have failed to pay the above fines and/or costs, and accordingly, I have set an indigency hearing to determine your financial status due to your failure to pay the fine and costs which were imposed against you in the above captioned-case. To date, you owe this court $172.50 in fines, fees and costs. The hearing is scheduled to be held as follows: j Place:DISTRICT COURT 09-2-01 ' EAST WING - COOikTHOUSE i COURTHOUSE SQUARE At the hearing, you must appear and inform the court of any changes in your financial condition. The court may extend, accelerate, leave unaltered or impose imprisonment for non-payment of these fineS and costs. If you fail' to appear, a warrant will be iSSL~ed for your arrest. At this hearing, you may have a right to be r~presented by an attorney. If you cannot afford an attorney and you qualify, one may be appointed for you. Please contact: for additional information regarding the appointment of an attorney. Payment of fines and costs in FULL will excuse the necessity of your appearance at this hearing. If you are disabled and require assistance, please contact the Magisterial District office at the address above. ,, My commission expires first.Monday of January, 2000 . SEAL DATE PRhNTED: 1/14/97 , District Justice AOPC 631-94 COUNTY OF: CIIMBERLAND Mag. Dist. No.: 09-2-01 DJ Name: Hon. · · PAULA P. CORREAL ~d,..,: EAST WING - COURTHOUSE i .COURTHOUSE' SQUARE CARLISLE; PA T,~Pho,,:(717) 240-656& . · 17013~0000 CORY A. CORMANY 1883 DOUGLAS DR. CARLISLE, PA 17013 COMMONWEALTH OF PENNSYLVANIA ·VS. DEFENDANT: NAME and ADDRESS i-COR~, CORY ALLISTER 1883 DOUGLAS DR. CARLISLE, PA 17013 Docket No.: NT-0000727-96 Date Filed: 5/29/96 18 §2709 §§A3 HARASSMENT/REPEATEDLY ALARM, ANNOY · (Charge) I, PAULA P COP. REAL , hereby state that on December 6 19 96, I sentenced you, the above defendant, tO pay a fine and/or costs in the amount of $172.50 · for violating the above charge(s). You~have failed to pay the above fines and/or costs, and accordingly, I have set an indigency hearing to determine your financial status due to your failure to pay the fine and costs which were imposed against you in the above captioned case. To date, you owe this cour~ $172.50 in fines, fees and costs. The hearing is scheduled to be held as follows: I Place:DISTRICT COURT 09-2-01 Dste: 2/21/97 ":" ' EAST WING COURTHOUSE Time: 9:30' AM '' i COURTHOUSE SQUARE ~T.T~T,~; D~ 1T01~-0000 At the hearing you must appear and inform the court of any changes in your financial condition. The cour~ may extend, accelerate, leave unaltered or impose imprisonment for non-payment of these fines and costs. If you fail to appear, a warrant will be issued for your arrest. At this headng, you may have a right to be represented by an attorney. If you cannot afford an attorney and you qualify, one may be app,ointed for you. Please contact: for additional info~-nation regarding the appointment of an attorney. Payment of fines and costs in FULL will excuse the necessity of your appearance at this headng. If you are dissbled and require aeeletance, please contact the Magisterial District office at the address above. If you have any questions, ~e abov~diate~} My commission expires first Monday of January, 2oo0 . SEAL , District Just ce DATE PRINTED: 1/14/97 AOPC 631-94 12/28/0 COMDATE 6/21/92 12:00:00AM 6/22/93 12:00:00AM 1/4/94 12:00:00AM 11/15/94 12:00:00AM 2/19/95 12:00:00AM 9/9/96 12:00:00AM 6/21/97 12:00:00AM 10/30:97 12:00:00AM 2/26/99 12:00:00AM 5/3/00 1:38:03PM 8/6/01 3:05:55PM LASTNAME CORMANY CORMANY CORMANY CORMANY CORMANY CORMANY CORMANY CORMANY CORMANY CORMANY CORMANY FIRSTNAM CORY CORY CORY CORY CORY CORY CORY CORY CORY CORY CORY RELDATE 10/20/92 12:00:00AM 6/22/93 12:00:00AM 3/5/94 12:00:00AM ! 1/16/94 12:00:00AM 6/7/96 12:00:00AM 9/18/96 12:00:00AM 6/21/97 12:00:00AM 1/2/98 12:00:00AM 3/3/99 12:00:00AM 5/11/00 4:20:44PM 1 86,5 E] Criminal MIschi~f~ ......... -.=-L_ ~__ ' ' - DEFENDANT'S COPY , ' · NON-TRAFFIC CITATION COMMONWEALTH OF~ PENNSYLVANIA · NON,TRAFFIC.CITATION/D :'SUMMONS' " 1896607-611 C~ninal Tre .~ r3 Theft of Services ' 0 Criminal Mischief Public Dmnker, ne~ 0 Scat~ering Rubbish ; purChaSe~ Consumptia~, possession m. Transpo~.tio~, of Liqu,~ or Malt or Brewed Beverages C.O_M~O~TH OF PENNSYLVANIA CITATION NO. NON-TRAFFIC CITATION Purchase, Consumption, Possession or TransportatJo, of Lkluor o~ Mall or Brewed ~n~tagee'.. C~?,MMONWEALTH OE PENNSYLVANIA .~UNTY OF: CUM~E]~T.:~ID 09 - 22 O1 PAULA P. CORREAL ~ress~ i COURTHOUSE SQUARE CARLISLE, PA Te..ohon.:(7171 240-6564 17013-0000 CORY A. CORMANY 1883.' DOUGLAS DR CARLISLE, PA 17013 :"'SUMMONS FOR A SUMMARY CASE NO N-TRAFFIC ~ COMMONWEALTH OF PENNSYLVANIA VS. DEFENDANT: NAME and ADD'SS FCORMANY, CORY A 1883 DOUGLAS -DR"~ CARLISLE, PA 17013 L Docket No.: NT- 0000779' 01 Date Filed: 5/21/01 Charge(s): co.s: WITHIN TEN (10) DAYS OF RECEIPT OF THIS SUMMONS YOU MUST: TOTAL DUE: 1. PLEAD NOT GUILTY by notifying the district ustice above in writing and forwarding an ,amount equal to the to!~l d.Ue~l~ecified above, or f the f ne and costs are not specified, forward the sum of $50.00 as co atera ior your appearance al tra u , 2. PLEAD NOT GUILTY by appearing before the district justice above and posting such collateral for your appearance as the · district justice shall require; OR, 3. If you cannot afford to pay the total due specified above or the $50.00 collateral, you must appear before the district justice above to enter a plea; OR, 4. PLEAD GU ILTY by notifying the district justice above in writing, signing.the appropriate plea below, and forwarding an amount equal to the total due specified above: OR, 5. PLEAD GU ILTY by appearing before the district justice above if the total due is not specified. IF YOU ARE FOUND GUILTY BY THE DISTRICT JUSTICE AND WISH TO APPEAL, YOU HAVE THIRTY (30) DAYS TO ' REQUEST A TRIAL DE NOVO IN THE COURT OF COMMON PLEAS· ALI~ CHECKS OR MONEY ORDERS FOR FINE, COSTS, FEES, OR FOR COLLATERAL, SHALL BE MADE PAYABLE TO ,.. "MAGISTERIAL DISTRICT NO. 09 - 2 - 01 "IDENTIFIED ABOVE AND SENT TO THE ADDRESS ABOVE. IF YOU FAIL TO RESPOND TO THIS SUMMONS WITHIN THE TIME SPECIFIED ABOVE A WARRANT FOR YOUR ARREST SHALL ,BE ISSUED~: IF YOU ARE DISABLED AND REQUIRE ASSISTANCE, I~LEAsE CONTACT TH'E':MAGISTERIAL DISTRICT OFFICE AT THE ADDRESS ABOVE. IF YOU INTEND TO RESPOND BY MAIL: Detach and complete the lower portion of this summons with your signature on the appropriate plea line, (1) or (2). If you PLEAD NO'I' GU LTY, your check or money order must be in the amount of the total due specified above. If the total due is not specified your check or money order must be in the amount of $50.00 which will be held for collateral for your appearance at trial. You will be notified by mail of your date and time for tr a. · If you PLEAD GU LTY, enc ose a check or money order n the amount of the total due specified above. Failure to remit the full amount of the fine, costs and fees Will result in the issuance of a warrant for your arrest. Your check or money order sha be made payable to the "Magisterial District No., above, · ' '::: ;'~i':.::~" ' .,'MAILINpLEA. ~, · . ' ' ~'epresent that I make this plea knowinglY, voluntarily, and intelligently. {Fail'ure to indicate a ple~. when forwarding an amount equal · . to the total 'dbe' Specified above will result in' a'~uilty' plea being recorded.) ' · ' 1.' I PLEAD NOT GUILTY. · Docket No.: NT-0000779-01 ....... : ~ (Signature) . '"·' 2. I PLEAD GUILTY:' Cita'ti0h'No.: P1896186-5 CO,~MbNWEALTH"OF PENNSYLVANIA COUNTY OFi Mag. Dist. NO.: 09 -'2-O:J. DJ Name: Hon- PAOLA P. COP-REAL ~oress: i COURTHOUSE SQUARE CAI%LI SLE, PA (717) 240-6564 17013-0000 CORy A. CORMANY 1883 DOUGLAS DR CARLISLE, PA 17013 -- /~,,. SUMMONS FOR A SUMMARY CASE NO N-TRAFFIC COMMONWEALTH OF//~ PENNSYLVANIA ~ Charge(s): VS. DEFENDANT: NAME and ADDRESS [-CORMANY, CORY A 1883 DOUGLAS DR CARLISLE, PA 17013 Docket No.: NT-0000777-01 Date Filed: 5/21/01 [ 18 ~5505 ~§ POBLIC DRO~F"RnA~T~SS FINE WITHIN TEN (10) DAYS OF RECEIPT OF THIS SUMMONS YOU MUST: 1. PLEAD NOT GUILTY by noticing the district justice above in writing and fo~arding an amount equal to the total due specified above, or if the fine and costs are not specified, fo~ard the sum of $50,00 as collateral for your appearance at trial; OR, 2. PLEAD NOT GUILTY by appearing before the district ustice above and posting such collateral for your appearance as the district justice shall require; OR, 3. It you cannot afford to pay the total due specified above or the $50.00 collateral, you must appear before the distdct justice above to enter a plea; OR, ' 4. PLEAD GUILTY by notifying the district justice above in writing, signing the appropriate plea below, and forwarding an amount equal to the total due specified above: OR, PLEAD GUILTY by appearing before the district justice above if the total due is not specified· IF YOU ARE FOUND GUILTY BY THE DISTRICT JUSTICE AND WISH TO APPEAL, YOU HAVE THIRTY (30) DAYS TO REQUEST A TRIAL DE NOVO IN THE COURT OF COMMON PLEAS. ALL CHECKS OR MONEY ORDERS FOR FINE, COSTS, FEES, OR FOR COLLATERAL, SHALL BE MADE PAYABLE TO "MAGISTERIAL DISTRICT NO. 09 - 2 - 01 "IDENTIFIED ABOVE AND SENT TO THE ADDRESS ABOVE. iF YOU FAIL TO RESPOND TO THIS SUMMONS WITHIN THE TIME SPECIFIED ABOVE, A WARRANT FOR YOUR ARREST SHALL BE ISSUED. '.' ~ ~ IF YOU ARE DISABLED AND RE(~UIRE ASSISTANCE, PLEASE CONTACT THE'MAGISTERIAL DiSTriCT OFFICE AT THE ADDRESS A..BOVE. "~ IF YOU INTEND TO RESPOND BY MAIL: Detach and complete the lower portion of this summons with your signature on the approp~'iate plea line, (1) or (2). If you PLEAD NOT GUILTY, your check or money order must be in the amount of the total due specified above. If the total due is not specified, your check or money o~;de~; must be in the amount of $50.00 which will be held for collateral for your appearance at trial. You will be notified by mail of your date and time for trial. ~, If you PLEAD GUILTY, enclose a check or money order in the amount of the total due specified above. Failure to remit the full amount of the fine, costs and fees will result in the issuance Of a warrant for your arrest, Your check or money order shall be made payable to the "Magisterial District No," above, (DETACH HERE) ~- ......... ~' ........................................................................................ MAIL IN PLEA I represent that I make this plea knowingly, voluntarily, and intelligently. (Failure to indicate a plea when forwarding an amount equal to the total due specified above will result in a guilty plea being recorded.) 1,. I PLEAD NOT GUILTY. (Sign.~ture)o Docket No.: NT- 00007'77- 01 2. I PLEAD GUILTY. Ciiation No,:'P1896187 -6 · AOPC 617-99 · ' (Signature) :~i~M~iWEALTH °F pENNsYLVANiA ,c__OuN;rY oP' - 'i.,.. ~4~.~6ist. No.: 09-2-01 DJ Name: Hon. ,' PAULA P. CORREAL A~dress: I COURTHOUSE SQUARE CARLISLE, PA Telephone: (71,7) 240- 6564 CORY. A. CORMANY 1883 DOUGLAS DR CARLISnE, PA 17013 17013-0000 SUMMONS .. FOR A SUMMARY CASE* NON-TRAFFIC COMMONWEALTH O~.~ .~--~ VS. DEFENDANT: NAME and ADDRESS FCORMANY~ CORY A 1883 DOUGLAS DR.' CARLISLE, PA 17013 Docke~ No.: ~- 0000781- 01  Date Filed: 5/21/01 Charge(s):  8 8270~ S~A1 HARASSmenT .. ,a .. . .* :,f:: , .". .... WITHIN TEN (10) DAYS OF RECEIPT OF THIS SUMMONS YOU MUST: ~-: ..... , [.. 1. PLEAD NOT GU LTY by notifying the district justice above n wr tng and forwarding an amount e;:lual to the total due specified above, or if the fine and costs are not specified, forward the sum of $50.00 as collateral for your appearance at tria; OR, 2. PLEAD NOT GUILTY by appearing before the district justice above and posting such collateral for your appearance as the district justice shall require; OR, 3. If you cannot afford to pay the total due specified above or the $50.00 collateral, you must appear before the district justice above to enter a plea; OR, 4. PLEAD GUILTY by notifying the distdct justice above in writing, signing the appropriate plea below, and forwarding an amount equal to the total due specified above: OR, 5. PLEAD GUILTY by appearing before the district justice above if the total due is not specified. . IF YOU ARE FOUND GUILTY BY THE DISTRICT JUSTICE AND WISH TO APPEAL, YOU HAVE THIRTY (30) DAYS TO REQUEST A TRIAL DE NOVO IN THE COURT OF COMMON PLEAS. ALL CHECKS OR MONEY ORDERS FOR FINE, COSTS, FEES, OR FOR COLLATERAL, SHALL BE MADE PAYABLE TO "MAGISTERIAL DISTRICT NO. 09 - 2 - 01 "IDENTIFIED ABOVE AND SENT TO THE ADDRESS ABOVE. iF YOU..FAIL TO RESPONDTO THIS SUMMONS WITHIN THE TIME SPECIFIED ABOVE, A WARRANT FOR YOUR ARREST SHALL BE ISSUED, ~ i ~ ~ :~ ~ IF YOU ARE DISABLED AI~ID REQUIRE ASSlSTANCE,'PLEASE CONTACT THE MRGISTERIAL DISTRICT OFFICE AT THE ADDRESS ABOVE. IF~'~OU INTEND TO RESPOND BY MAIL: Detach and complete the lower portion of this summons with your signature on the appropriate plea line, (1) or (2). If you PLEAD NOT'GU LTY, your check or money order must be in the amount of the total due specified above. If the total due s not specified, your check or money order must be in the amount of $50.00 which will be held for collateral for your appearance at trial. You will be notified by mail of. your date and time for trial. if you PLEAD GUILTY enclose a check or money order in the amount of the total due specified above. Failure to remit the full amount of the fine, costs and fees w resu t n the ssuance of a warrant for your arrest. Your ch~ck or money order shall be made . payable to the "Magisterial District No." above. 'i; .':'~ (DETACH~ HERE) '--~'~-~l~"-------;~- ....... "----;'~ ........ .----'~ .... '~' ......... ' ....... ~ .......; ..................... · ,'.~ - ' .' · MAIL IN PLEA . · ', i:: · i re~'~sent that I make this plea kn0wingl~ voluntarily and intelligently. (Failure to'indicate a plea when forwarding an amount equal ' ' to the total due specified above will result in a guilty plea be ng recorded.) I PLEAD 'NOT GUILTY. . (Signature) I PLEAD GuILTYi· ,(Signature) Docket No.: 1~'-0000781-01 , Citat!on'No.: P1896606-5 .._ZCO,.UNTY.OF:. C'UMB ~ . 09 - 2.01 ' ' ,~/ DJ Name: Hon. PAULA P. CORREAL ~cidres$: 1 COURTHOUSE SQUARE CARLISLE, PA Telephone: (;717 .) -240 - 6564 17013-0000 CORY A. CORMA_NY 1883 DOUGLAS DR CARLISLE, PA 17013 FOR A SUMMARY CASE;.' NON-TIRAFFIC PE VS. DEFENDANT: NAME and ADDRESS I-COI:LMj~, CORY A '"' .-~ ' . : 1883 DOUGLAS DF, ..... -. CARLISLE," PA 17013 ":" !:"':':'~!'~ , Date Filed: 5/21/01 ~8 S5503 S~A4: DISORDERLY CONDUCT WITHIN TEN (10) DAYS OF RECEIPT OF THIS SUMMONS YOU MUST: ~ b noti in the distri~ ust ce a~ve n wr~ ng and fo~arding an amount equal to the total due specified 1. PLEAD NOT G~IL -Y' - ~ g ............ ~ .- ..... f ¢50 00 as collateral for your appearance at trial; OR, above, or if the fine a~o cos[s are no[ specmuu, ~u~w~u ~H~ ou,, ~ ~ . 2. PLEAD NOT GUILTY by appearing before the district justice a~ve and ~sting such collateral for your appearance as the distri~ justice shall require; OR, 3. If you cannot afford to pay the total due specified a~ve or the $50.00 collateral, you must appear before the distri~ justice a~ve to enter a plea; OR, 4. PLEAD GUILTY by noticing the distri~ justice a~ve in wdting, signing the appropriate plea ~low, and fo~arding an amount equal to the total due specified a~ve: OR, 5. PLEAD GUILTY by appearing ~fore the distfi~ justice a~ve if the total due is not specified. ~ IF YOU ARE FOUND GUILTY BY THE DISTRICT JUSTICE AND WISH TO APPEAL, YOU HAVE THIR~ (30) DAYS TO Charge(s):.,, R~QUEST A TRIAL DE NOVO IN THE COURT OF COMMON PLEAS. ~' ALL CHECKS OR MONEY ORDERS FOR FINE, COSTS, FEES, OR FOR COLLATERAL, SHALL BE MADE PAYABLE TO "MAGISTERIAL DISTRICT NO. 0~-2-01 - iDENTiFIED ABOVE AND SENT TO THE ADDRESS ABOVE. IF YOU FAIL TO RESPOND TO THIS SUMMONS WITHIN THE TIME SPECIFIED'ABo~E,; WARRANT FOR YOUR ; AR,REST SHALL BE ISSUED~ ~ ; ',~., "' , ~:- - ~ IF YOU/~RE DISABLED AND REQUIRE ASSISTANCE, PLEASE CONTACT THE~,MAGISTERIAL DISTRICT OFFICE AT THE ADDRESS ABOVE. ' · IF YOU INTEND TO RESPOND BY MAIL: · Detach and complete the lower portion of this summons with your signature on the appropriate plea line, (1) or (2). LEAD NOT GUILTY, your check or money order must be in the amount of the total due specified above. If the total ~,Y~.~Pnlot soecified your check or money order must be in the amoun, t of .$5.0.00 which will be held for collateral for your ---~a~c~at trial '~'ou will be not fled by mail of your date and time ror thai. app . LEAD GUILTY, enclose a check or money order in the amount of the total due specified above. Failure to remit the full : lafmY(~j~ of the fine, costs and fees will result in the issuance of a wal~rant for your arrest. Your check or money order shall be made ;- .. .' payable to the "Magisterial District No." above. ' ~: !;!: ? :' ~"iT~i~'~i'~at make th s p 'a Im°w h01y %oluntarily. and intelligentl, y..(,Failure to igdicate a plea:when forward,no an amount equal ~;'%~'.' ' ' to the total'dUe SPecified above will result in a guilty plea ueing'recoroeoJ !, 1. I, pLEAD, NOT GUlLTY. -:~.' (Signature); . Docket No.: 1~1'- 0000780- 01 ' ' Citation'No.: P1896607 ' 6 2 ', I PLEAD GUILTY. : - - (Signature) . : '! AOPC 617-99 '~'! ' "" · ' :" /.,:i' COMM, ON,WEALTH OE pENNSYLVANIAi: ~!' ]O[,JN .-I:Y OF: ~ERT.A.ND'_; ~:. Ma'g~l~t, NO.: . - /,.:., 'r' 09- °1 DJ Name: 'Hon. Address:'1 COURTHOUSE SQU~E '~ISLE, PA ' :~?ei~,o,.; ~7.~7)' 240-6564 .., ~70~3-0000 ~ ? FQRASUMMAR¥CASE'" COMMONWEALTH OF PENNSYLVANIA~ VS. DEFENDANT: NAME and ADDRESS [-CORMANY, CORY A 1883 DOUGLAS DR CARLTSLE, Pa 170i3., ~O~¥.: A. CORMANY 1883 DOUGLAS DR CA~..'ISLE, PA 17013 :-. - Charge(s): t18 §5503 SSA4 DISORDERLY CONDUCT FINE A'NocOsTs:FINE: '~-'~-I C O2~ ~ J Docket No.: NT-0000778-01 [ ~ Date F ed: 5/21/01 ': ITOTAL DUE: . . ,':" WITHIN TEN (10) DAYS OF RECEIPT OF THIS SUMMONS YOU MUST: 1. PLEAD NOT GU LTY by not fy ng the d str ct ustice above in writing and forwarding an amount equal to the total due sl~ecified above, or if the fine and costs are not spec fled, forward the sum of $50.00 as collateral for your appearance at tria; OR, 2. PLEAD NOT GUILTY by appearing before the district justice above and posting such collateral for your appearance as the district justice shall require; OR, · 3. If you cannot afford to pay the total due specified above or the $50.00 collateral, you must appear before the district justice above to enter a plea; OR, ' 4. PLEAD GUILTY by notifying the district justice above in writing, signing the appropriate plea below, and forwarding an amount equal to the total due specified above: OR, 5. PLEAD GUILTY by appearing before the district justice above if the total due is not specified. IF YOU ARE FOUND GUILTY BY THE DISTRICT JUSTICE AND WISH TO APPEAL, YOU HAVE THIRTY (30) DAYS TO REQUEST ATRIAL DE NOVO IN THE COURT OF COMMON PLEAS. ALL CHECKS OR MONEY ORDERS FOR FINE, COSTS, FEES, OR FOR COLLATERAL, SHALL BE MADE PAYABLE TO "MAGISTERIAL DISTRICT NO. 09 - 2 - 01 "IDENTIFIED ABOVE AND SENT TO THE ADDRESS ABOVE. IF YOU FAIL TO RESPOND TO THIS SUMMONS WITHIN THE TIME SPECIFIED ABOVE, A WARRANT FOR YOUR ARREST SHALL BE ISSUE~). ;~ IF YOU ARE DISABLED A~ID REQUIRE ASSISTANCE PLEASE CONTACT THE MAGISTERIAL DISTRICT OFFICE AT THE ADDRESS &BOVE. IF YOU INTEND TO RESPOND BY MAIL: Detach and complete the lower portion of this summons with your signature on the appropriate plea line, (1) or (2). If you PLEAD NOT GUILTY, your check or money order must be in the amount of the total due specified above. If the total due is not specified, your check or money order must be in the amount of $50.00 which will be held for collateral for your appearance at trial. You will be notified by mail of your date and time for trial. If you PLEAD GUILTY, enclose a check or money order in the amount of the total due specified above. Failure to.rem!t the full . amount of the fine, costs and fees will result in the issuance of a warrant for your arrest. Your check or money oroer snail be maoe payable to the "Magisterial DistriCt No." above. ~ . ' (DETACH ~ER'E)_..