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HomeMy WebLinkAbout14-2404Supreme CourtofPennsylvania Court=of -,Co nmoii Pleas Civil .Cover Sleet County For Prothonotary Use Only: Petition Declaration of Taking Docket No: The infarnzation collected on this form is used solely for court administration purposes. This form does not supplement or replace the, filing and service of pleadings or other papers as required by law or rules of court. Commencement of Action: Petition Declaration of Taking ■ Complaint ❑ Writ of Summons Er • Transfer from Another Jurisdiction ❑ Lead Plaintiff's Name: ,, Pb— e € iWJ X',T�s- j499i Defendant's Name: 66-41,9A3 Q. Roza fli Dollar Amount Requested: ❑within arbitration limits Are money damages requested? III Yes Al) No (check one) • outside arbitration limits Is this a Class Action Suit? ❑ Yes 0 No Is this an MDJAppeal? ❑ Yes X No Name of PIainttif/f/Appellant's Attorney: Lvf Check here if you have no attorney (are a Self - Represented [Pro Se) Litigant) Nature of the Case: Place an "X" to the left of the ONE case category that most accurately describes your PRIMARY CASE. If you are making more than one type of claim, check the one that you consider most important. TORT (do not include Mass Tort) ❑ Intentional ❑ Malicious Prosecution ❑ Motor Vehicle ❑ Nuisance ❑ Premises Liability Product Liability (does not include mass tort) ❑ Slander/Libel/ Defamation ❑ Other: MASS TORT ❑ Asbestos ❑ Tobacco ❑ Toxic Tort - DES ❑ Toxic Tort - Implant • Toxic Waste ❑ Other: PROFESSIONAL LIABLITY ❑ Dental ❑ Legal ❑ Medical ❑ Other Professional: CONTRACT (do not include Judgments) ❑ Buyer Plaintiff ❑ Debt Collection: Credit Card ❑ Debt Collection: Other ❑ Employment Dispute: Discrimination Employment Dispute: Other ❑ Other: REAL PROPERTY ❑ Ejectment Eminent Domain/Condemnation ❑ Ground Rent Landlord/Tenant Dispute ❑ Mortgage Foreclosure: Residential ❑ Mortgage Foreclosure: Commercial Partition ❑ Quiet Title ❑ Other: CIVIL APPEALS Administrative Agencies ❑ Board of Assessment ❑ Board of Elections ❑ Dept. of Transportation ❑ Statutory Appeal: Other ❑ Zoning Board Ig Other: a3F'AS 'oR/S iT c5'Q4T /e /,e4 Am MISCELLANEOUS ❑ Common Law /Statutory Arbitration ❑ Declaratory Judgment ❑ Mandamus Non - Domestic Relations Restraining Order Quo Warranto ❑ Replevin ❑ Other: , Updated 1/1/2011 IN THE COMMON PLEAS COURT OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION Peter Edwards (Petitioner) GERALD L. ROZUM (Respondent) • • • • • Civil Action No.: NOTICE TO DEFEND - CIVIL c) -0 3 rn co rn x73 "' < o CD TDB You have been sued in Court. If you wish to defend against the claims set forth in the following pages, you must take action within twenty (20) days after this Complaint and Notice are served, by entering a written appearance personally or by Attorney, and filing in writing with the Court your defenses or objections to the claims set forth against you. You are warned that if you fail to do so, the Case may proceed without you and a Judgement 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 the 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, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW. THIS OFFICE CAN PROVIDE YOU WITH INFORMATION ABOUT' HIRING A LAWYER. IF YOU CANNOT AFFORD 10 HIRE A LAWYER, THIS OFFICE MAY BE ABLE TO PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO iE. Lawyer Referral Service Cumberland County Bar Association 32 S. Bedford St. Carlisle, PA 17013 (717) 249 -3166 IN THE COMMON PLEAS COURT OF CUMBERLAND COUNTY, PENNSYLVANIA Peter Edwards (Petitioner) V. GERALD L. ROZUM (Respondent) Civil Action No.: i �J XVOq/ Gym I PRAECIPE for WRIT of HABEAS CORPUS AD SUBJICIENDUM To the Clerk/Prothonotary: Issue WRIT of HABEAS CORPUS AD SUBJICIENDUM in the above - captioned matter; 1. Against GERALD L. ROZUM, Respondent in the above - captioned matter. Respectfully Submitted, ceVA Peter Edwards - (Petitioner) KQ -6655 SCI - Somerset 1590 Walters Mill Road Somerset, PA 15510 Date: 3/31/2014 IN THE COMMON PLEAS WORT OF CUMBERLAND COUNTY, PENNSYLVANIA Peter Edwards (Petitioner) V. CIVIL DIVISION • • • • GERALD E.i. ROZUM (Respondent) • Civil Action No.: /V-- 02.01 PETITION for WRIT of HABEAS CORPUS AD SUBJICIENDUM To THE HONORABLE JUDGE(S) of SAID COURT, COMES NOW, The Petitioner, Peter Edwards, by and through this Pro Se Petition, requesting that this Court GRANT the requested WRIT of HABEAS CORPUS AD SUBJICIENDUM, and represents: STATE IT OF JURISDICTION 1. The Court of Common Pleas of Cumberland County, Pennsylvania, Civil Division, shall possess Lawful. Jurisdiction to grant this WRIT of HABEAS CORPUS AD SUBJICIENDUM pursuant to 42. Pa.C.S. § 6502 ,(a), as well as pursuant to Pa.RC.P. Rule 249 2. The Common Pleas Court of Cumberland County, Pennsylvania, Civil Division, shall be the proper venue to entertain this Civil Matter, pursuant to Pa.R.C..P. Rule 1006. 3. Petitioner, Peeter Edwards, KO-6655, is currently being detained at SCI Somerset, 1600 Walters Mill Road, Somerset, PA 15510. 4. Respondent, GERALD L. ROZUM, is the Superintendent who has custody of Petitioner at SCI Somerset,.1590 Walters Mill Road, Somerset, PA 15510. STATEMENT OF FACTS 5. Pursuant to Tenet Health System 880 A.2d 721, "Pennsylvania Consolidated Statutes are Official Codifications that are enacted by the General Assembly. By contrast, the Unofficial Codifications and Annotation of Pennsylvania's Pamphlet Laws, known as Pardon's, are the work product of the West Publishing Company." 6. Petitioner avers that there is a fatal difference between the Annotations of West's law publishings and the Official Codifications enacted by the General Assembly of this Commonwealth, Act 1974 -271 (H.B. 1532) P.L. 816 § 7. Petitioner avers that the Official Statutory Laws enacted by the General Assembly of this Commonwealth, defining conduct - (namely Criminal), are found in the Pamphlet Laws. 8. Here, the Statutory Law defining Conduct as Criminal can be found in the Act of December 6, 1972 P.L. 1482 No.334 § 3126, Codified at Title 18 Pa.C.S. § 3126. Therefore, West Law Annotation of 18 Pa.C.S.A. § 3126, is the work product of the West Publishing Company. (Supra) 9. Petitioner avers that entertaining the West Law Annotation Citation of 18 Pa.C.S.A. § 3126, for the purpose of Bill of Information, (See Exhibit A), rendered the Trial Court's Judgement a nullity. Rieser v. Glukowsky 646 A.2d 1221 (Pa.sper. 1994). "In short, a Void Judgement is regarded as a nullity, and the situation is the same as it would be if there were No Judgement. It accordingly leaves the Parties litigant in the same position they were in before the Trial." 10. PETITIONER IS BEING RESTRAINED OF HIS LIBERTY WITHOUT DUE PROCESS OF LAW. 11. THE USE OF THE "WEST LAW" ANNOTATION OF 18 Pa.C.S.A. § 3126, IS NOT ENOUGH TO SATISFY THE PROVISIONS OF THE 14th AMENDMENT TO THE CONSTITUTION OF THE UNITED STATES OF AMERICA; i.e., TO SATISFY THE PROVISIONS OF MY STATE AND FEDERAL PRIVILEGES AND IMMUNITIES, AND THE DUE PROCESS CLAUSE OF ARTICLE 1 § 9 TO THE CONSTITUTION OF THE COMMONWEALTH OF PENNSYLVANIA. . 12. THE USE OF THE WEST PUBLISHING'S ANNOTATION OF THE PENNSYLVANIA PAMPHLET LAWS, IS NOT ENOUGH TO EVOKE THE SUBJECT MATTER JURISDICTION OF THE TRIAL COURT. 