--.,_..~_..~;~._..~.,.,~L;.~_ ...... ~..~,._...;. ....... "r ....... ,~--;-~------- ................ ~ ...... ~ ........ : ,' , ' ' :::. 'MAIL IN PLEA · ' "1 ~epreS~nt ih~t I make this ·Plea know[hgly, (,~i~h~;aril~,, and ir~ielligently. (Failure to indicate a plea when forwarding an amount equal to tl~e total dbe specified above will result in a guiltY plea being recorded.) · · 1. I pLEAD NOTGUILTY. ' Docket No.: 1~'-0000778-01 , (Signature) : , :: 2. I PLEAD GUILTY. (signature) Citation,, No.: ~1896608 - 0 AOPC 617-99 / · , . ~ , ~, IN THE UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF PENNSYLVANIA IN RE: Inmate: Cormany v. Reitz, et al. Cory A. Cormany : CIVIL NO. 1:CV-01-1803 ADMINISTRATIVE ORDER (CIVIL RIGHTS CASE) The civil rights complaint filed by the individual identified above has been received without a filing fee or the forms required to proceed in forma pauperis. This action may not proceed unless the plaintiff, within thirty (30) days of the date of this order, either: (1) tenders to the "Clerk, U.S. District Court" a statutory filing fee in the amount of $150.00; or (2) files a properly completed application to proceed in forma pauperis and an authorization form. An authorization form and application to proceed in forma pauperis are enclosed. Failure to comply with the terms of this order within thirty (30) days will cause this case to be dismissed without prejudice. MARY E. D'ANDREA Clerk of Court D rk DATE: September 25, 2001 IN THE UNITED STATES DISTRICT COURT FOR THE MIDDLE DISTRICT OF PENNSYLVANIA CORY A. CORMANY, : Plaintiff : V. : : EARL F. REITZ, JR., et al., : : Defendants : CIVIL ACTION NO. 1:CV-01-1803 (Judge Rambo) (Magistrate Judge Blewitt) NOTICE NOTICE IS HEREBY GIVEN that the undersigned has entered the foregoing Report and Recommendation dated October~_/_, 2001. Any party may obtain a review of the Report and Recommendation pursuant to Rule 72.3, which provides: Any party may object to a magistrate judge's proposed findings, recommendations or report addressing a motion or matter described in 28 U.S.C. § 636 (b)(1)(B) or making a recommendation for the disposition of a prisoner case or a habeas corpus petition within ten (10) days after being served with a copy thereof. Such party shall file with the clerk of court, and serve on the magistrate judge and all parties, written objections which shall specifically identify the portions of the proposed findings, recommendations or report to which objection is made and the basis for such objections. The briefing requirements set forth in Local Rule 72.2 shall apply. A judge shall make ~,de novo determination of those portions of the report or specified proposed findings or recommendations to which objection is made and may accept, reject, or modify, in whole or in part, the findings or recommendations made by the magistrate judge. The judge, however, need conduct a new hearing only in his or her discretion or where required by law, and may consider the record de(eloped before the magistrate judge, making his or her own determination on the basis of that record. The judge may also receive further evidence, recall witnesses or recommit the matter to the magistrate judge with instructions. THOMAS M. BLEWITT United States Magistrate Judge Dated: October ~ 2001 COUNTY OF: CUMBERLAND Mag. Oisl, NO.: 09-2-01 og Name: HO~. PAOLA P. COP. REAL 1 COURT~{OUSE SQUARE COMMONWEALTH OF PENNSYLVANIA CARLISLE, PA Telephone: (717) 240 - 6564 17013'0000 VS. DEFF~NDANT: NAME and ADDRESS Date Filed: / ~ "~-O/ Date of Birth: ,~'-/'7"-~'~' SSN: Charqe(s): / ~"',~. ~' -~'~ To ANY AUTHO'R.t-ZED PERSON of the above named County of this Commonwealth: You are hereby commanded to convey and deliver into the custody of the Keeper of the county prison the above named defendant. You, the Keeper are required to receive the defendant into your custody to be safely kept by you until discharged by due course of law for: ~--"] A PERIOD OF DAYS UNTIL HEARING AT Date: Place: Time: [-~ A FURTHER HEARING Date: t Place: Time: I , -oMMoN PLEAS COURT ACT,ON --]OTHER:. Wit-'~ssm handand ,f' ~. ~r.?~-'- l//~ "-' ~.~.~,~./~.~.. , ///' / /~O y Date ~~~~ o icialseal~dayof ~~ OI, ~~~~/~~ ~//~~ , District Justi~ ~ y commission expires~o~ay ¢ J~ua~, 2006 . SEAL ~~ I Docket Number: Defendant's Name: CORY ALISTER CORMANY CR-574-01 [._ POLICE , CRIMINAL COMPLAINT AFFIDAVIT of PROBABLE CAUSE AFFIDAVIT RIDE~, CONTAINING CAUSE FOR THE ISSUANCE OF A WARRANT OF ARREST FOR CORY ALISTERCORMANY. DOB: 08.17.1966 SSN: 182.62.5623 ON SEPTEMBER 12, 2001, PTLM. MATTHEW KENNEDY OF THE CARLISLE BOROUGH POLICE DEPARTMENT, WAS ASSIGNED TO TRANSPORT CORY ALISTER CORMANY TO DISTRICT JUSTICE CORREAL'S OFFICE FOR A COURT PROCEEDING. UPON CORMANY'S ARRIVAL TO THE INTAKE / TRANSFER AREA OF CUMBERLAND COUNTY PRISON, PTLM. KENNEDY INSTRUCTED CORMANY TO PLACE HIS HANDS BEHIND HIS BACK FOR HANDCUFFING. CORMANY REFUSED. ADDITIONAL PERSONNEL FROM THE PRISON WERE CALLED FOR ASSISTANCE IN HELPING TO SECURE CORMANY. ONCE ADDITIONAL HELP ARRIVED CORMANY WAS AGAIN ASKED TO PLACE HIS HANDS BEHIND HIS BACK. AGAIN, HE REFUSED. PTLM. KENNEDY THEN APPROACHED CORMANY AND GP. ABBED HOLD OF HIS RIGIIT ARM IN AN A~-FEMPT TO HANDCUFF Hiivi. CORMANY RESISTED AND PULLED AWAY AT THE SAME TIME THROWING HIS HEAD BACKWARDS AND 'HEADBUTTING' PTLM. KENNEDY IN THE FACE. AT THIS POINT PTLM. KENNEDY AND SEVERAL CORRECTIONAL OFFICERS HAD TO USE FORCE TO SUBDUE CORMANY IN AN ATTEMPT TO GET HIM TO RESPOND TO COMMANDS. I, DETECTIVE WILLIAM DIEHL , BEING DULY SWORN ACCORDING TO LAW, DEPOSE AND SAY THAT THE FACTS SET FORTH IN THE FOREGOING AFFIDAVIT ARE TRUE AND CORRECT TO THE BEST OF MY KNOWLEDGE, INFORMATION, AND BELIEF. L..' v- 7 _, Oistric Justice My commission expires first--Monday of January, ~)~(~ · [~ SEAL AOPC 412C- 11/24/99 3-3 Defendant's Name:CORY ALISTER CORMANY Docket Number: CR. 574-01 The acts committed by the accused were: (Set forth a summary of the facts sufficient to advise the defendant of the nature of the offense charged. A citation to the statute allegedly violated, without more, is not sufficient, in a summary case, you must cite the specific section and subsection of the statute or ordinance allegedly violated.) RESISTING ARREST OR OTHER LAW ENFORCEMENT: IN THAT CORY ALISTER CORMANY DID WITH THE INTENT OF PREVENTING A PUBLIC SERVANT FROM PERFORMING HIS DUTY, DID CREATE A SUBSTANTIAL RISK OF BODILY INJURY TO THE PUBLIC SERVANT AND OTHERS WHICH REQUIRED SUBSTANTIAL FORCE TO OVERCOME THE RESISTANCE. TO WIT: CORY ALISTER CORMANY DID RESIST BEING HANDCUFFED AND REFUSED TO LISTEN TO OFFICERS COMMANDS FOR TRANSPORTATION TO THE DISTRICT JUSTICE OFFICE. 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 ~' 5104 2, (Section) (Section) 4. (Section) of the TITLE 18 1 (Subsection} (PA Statute) (counts) of the (Subsection) of the (PA Statute) (counts) (Subsection) (PA Statute) (counts) of the (Subsection) (PA Statute) (counts) I ask that a warrant of arrest or a summons be issued and that the defendant be required to answer the charges have made. (In order for a warrant of arrest to issue, the attached affidavit of probable cause must be completed and sworn to before the issuing authority.) 4. I verify that the facts set forth in this complaint are true and correct to the best of my knowledge or information and belief. This verification is made subject to the penalties of Section 4904 of the Crimes Code (18 PA.C.S.§4904) relating to u.,nsworn falsification to authorities. ..~ ~.0(:1. Ox~_~, AND NOW, on this dat~ ' [0-Q2{Dar") , 20011 c~m 'a~nt haJ(Sign'a~"e~'n"Ff~erly~"'"~ complet,~ncl verified. An affidavit of probable cause must ~-e~mpleted i~'~d~r f~arr~:~ o9-2-o SEAL AOPC 412B - (8100) COMMONWEALTH OF PENNSYLVANIA COUNTY OF: CUI~E]~T.AND Mag. OiSL NO.: 09-2-01 DJ Name; Hon. PAULA P. CORREAL ~dd,ess~ EAST 'WING - COURTHOUSE i COURTHOUSE SQUARE CARLISLE, PA T.,eoho.e (717i 240-6564 17013-000D -.CORY A. CORMANY "1883 DOUGLAS DRIVE CARLISLE, PA 17013 NOTICE OF PRELIMINARY HEARING .! COMMONWEALTH OF ~"~ PENNSYLVANIA VS. DEFENDANT: NAME and ADDRESS FCORMANY, CORY ALISTER 1883 DOUGLAS DRIVE CARLISLE, PA ~17013 Docket No.: CR-0000089-00 1 ~~': Date Filed: 2/08/00.:, OTN: ?, 055063-:~; NOTICE TO DEFENDANT A complaint has been flied charging you with t~e ~ffense(s) set fo~h above anQ on the a~sbed copy of the complaint. A preliminary hearing on these charges has been scheduled for: I ate: 4/18/00 Place: DISTRICT COURT 09-2-01 EA~WING - COURTHOUSE [ Yime: 11:00AM i COURTHOUSE SQUARE CARLISLE, PA 17013-0000 If you fait to appear at the time and place above, a warrant will be issued for your arrest. At. the preliminary hearing you may: 1. Be represented by counsel; 2. Cross-exam~ne witnesses and inspect physical ewoence offered against you; 3. Call witnesses on your behalf other than witnesses to testify to your good reputation only, offer evidence on your behalf and testify;' 4. Make writtbn notes of the proceeding, or ~ave~your, counse[oo_ so or'm~a~..e, a stenographic .,, - mechanical or electronic r~cord of ~ ~ ~ .............. .. - ~,, .~ p, ~ce~,. If you cannot afford to hire an attorney, one may be appoi~ed to represent you. Please contactthe office of the district justice for additional information regarding the appointment of an attorney. If you are disabled and require assistance, plea~ Contact the Magisterial District office at the address above. [f you nave any questions, p~ease call the auove office mmeetately. My commission expires first Monday of January, 2006. , District Justice SEAL DATE PRINTED: 2/18/00 COMPLAINT ~: DATE COMPLAINT SIGNED: 2/08/00 AOPC 629-97 IN THE CO"RT OF CO"'ON PLE~$, C:OU Notice of Ap~al from [Naa~ ~ess of ~te~nt: Date , t ~.:,:.I. LT:.~.,.,.( .......... Magisterial Dislrict No .......... ~.,~?.,T..,,2:.....-,~/.; ..................... Name and mailing address of affianl as shown on cilat~on o, co~.~, .....~_...~..t...t.~.e.w....g,.~...,t..~..~dy: ................ ....... .C..~.~...l,.,.~.~......~o..l,..,;,,.......~.,/'..~ .................... ........ C....~..~}.,.~]e......r..£A..... I..7~../,~ ...................... Name and address of issuing authority: ........ F...~..~..G ........ .C~.~,./. ................................. .... .,L..5.7. :....!..q...a.~ ~ ~..=...,....5.:~ ................................. ..... .C ~ ~ l,~..{~.....~...~ ............. ~,~..Lz~/._~ .... ~o.e .'IZT....=.~,.q. .~. :..4....~..~ q Il sentence inclucles fine anO costs, amount of wllich paid: Type or amount of bail furnished lo issuing aulhorlly, if eny; Name and a~3tess ol I ATTORNEY IDENTIFICATION NO. Aftomey for Defendant: .... t,,,,,).../;Cz~...p,,.,~.~:....b.~ ............ m,,.~zz.-..~.~.~..~,.~.. ~,~,.ss~.C',~.~.:l,.~.'-/~'....7.....£A ................. ~., ....,,.z ~z.:~. ............. NOTICE TO DEFENDANT: If your appeal is from a motor vehicle conviction other than pa~rking, have the clerk of courts certify this copy and mail to the following address:' Penn. Dept. of Tronsportotlofl PO Box 60037 HarH~g; PA 17106 I hereby certify that an appeal has been filed'in the above captioned matt. er? ........ ~",, ; ........ ?, !:. L:";' *, DEFENDANT'5 COP~, "', · ,,, .. "" : AO~C 415.~0 FROM: UNIT: CUMBERLAND COUNTY PRISON REQU. EST .FO R4M, SECURITY STAFF WARDEN TREATMENT STAFF [] DEPUTY WARDEN-TREATMENT [] DEPUTY WARDEN-SECURITY [] DEPUTY WARDEN-OPERATIONS [] WORK RELEASE MANAGERS [] MEDICAL DEPARTMENT [] TRAINING SPECIALIST [] EARNED TIME CASE MANAGER [] ACCOUNTS OFFICER [] DRUG/ALCOHOL CASE MANAGER [] RECORDS DEPARTMENT [] MAINTENANCE DEPARTMENT [] CORRECTIONAL COUNSELOR [] PSYCHOLOGIST Shifileader: [] CHAPLAIN [] INSTITUTIONAL PAROLE OFFICER BE SPECIFIC IN EXPLAINING REQUEST ANSWERED BY: ,,~,~. GEN-5 REVISED: 11-00 PLAINTIFF CORY A. CORMANY Vo DEFENDANT EARL REITZ JR., STEVE : CALAMAN, FRANK TEANEY, CARL HEYWARD : OF THE CUMBERLAND COUNTY PRISON, MATHEW : KENNEDY OF THE CARLISLE POLICE : DEPARTMENT, DIEHL OF : CUMBERLAND D.A. AND PAULA CORREAL : WILLIAM THE COUNTY IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA CASE NO. 01-6467 CIVIL ACTION - LAW JURY TRIAL DEMANDED NOTICE You have been sued in Court. If you wish to defend against the claim set forth in the following pages, you must take action within twenty (20) days after the Complaint and Notice are served by entering a written appearance personally or by attomey and by filing in writing with the Court your defense or objection to the claims set forth against you. You are warned that if you fail to do so the case may proceed without you and judgment may be entered against you by the Court without further notice for any money claimed in the Complaint or for any other claim or relief requested by Plaintiff. You may lose money or property or other rights important to you. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. 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. Court Administrator Cumberland County Court House 1 South Hanover Street Carlisle, PA. 17013 ? Continued In Review: Defendants Steve. Calaman, Carl Heyward, Frank Teaney, Mathew Kennedy, William Diehl amd Unidentified Individuals to the DistriCt'Attorney's Office, to wit. the Plaintiff Cory A. Cormany, November 4, 2001. 14) 15) 16) 2701. Simple Assault - a person is. guilty, of assautt if-he: (1) attempts to cause or intentionally, knowingly or recklessly causes bodily injury to another; (3) attempts by physical menace to put another in fear of imminent bodily injury. 3126. Indecent Assault - a person who has indecent contact with another not his spouse, or causes such other to have indecent contact with him is guilty of indecent assault a misdemeanor of the second degree if: (1) he does so without the.consent.of the other person; (2) he knows.that the other person suffers from.a mental disease or defect whick renders him or her incapable of appraising the nature of his or her conduct; (3) he knows that.the other person is unaware that a indecent contact, is being committed; or (5) the other person is in custody of law or detained in a hospital or other institution and the actor has supervisory or disciplinary authority over him. 5726. Action for Removal from Office or Employment - any aggrieved person shall have the right to bring an action in Commonwealth Court against any investigative or law enforcement officer, public official or public employee seeking the officer's, official's or employee's removal from office or employment on the grounds that the officer, official or employee has intentionally violated the provisions of thi~ cha~tcr. If the court sh~i~ conclude that such o£ficer, official or employee has infact intentionally violated the provisions of this chapter, th-e court shall order the dismissal or removal from office of said officer, official or employee. 2701 - 1972, Dec. 6, P.L. 1482, No. 334, 1., effective June 6, 1973. 3126 - 1972, Dec. 6, P.L. 1482,' No. 334, 1, effective June 6, 1973. 5726 - 1978, Oct. 4, P.L. 831, No. 164, 2, eIfective in 60 days. I, Cory A. Cormany, do hereby verify that the facts set forth in the above are true and correct to the best of my knowledge or information and belief, and that any false statements herein are made subject to the penalties of Section 4904 of the Crimes Code (18 Pa. C.S. 4904), relating to unsworn falsification to authorities. Dated \1/2~/~3( By ! -/ Health and Welfare Plan Confirmation of Enroihnent Sh~tcment Dale 117-08-2[X) 1 Sec. Num. 182-62-5623 CORY A. CORMANY 1883 DOUGLAS DRIVE CARLISLE PA 17013 This slulement confirms the benfils thai imvc heen assigned to y.u. The elections listed below will remain in effect until the end of the pl:m year unless you have a qualified change in status - exceptions cannot be made. The prices listed below are based on your currenl pay frequency -f bi-weekb. If your pay frequency changes, so will tile prices li.s~ed below. Please review this stalemenl carefully. It' you need to make ii change, immedialely call Ihe Kmart Benefits Service Center al 1-800-33KMART. You musl call by Augus! 8, 2001 lo make any changes. A Kmart Benefits Service Cenler Representative will be ahle t. t~dvisc you on allowable changes. They are available between 9:01} a.m. and 6:00 p.m. (Eas!crn lime), Mtmday through Friday. Para hablar con un representante del K~nart Benefits Service Center en espafiol, ilame 1-888-236-4125. Benefit Choices Coverage Effective 09-0 1-201~ I Benefit Choices Pay Period Price · Medical Option O-No Coverage Tobacco User Pledge You did no~ pledge that you and yot, r covered dependents will remain tobacct~ free from yourlnedical coverage effective date through the end uf the plan year. $(I.I}0 Dental Option ()-No Coverage NOTE: Dental coverage is effective 12-01-2001. $0.00 Basic Group Life and AD&D Insurance Kmart Corporation pruvidcs you with Basic Gr. up t.il'c and AD&D Insurance coverage of I x Basic Coverage-$16,(100 at no cost. $0.(~3 K3136-(i024 · ~' · ':..J' ' ' : · CUMBERLAND~COUNTy,. PENNSYLVANIA ~ YOU ARE HEREBY ORDERED AND SUBPOENAED TO APPEAR, before the Court of Common Pleas of Cumberland County for the purpose of formal arraignment on ~" result in a bench warrant being issued for your arrest. At that time you will receive a.copy of the Criminal Information filed against you and you must enter a plea to the charge(s). If a trial is requested a pre-trial conference and trial date will be set. Your. attorney - private or public defender (if one is appointed for you at arraignment) - must appear with you and private counsel must enter their · appearance at this time. Please report to the Clerk of Courts Office, Second Floor, Cumbe~iand --'county courthouse, one Courthouse Square, Carlisle, Pennsylvania at 8:30 a.m. '"~ the date indicated above. Bring this notice with you. If you have private counsel and wish to waive formal arraignment or arrange for entry of a guilty plea to the criminal charge(s), your attorney must make an appointment for you to appear with your attorney in the Clerk of Courts Office before the above date to sign a written waiver and obtain an appearance date for pre-trial conference and tri~l, or entry of a guilty plea. I'.accept service of the Subpoena To Appear For Foz~al Arraigmment. ~:;.'..-..- ...... . ,..Honorable President Judge SERVICE FILE I, Cory A. Cormany, do hereby verify that I petitioned the criminal reports involving the Defendants John Adams, John Porter, Terry Darr, Greg Deihl, Paul Green and Frank Teaney by depositing in the mail pursuant hereto and addressable herein the District Attorney's Office of Cumberland County at Carlisle, Pennsylvania. Dated - Cory A. Cormany ~ Witness RECEIPT I, Cory A. Cormany, do hereby solemnly swear that I filed the complaint included Defendants William Diehl and Paula Correal by depositing in the mail at the Cumberland County Prison a copy of same addressable to the District Attorney's Office of Cumberland County, Pennsylvania. Dated District Attorney Cumberland County Court House Square Carlisle, PA 17013 Defendant: William Diehl Paula Correal I, Cory A. Cormany, being a citizen of the United States of America, do hereby state and swear that at or about the said incidents set forth within, and through and about a judgmental action, the above named defendant[s] did commit the following crimes: 1) 901. Criminal Attempt - a person commits an attempt when, with intent to commit a specific crime, he does any act which constitutes a substantial step toward the commission of that crime. 2) 2502. Murder - murder of the first degree - a criminal homicide constitutes murder of the first degree when it is committed by an intentional killing. 3) 2903. False Imprisonment - a person commits a misdemeanor of the second degree if he knowingly restrains another unlawfully so as to interfere substantially with his liberty. 4) 2906. Criminal Coercion - a person is guilty of criminal coercion if, with intent unlawfully to restrict freedom of action of another to the detriment of the other, he threatens to: (1) commit any criminal offense; (2) accuse anyone of a criminal offense; (3) expose any secret tending to subject any person to hatred, contempt or ridicule; or (4) take or withhold action as an official; or cause an official to take or withhold action. 5) 4114. Securing Execution of Documents by Deception - a person commits a misdemeanor of the second degree if by deception he causes another to execute any instrument affecting or purporting to affect or likely to affect the pecuniary interest of any person. 6) 4501. Definitions "Harm" - loss, disadvantage or injury, or anything so regarded by the person affected, including loss, disadvantage or injury to any person or entity in whose welfare he is interested. 7) 4952. Intimidation of Witness or Victims - a person commits an offense if, with the intent to or knowledge that his conduct will obstruct, impede, impair, prevent or interfere with the administration of criminal justice he degree if, having been required by virtue of any legal process or otherwise to attend and testify in any prosecution for a crime before any court, judge, justice or other judicial tribunal, or having been recognized or held to bail to attend as a witness on behalf of the Commonwealth or defendant, before any court having jurisdiction, to testify in any prosecution, he unlawfully and willfully conceals himself or absconds from this Commonwealth, or from the jurisdiction of such court, with intent to defeat the end of public justice, and refuses to appear as required by such legal process or otherwise. 12) 5501. Riot - a person is guilty of riot, a felony of the third degree, if he . participates with two or more others in a course of disorderly conduct: (1) with intent to commit or facilitate the commission of a felony or misdemeanor; (2) with intent to prevent or coerce official action; or (3) when the actor or any other participant to the knowledge of the actor uses or plans to use a firearm or deadly weapon. 901 - 1972, Dec. 6, P.L. 1482, No. 334 2502 - 1972, Dec. 6, P.L. 1482, No. 334. 2903 - 1972, Dec. 6, P.L. 1482, No. 334. 2906 - 1972, Dec. 6, P.L. 1482, No. 334 4114 - 1972, Dec. 6, P.L. 1482, No. 334 4501 - 1972, Dec. 6, P.L. 1482, No. 334 4952 - 1972, Dec. 6, P.L. 1482, No. 334 5108 - 1972, Dec. 6, P.L. 1482, No. 334. 5301 - 1972, Dec. 6, P.L. 1482, No. 334. 5302 - 1972, Dec. 6, P.L. 1482, No. 334. 5125 - 1972, Dec. 6, P.L. 1482, No. 334. 5501 - 1972, Dec. 6, 1, effective June 6, 1973. 1, effective June 6, 1973. 1, effective June 6, 1973. 1, effective June 6, 1973. 1, effective June 6, 1973. 1, effective June 6, 1973. 1, effective June 6, 1973. 1, effective June 6, 1973. 1, effective June 6, 1973. 1, effective June 6, 1973. 1, effective June 6, 1973. P.L. 1482, No. 334, 1; effective June 6, 1973. I, Cory Cormany, hereby verify that the facts set forth in the above are tree and correct to the best of my knowledge or information and belief and that any false statements herein are made subject to the penalties of Section 4904 of the Crimes Code (18 Pa. C.S. 4904), relating to unsworn falsification to authorities. Dated I~/c~,ol By ory c°hn mx9'-' INCIDENT REPORT Criminal Attempt: In that William Diehl and Paula Correal did take substantial steps toward the commission of a crime constitutional a Defendant. Murder: In that the Defendants did intentionally plan a potential homicide problematic an isolated statute that constituted a necessary riskful procedure. False Imprisonment: In that the Defendants did knowingly attempt to unlawfully restrain and interfere with the liberty of an individual. Criminal Coercion: In that the Defendants did restrict freedom of action intentional a criminal offense and deliberate an accusation exposing secrets and subjects contemptual an official hatred. Securing Execution of Documents by Deception: In that the Defendants did deceive an individual purporting a pecuniary interest likely the execution of a testimonial instrument. Harm: In that the Defendants did proceed judiciary affectiveness causing an individual a loss and a disadvantage substantial an important interest. Intimidation of Witness or Victims: In that the Defendants did relate information misleading a judicial object intimidating a person reportorial a testimony and prosecutorial an official action. Compounding: In that the Defendants did refrain the suspected commission of a crime considerate a pecuniary benefit reliant an infoimation. Official Oppression: In that the Defendants did knowingly deny and impede an individual illegally purporting arrest, detention, search, seizure, mistreatment, dispossession, assessment and personal right while taking advantage of an official capacity. Speculating or Wagering on Official Action or Information: In that the Defendants are public servants and are associated with a government unit and do transact interest informative an official action and did access another in such speculation. Absconding Witness: In that the Defendants did process an individual on behalf of the Commonwealth and did willfully conceal a jurisdiction intentional the end of public justice refusing legal obligations. Riot: In that the Defendants did participate with one or more individuals coercing the commission of a crime including the uses of firemms and knowledgable an official action intentional the case term 1:CV-01-1803 and the docket files NT-767-96, NT-727-96, NT-777-01, NT-778-01, NT-779-01, NT- 780-01 and NT-781-01 proceeding CR-574-01 and the case numbers 01-92, 93, 94, 95, 96 and 97. I petition that a warrant of arrest or a summons be issued and that the Defendants be required to answer the charges I have made. I verify that the facts set forth in this complaint are true and correct to the best of my knowledge or information and belief. This verification is made subject to the penalties of Section 4904 of the Crimes Code (18 Pa. C.S. 4904), relating to unsworn falsification to authorities. I D~tdd- Dated Signature Signature Notarial Seal Helen D. Sneed, Nota~J Public Middlesex Twp., Cumberlancl County My Commission Expires June 24, 2002 Member, Pennsyhtania Association ot Notar}es AFFIDAVIT On September 12, 2001, I, Cory A. Cormany, was summoned and then attacked and mistreated at the Cumberland County Prison in an attempt to remove my presence pursuant thereafter and therefore a commitment summary. A Ptl. Mathew Kennedy of the Carlisle Police Department did forcibly and negligibly corroborate an event without an arrest warrant or security bond including prison officers and staffing associates. I was subjected an roms length contemptual Ms. Paula Correal in Middlesex Township. The Defendant Paula Correal is alleged to be a District Justice Magisterial Number 09-2-01 in Cumberland County. Pursuant the incident described in the aforementioned paragraph I did witness a Corrections Officer Teaney solicit information reportorial the Pti. Mathew Kennedy, and directional other prison officers and staffing associates. I was not informed or serviced with any information forthright a procedural requirement and was bondaged and confined, against my will, for an indefinite time period. Cumberland County Prison did compile multiple personnel objectional my comprehension; that, did seem to constitute a "Security Breach" functional an emergency situation or circumstance. I was ridiculed and allegated purportionate a disadvantage and indifferent the commission of a crime which did absent and abscond an evidence and a testimony for the Criminal Case Term 01- 2091. On October 16, 2001, I, Cory A. Cormany, was delivered a certified letter criminative Mr. William Diehl' and affixmative Ms. Paula Correal. Prior to October 2, 2001, and prescient May 29, 1996, the Defendant William Diehl did prejudicially proceed an investigation pursuant a Det. Jeffery Franks, and the Defendant Paula Correal. On both occasions Defendant Paula Correal did concur Mr. William Diehl and did elude unlawful participation relative the Cumberland County Pris~, and orderly a public servant and an official action. Proceeding justification and judgment for incident and issues stated within; I was shot at and beaten out of malice knowledgable the District Attorney of Cumberland County. The Defendant William Diehl is alleged to be a Detective for the District Attorney in Cumberland County. Prior the incident described in the aforementioned paragraph, I did perform a baby-sitting task for a Ms. Nicole Jastron verifiable a Mr. Jerry Engle in the 4th block area of North Pitt Street located in the Borough of Carlisle. I did proceed official interlocutory consent to a Pti. Patrick O'Leary of the Carlisle Police Department, relevant a hearing, important the potentated outcome of an evidence and an investigation. Cumberland County Prison did proceed multiple sentences objectional my commitment; that, did seem to constitute a "Police Action" colorful an emergency situation or circumstance. I was ridiculed and allegated purportionate a disadvantage and indifferent the commission of a crime which did substantiate and enforce a legality and an attorney for the Civil Case Term 01- 6467. On December 7, 2001, I, Cory A. Co,many, was interrogated and then infmmed and accused at the Cumberland County Prison in an effort to collaborate an official hatred intentional a lively endangerment and justifiably political a departmental correction, denying me witnesses. An Attorney Dirk E. Berry did acquire representation factual a prison policy and did remand specific instances to a Corrections Officer Teaney prejudicial a documented pecuniary benefit. Mr. William Diehl did sequester an affidavit intimate a prison directive for Ms. Paula Correal. The Defendant William Diehl and the Defendant Paula Correal both did knowingly interfere with my liberty constituting the suspected commission of a crime. I was subjected detention, arrest, search, seizure, mistreatment, dispossession, assessment and propaganda sufficient a privilege and important an enjoyment. Preceding the incident described in the aforementioned paragraph, I did proceed courtesy letters to Ms. Paula Correal and Mr. William Diehl suspicious a defendant, naming; Steve Calaman, Carl Heyward, Frank Teaney, Mathew Kennedy and William Diehl allegory a criminal behavior and a supplemental expectation, and relative a motive and an offense. The Defendant William Diehl and the Defendant Paula Correal both did facilitate the exportation of deadly force jurisdictional a public justice and did expropriate an official action liable a court of law. The Corrections Officer. Teaney, identified herein and hereto, did later advise me that I was dismissed pursuant thereafter and therefore a commitment summary, and did not express reason as to why I could not leave Cumberland County Prison and remm home to my place of residence. I do currently reside in North Middleton Township and was employed with K-Mart Corporation previous to being condemned to imprisonment. The Cumberland County Prison and the State Correctional Institute of the Commonwealth of Pennsylvania both proclaim the ability to execute death upon leaving without valid consideration. I am awaiting detrimental insmunents deceptive the Court of Common Pleas of Cumberland County. I, Cory A. Cormany, on this ~ q~day of ~a__ce~ ~ ~- , of the year 2001, do hereby swear as a citizen and a voter of the Commonwealth of the United States that the above facts are true and correct to the best of my knowledge and belief. Dated Wire, ss SERVICE I, Cory A. Cormany, do hereby solemnly swear that I served the affidavit included Defendant Maswadeh Arafat and associates by depositing in the mail at the Cumberland County Prison a copy of same addressed to the District Attorney's Office of Cumberland County, Pennsylvania. Dated af~/ Oh By Cory A. Cor[nany ~} RE: District Attorney Cumberland County Court House Square Carlisle, Pa. 17013 Defendant: ~laswadeh Arafat Alonzo Thorton Joe Anilus Kieth Walker Jimmy Hernandez I, Cory A. Cormany, being a citizen of the United States of America, do hereby state and swear that at or about November 4th, of the year 2001, and through and about a judgmental action, the above named defendant did commit the following crimes: 1) 901. Criminal Attempt - a person commits an attempt when, with intent to commit a specific crime, he does any act which constitutes a substantial step toward the commission of that crime. 2) 4703. Retaliation for Past Official Action - a person commits a misdemeanor of the second degree if he harms another by any unlawful act in retaliation for anything lawfully done by the latter in the capacity of public servant. 3) 5101. Obstructing Administration of Law or Other Governmental Functions - a person commits a misdemeanor of the second degree if he intentionally obstructs, impairs or perverts the administration of law or other.governmental function by force, violence, physical interference or obstacle, breach of official duty, or any other unlawful act, except that this section does not apply to flight by a person charged with crime, refusal to submit to arrest, failure to perform a legal duty other than an official duty, any other means of avoiding compliance with law without affirmative interference with governmental functions. 4) 5107. Aiding Consummation of Crime - a person commits an offense if he intentionally aids another to accomplish an unlawful object of a crime, 'as by safeguarding the proceeds thereof or converting the proceeds into negotiable funds. 5) 5108. Compounding - a person commits a misdemeanor of the second degree if he accepts or agrees to accept any pecuniary benefit in consideration of refraining from reporting to law enforcement authorities the commission or suspected commission of any offense or information relating to an offense. 6) 5503. Disorderly Conduct - a person is guilty of disorderly conduct if, with intent to cause public inconvenience, annoyance or alarm, or recklessly creating a risk thereof, he: (1) engages in fight or threatening, or in violent or tumultuous behavior; (2) makes unreasonable noise; (3) uses obscene language, or makes an obscene gesture, or (4) creates a hazardous or physically offensive condition by an act which serves no legitimate purpose of the actor. (1) 7) 8) 5508. Disrupting Meetings and Processions - a person commits a misdemeanor of the third degree if, with intent to prevent or disturb a lawful meeting, procession or gathering, he disturbs or interrupts it. 6504. Public Nuisances - whoever erects, sets up, establishes, maintains, keeps, or continues, or causes to be erected, set up, established, maintained, kept or continued, any public or common nuisance is guilty of a misdemeanor of the second degree, where the nuisance is in existence at the time of the conviction and sentence, the court, in its discretion, may direct either the defendant or the sheriff of ~he county at the expense of the defendant to abate the same. 901 - 1972, Dec. 6, P.L. 1482, No. 334, 1, effective June 6, 1973. 4703 - 1972, Dec. 6, P.L. 1482 No. 334, 1, effective June 6, 1973. 5101 - 1972 5107 - 1972 Dec. 6 Dec. 6 Dec. 6 5108 - 1972 P.L. 1482 P.L. 1482 P.L. 1482 No. 334, 1, effective June 6, 1973. No; 334, 1, effective June 6, 1973. No. 334, 1, effective June 6, 1973. 5503 - 1972~ Dec. 6, P.L. 1482, No. 334, 1, effective June 6, 1973. 5508 - 1972 Dec. 6 P.L. 1482 No. 334, 1, effective June 6, 1973. 6504 - 1972 Dec. 6 P.L. 1482 No. 334, 1, effective June 6, 1973. SWORN STATEMENT 1. On or about November 4th, at approximately 1:00 PM, the Plaintiff Cory A. Cormany, was studing in the Law Library at the Cumberland County Prison, Pennsylvania. 2. k[ or abouL the aforesaid date and time, the Defendant Maswadeh Ararat did enter the said Law Library in C.C.P., and did sit down at an adjacent chair, adjacent to the Plaintiff. 3. Prior the aforementioned incident the Defendant did solicit information in a unit staff station responsive a C.O. Albright at the Cumberland County Prison. 4. The Defendant Maswadeh Ararat did remark after the World Trade Center catastrophe saying, "I'm an American too... I needed money, I (2) needed money." 5. "I am a Muslim, we are peaceful people and only kill when we need to", the Defendant Maswadeh Ararat said in regards to the foregoing catastrophe questionable the C.O. Albright. 6. The Plaintiff Cory A. Cormany did inform the Defendant that he did not have to make or corroborate such issues, the Defendant rePlied, "I know, I know.., they told me my rights, I am not ashamed." 7. Proceeding the aforementioned incident, the Plaintiff did recognize that the Defendant Maswadeh Arafat was additionally talking about his instant criminal problems as he did request an institutional "ReqUest Slip". 8. In the said Law Library pursuant November 4th, the Defendant Maswadeh Arafat did begin to express concerns and questions to the Plaintiff about his current dilemna, objectional an incarceration; 9. The Defendant did implicate the above listed Defendants Alonzo Thorton, Joe Anilus and Kieth Walker saying, "I told those guys not to talk about what happened.., or else they could die." 10. The Defendant Maswadeh Ararat did additionally state that he had been delivered some type of package, however did not have a record for the object in question circumstantial a inquiry. 11. The Plaintiff Cory A. Cormany did conclude a series of tedious and troublesome expressions, finding a ramification of guilt concurrent the Defendant's criminal allegations substantial his said incarceration. 12. The Plaintiff did hear the Defendant say, "I know they hired this Walker guy, but I was out of the country and didn't own the buisness.., so how can they...?" 13. The Defendant Maswadeh Ararat did exclaim when sequestered curious the Plaintiff, "I don't know, I sold the buisness and got '(3) the money I needed.., when it burned down." 14. At or about the aforesaid date and time, the Plaintiff Cory A. Cormany did acknowledge that; he had heard enough regarding the said criminal allegation, yet was continually interrupted by the Defendant. 15. The Defendant did procrastinate financial and monetary issues costly a reception, and did continue and ramble on about other inmates and his current bail imposition set forth disencumbered a situation. 16. The Defendant Maswadeh Arafat did ridicule the Defendants Alonzo Thorton, Joe Anilus and Kieth Walker describing said "Payoffs" he was to be involved in diablerie a judicial pretext. 17. Proceeding the aforementioned corroboration the Defendant did solicit information on two other occasions burdensome the Plaintiff, and did also exacerbate useless legal rhetoric time and time again. 18. In the said Law Library reiterative December 31st, the Plaintiff Cory A. Cormany did listen to a series of conjugational remarks conspiratorial and prescient a violent outcome. 19. The Defendant Jimmy Hernandez did instigate a pecuniary transaction with and to the Defendant Maswadeh Ararat allegary an illicit narcotic, and timely a seemingly enjoyable benefit. 20. The Plaintiff Cory A. Cormany did witness such capable activity and did proceed a criminal review to the Attorney General's Office of the Commonwealth of Pennsylvania. 21. The Defendant Maswadeh Ararat did procrastinate continual obfuscations and rude literate outbreaks stating in part, "you know I'm good for it we seen keys together, yo know blood." 22. The Defendants did also ramble on solicit other matters pertinent the American Government, relevant the people of the United States that did serve no legitimate purpose sufficient an established nuisance. (4) 23. The Plaintiff did suffer constant and contradictive alarms, stressful demands and requests, constitutional defamation, loud belligerent dictational outbursts and liberal condemnation during and throughout the insidious subjugation described. I, Cory A. Cormany, do hereby verify that the facts set forth in the above are true and correct to the best of my knowledge or information and belief, and that any false statements herein are made subject to the penalties of Section 4904 of the Crimes Code (18 Pa. C.S. 4904), relating to unsworn falsification to authorities. /-' d- Witnesse Dated Dated Notarial Seal Helen D. Sneed, Nota~/Public Middlesex Twp., Cumberland County My Commission Expires June 24~ 2002 Member, Pennsylvania Association ot Notaries (5) SERVICE I, Cory A. Cormany, do hereby solemnly swear that I served the affidavit included Defendants Steve Calaman, Gary Sholenburger, Jeffrey Kurtz, Mathew Kennedy, Curtis Colbertson, Samuel Coover and Jeffrey Franks by depositing in the mail at the Cumberland County Prison a copy of same addressed to the District Attorney's Office of Cumberland County, Pennsylvania. Dated ~/ ~/~ By Cory A. Corman~ RE: District Attorney Cumberland County Court House Square Carlisle, Pa. 17013 Defendant: Steve Calaman Gary Sholenburger Jeffrey Kurtz Mathew Kennedy Curtis Colbertson Samuel Coover Jeffrey Franks Unidentified I, Cory A. Cormany, being a citizen of the United States of America, do hereby state and swear that at or about February, of the year 1995, and through or about December, of the year 2001, ~he above named defendant did commit the following crimes: 1) 2) 3) 4) 5) 6) 901. Criminal Attempt - a person commits an attempt when, with intent to commit a specific crime, he does any act which constitutes a substantial step toward the commission of that crime. 2504. Involuntary Manslaughter - (a) General rule - a person is guilty of involuntary manslaughter when as a direct result of the doing of a lawful act in a reckless or grossly negligent manner, he causes the death of another person. (b) Grading - Involuntary. manslaughter is a misdemeanor of the first degree where the victim is under 12 years of age and is in the care custody or control of the person who caused the death involuntary manslaughter is a felony of the second degree. 2701. Simple Assault - a person is guilty of assault if he: (1) attempts to cause or intentionally, knowingly or recklessly causes bodily injury to another; (2) negligently causes bodily injury to another with a deadly weapon; or (3) attempts by physical menace to put .another in fear of imminent serious bodily injury. 2705. Recklessly Endangering Another Person - a person commits a misdemeanor of the second degree if he recklessly engages in conduct which places or may place another person in danger of death or serious bodily injury. 2706. Terroristic Threats - a person is guilty of a misdemeanor of the first degree if he threatens to commit any crime of violence with intent to terroize another or cause evacuation of a building, place of assembly, or facility of public transportation, or otherwise to cause serious public inconvenience or in reckless disregard of the risk of causing such terror or inconvenience. 2906. Criminal Coercion.- a person is guilty of criminal coercion if; with intent unlawfully to restrict freedom of action of another to the detriment of the other, he threatens to: (1) commit any criminal offense; (2) accuse anyone of a criminal offense; (3) expose any secret tending to subject any person to hatred, contempt or ridicule; or (4) take or withhold action as an official, or cause an official to take or withhold action. 7) 3105. Prompt Complaint - prompt reporting to public authority is not required in a prosecution under this chapter: Provided, however, that nothing in this section shall be construed to prohibit a defendant from introducing evidence of the alleged victims failure to promptly report the crime if such evidence would be admissible pursuant the rules of evidence. 8) 3126. Indecent Assault - a person who has indecent contact with another not his spouse, or causes such other to have indecent contact with him is guilty of indecent assault a misdemeanor of the second degree if: (1) he does so without the consent of the other person; (2) he knows that the other person suffers from a mental disease or defect which renders him or her incapable of appraising the nature of his or her conduct; (3) he knows that the other person is unaware that a indecent contact is being committed; or (5) the other person is in custody of law or detained in a hospital or other institution and the actor has supervisory or disciplinary authority over him. 9) 4114. Securing Execution of Documents by Deception - a person commits a misdemeanor of the second degree if by deception he causes another to execute any instrument affecting or purporting to affect the pecuniary interest of any person. lO) 4702. Threats and Other Improper Influences in Official or Political Matters - a person commits an offense if he: (1) threatens unlawful harm to any person with intent to influence his decision, opinion, recommendation, vote or other exercise of discretion as a public servant, party official or voter. ii) 4703. Retaliation for Past Official Action - a person commits a misdemeanor of the second degree if he harms another by any lawful act in retaliation for anything lawfully done by the later in the capacity of public servant. i2) 5101. Obstructing Administration of Law or Other Governmental Function - a person cor~nits a misdemeanor of the second degree if he intentionally obstructs, impairs or perverts the administration of law or other governmental function by force, violence, physical interference or obstacle, breach of official duty, or any unlawful act, except that this section does not apply to flight by a person charged with crime, refusal to submit to arrest, failure to perform a legal duty other than official duty, or any other means of avoiding compliance with law without affirmative interference with governmental function. i3) 5121. Escape - a person commits an offense if he unlawfully removes himself from official detention following temporary leave granted for a specific purpose or limited period. i4) 5301. Official Oppression - a person acting or purporting'to act in a official capacity or taking advantage of such actual or purporting capacity commits a misdemeanor of the second degree if knowing that his conduct is illegal, he (1) subjects another to arrest, detention, search, seizure, mistreatment, dispossession, assessment, lien or other infringement of personal or property rights, or (2) denies or impedes another in the exercise or enjoyment of any right, privilege, power or immunity, k._~/ 15) 5302. Speculating or Wagering on Official Action or Information - a public servant commits a misdemeanor of the second degree if in contemplation of official action by himself or by a governmental unit with which he is associated, or in reliance, on information to which he has access in his official capacity and which has not been made public he: (1) acquires a pecuniary interest in any property, transaction or enterprise which may be affected by such information or official action; (2) speculates or wagers on the basis of such information or official action; or (3) aids another to do any of the foregoing. 16) 5501. Riot a person is guilty of riot, a felony of the third degree, if he participates with two or more others in a course of disorderly conduct: (1) with intent to commit or facilitate the coh~n±ssion of a felony or misdemeanor; (2) with intent to prevent or coerce official action; or (3) when the actor or any other participant to the knowledge of the actor uses or plans to use a firearm or deadly weapon. 17) 5503. Disorderly Conduct - a person is guilty of disorderly conduct if, with intent to cause public inconvenience, annoyance or alarm, or recklessly creating a risk.thereof, he: (1) engages in fight or threatening, or in violent or tumultuous behavior; (2) makes unreasonable noise; (3) uses obscene language, or makes an obscene gesture, or (4) creates a hazard or physically offensive condition by any act which serves no legitiment purpose of the actor. 18) 5726. Action for Removal from Office or Employment - any aggrieved person shall have the right to bring an action in Commonwealth Court against any investigative or law'enforcement officer, public official or public employee seeking the officer's, official's or employee's removal from office or employment on the grounds that the officer, official or employee has intentionally violated the provisions of this'chapter. If the court shall conclude that such officer, official or employee has in fact intentionally violated the provisions of this chapter, the court shall order the dismissal' or removal from office of said officer, official or employee. 901 - 1972, Dec. 6, P.L. 1482, No. 334, 1, effective June 6, 1973. 2504 - 1972, Dec. 6, P.L. 1482, No. 334, 1, effective June 6, 1973. 2701 - 1972. Dec. 6, P.L. 1482, No. 334 2705 - 1972, Dec. 6, P.L. 1482, No. 334 2706 - 1972 Dec. 6, P.L. 1482, No. 334 1, effective June 6, 1973. 1, effective June 6, 1973. 1, effective June 6, 1973. 2906 - 1972 Dec. 6, P.L. 1482, No. 334, 1, effective June 6, 1973. 3105 - 1972. Dec. 6, P.L. 1482, No. 334 1, effective June 6, 1973. 3126 - 1972 Dec. 6, P.L. 1482 No. 334, 1, effective June 6, 1973. 4114- 1972. Dec. 6, P.L. 1482, No. 334, 1, effective June 6, 1973. 4702 - 1972 Dec. 6, P.L. 1482 4703 - 1972, Dec. 6, P.L. 1482 5101 - 1972 5121 - 1972 5301 - 1972 5302 - 1972 Dec. 6 Dec. 6 Dec. 6 Dec. 6 P.L. 1482 P.L. 1482 P.L. 1482 P.L. 1482 No. 334 No. 334 No. 334 No. 334 No. 334 1, effective June 6 1, effective June 6 1, effective June 6 1, effective June 6 No. 334, 1, effective June 6 1, effective June 6, 1973. 1973. 1973. 1973. 1973. 1973. 5501 - 1972 Dec. 6, P.L. 1482. No. 334, 1, effective June 6, 1973. 5503 - 1972. Dec. 6, P.L. 1482, No. 334, 1, effective June 6, 1973. 5726 - 1978. Oct. 4, P.L. 831 No. 164 2, effective in 60 days. I, Cory A. Cormany, do hereby verify that the facts set forth in the above are true and correct to the best of my knowledge or information and belief, and that any false statements herein are made subject to the penalties of Section 4904 of the Crimes Code (18 Pa. C.S. 4904), relating to unsworn falsification to authorities. Dated Cory A. Cormany SWORN STATEMENT On or about A~C~ ~, at approximately mid-day, the Plaintiff, Cory A. Cormany, was in his assigned cell writing in Cumberland County Prison. At or about the aforesaid date and time, the Plaintiff was abruptly and aggressively attacked and thrown to the floor, and then was probed with electronic shocking devices. o Proceeding the aforementioned described event, the Defendant Steve Calaman, as identified from another occurrence and accompanied by several unidentified individuals, did pillage the Plaintiff and did ramshackle him causing a riskful and harmful situation and circumstance. o On or about May 29th, at approximately mid-afternoon or thereto, the Plaintiff, Cory A. Cormany, was serviced with summary citations while reading legal textes in his assigned cell at Cumberland County Prison. o Proceeding the aforementioned servicing definition, the Defendant Jeffrey Franks, did prqceed judiciary statutes corroborating allegation with the Defendant Steve .Calaman and another individual without detecting a plaintiff's deposition or investigating a defendant's disposition. o Prior ~hereto the foregoing procedural ramifications, the Plaintiff Cory A. Cormany was tied and fastened to a board, then probed and kicked repeatedly for an indefinite time period, on several occasions, litigating the Court of Common Pleas of Cumberland County Case No. 97-0174. On or about September 6th, at approximately mid-morning, the Plaintiff, Cory A. Cormany, was committed to the county Prison regarding a misdemeanor incident alleged in the Borough of Carlisle. 10. 11. 12. 13. 14. 15. Pursuant the aforementioned commitment status, the Plaintiff was grabbed around the throat and choked close to unconsciousness on two occasions, within a five minute time spand, by the Defendant Gary Sholenburger prescient a preliminary hearing. At or about the aforesaid date and time, the Defendant did push the Plaintiff Cory A. Cormany, by the neck into a corner area, then into a secluded adjacent Cell while screaming and yelling loud verbal obscenities verificative a Commitment Lieutenant Over. On or about February 5th, at approximately early-morning, the Plaintiff, Cory A. Cormany, was walking swiftly home down Irvin Row in the Borough of Carlisle. At or about the aforesaid date and time, the Plaintiff Cory A. Cormany was grappled and pummeled in and out of an automobile by several unidentified individuals, and then committed to the Carlisle Hospital. Proceeding the aforementioned commitment process, the Plaintiff was questioned and interrogated without constitutional warning as to his injuries, an~ was then bondaged and secured without warrant careless the Defendant JeffreY Kurtz. On or about May 17th, at approximately mid-afternoon, the Plaintiff, Cory A. Cormany, was summoned a series of allegations regarding a subj"ct matter collaborated in the Borough of Carlisle. At or about the aforesaid date and time, the Plaintiff Cory A. Cormany was issued five citations, relevant a babysitting detail, and serviced noncertified through the U.S. Mail. Proceeding thereto the foregoing procedural ramifications, the Plaintiff was grabbed again around the throat and choked by the Defendant Mathew Kennedy, then tackled and pummeled in and out of a secured location, nonconsensual an optional hearing, litigating 16. 17. 18. 19. 20. 21. 22. the Court of Common Pleas of Cumberland County Case No. On or about September 12th, at approximately mid-morning, the Plaintiff, Cory A. Cormany, was pummeled and grappled in and out of an automobile pursuant a choking incident at the Cumberland County Prison. At or about the aforesaid date and time, the Defendant Curtis Colbertson, along with several unidentified individuals and a Staffing Sergeant Teaney, did bondage and scratch and protract the Plaintiff, putting him in a prison holding cell. Prior thereto the foregoing procedural ramifications, the Plaintiff Cory A. Cormany did consider a summary issue appeal and did decide a contentional matter therein, communicative a radical situation and circumstance, and did later seek medical attention despite such enveloped caution. On or about October 2nd, at approximately early-afternoon or thereto, the. Plaintiff, Cory A. Cormany, was bondaged and forcibly intimidated, then escorted and stripped in a secured holding area in the Cumberland County Prison. At or about the aforesaid date and time, numerous unidentified individuals did proceed the actions described, and did not service the Plaintiff with a court Order as he did request prescient such said scheduled activity. Prior ~he foregoing the Defendant Jeffrey Franks, did proceed judiciary litigations provoking an intentional medium conspiratorial the Defendant Mathew Kennedy and the District Justice No. 09-2-01 relevant an Order. At or about the aforesaid date and time, the Defendant Jeffrey Franks did investigate a complaint liable the county district attorney; without depositioning a defendant or dispositioning a plaintiff preponderate an instigation. 23. 24. 25. 26. Proceeding the aforementioned scheduled activity, the Defendant Samuel Coover did inform the Plaintiff Cory A. Cormany and numerous other unidentified individuals, that there was to be a training exercise using them differentiated an advisory. Pursuant the foregoing the Plaintiff has questioned motive and intent substantial a requisite criminal behavior, and political the conspiratorial allegations enstated during and throughout the eventful occasions defined, wherein the Plaintiff does feel victimized as an individual residence of the Commonwealth of Pennsylvania. The Defendants Steve Calaman, Gary Sholenburger, Jeffrey Kurtz, Mathew Kennedy, Curtis Colbertson, Samuel Coover and Jeffrey Franks have violated constitutional provisions regardless an electorial intiative and have influenced propaganda and media costly the United States of America. The Plaintiff has suffered and ~as sustained injuries, abusive and negligible.treatment, stressful and constant condemnation punishible other obligations and wrongful ~ctions pursuant immunilogical 'criminal ramifications, .and-preponderate further civil litig~tg~ns constitutional a decisional consideration. I, Cory A. Cormany, do hereby verify that the facts set forth in the above are true and correct to the best of my knowledge or information and belief, and that any false statements herein are made subject to %he penalties of Section 4904 of the Crimes Code (18 Pa. C.S. 4904), relating to unsworn falsification to authorities. Witnessed$ Cory A. CorKy -! 't ' Member, Pennsylvania Association ot Notarhgs