13. PETITIONER IS ELIGIBLE FOR IMMEDIATE RELIEF FROM THE UNLAWFUL RESTRAINT OF HIS LIBERTY BECAUSE OF THE FOLLOWING CLAIM: STATEMENT OF CLAIM 14. Since the date of 11/11/2005, Petitioner has. been Unlawfully Detained as a State Prisoner by the Commonwealth of Pennsylvania due to the fatally defective Bill of Information, lodged by the Commonwealth on the date of 11/07/2005, which deprived Petitioner of his Fundamental Due Process Right to Notice of a Valid Law, guaranteed to him by the 14th Amendment to the Constitution of the United States of America; and Article 1 § 9 to the Constitution of the Commonwealth of Pennsylvania.. 15. I, the Petitioner, petition this Court to GRANT the requested WRIT of HABEAS CORPUS AD SUBJICIENDUM relief upon consideration of the following argument supported by the specified Legal Citations, Legal Authorities and Facts: LEGAL ARGUMENT IN SUPPORT 16. "Purdon's has [served] the Profession well, becoming The Bible' of the Statutory Law; but the 'Official' Statutes are in the Pamphlet Laws and not Purdon's." - Judge Robert E. Woodside, Pennsylvania Constitutional Law 307 (1985), (emphasis added), (Tenet Supra) 17. Petitioner avers that the West Law Annotation Citation of 18 Pa.C.S.A. § 3126 on the face of the Bill of Information, rendered it fatally defective and deprived the Petitioner of his Due Process Right to Notice of a Valid Law. North Carolina v. Pearce 89 S.ct 2072 395 U.S. 711 (1969), "Due Process, moreover, is a guarantee that a man should be tried and convicted only in accordance with Valid laws of the land." 18. Petitioner avers that the Conviction under the Annotation Citation of "18 Pa.C.S.A." rendered it Unlawful, and deprived the Petitioner of his Fundamental Protected Liberty Interest pursuant to the 14th Amendment to the Constitution of the United States of America; and the Constitution of the Commonwealth of Pennsylvania, see Article 1 § 9. "If a conviction is not valid under these Laws, Statutory and Constitutional, a man has been denied Due Process and has a Constitutional Right to have the Conviction set aside, without being deprived of Life, Liberty or Property as a result." (Pearce Supra) 19. Additionally, the Bill of Information stripped the Trial Court of Subject Matter Jurisdiction and rendered all Proceedings prior to Trial 'Invalid and Ineffective for any purpose. Rieser.v. Glukowsky 646 A.2d 1221, "All Proceedings founded on the Void Judgement are themselves regarded as Invalid and Ineffective for any purpose." Also, Ramberger v. Romberrger 139 A. 159, 160 (Pa.1927), "Void Judgement is a mere blur on the record, which it is the duty of the Court of it's own Motion to Strike -Off whenever its attention is called to it." As in M & P Management, L.P. v. Williams 900 A.2d 871., 876 (Pa.Super.2006),, "A Judgement is void on its face if one or more of three Jurisdictional Elements is found absent: Jurisdiction of the Parties; Subject Matter Jurisdiction; or the Power to Render the Particular Judgement." 20. Also, pursuant to Statutory Construction_Act of 1970 P.L. 707 No.230 1 Pa.C.S. §,102 Citation of Statute, Petitioner asserts in reliance thereon, that the only Citation to Statutory Law in Pennsylvania is the Consolidated Statutes. 21. Petitioner also asserts. that if there is no Law to define conduct as Criminal, no Jurisdiction exists to convict one of a Crime. Pursuant to Title 18 Pa.C.S. § 107(b), Common Law Crimes Abolished, - "No conduct constitutes a °crime unless it is a crime under this Title or another Statute of this Commonwealth." RELIEF REQUESTED WHEREFORE, for the'foregaing reasons, Petitioner requests that this Honorable Court GRANT the requested WRIT of HABEAS CORPUS AD SUBJICIENDUM, and provide relief by discharging Petitioner' from all Criminal Liability relative to the Invalid Bill of- Information mentioned in paragraphs 17 through 19. Respectfully Submitted, Peter Edwards (Petitioner KQ -6655 SCI- Somerset 1590 Walters Mill Road Somerset, PA 15510 Date: 3/31/2014 IN THE COMMON PLEAS COURT OF CUMBERLAND COUNTY, PENNSYLVANIA Peter Edwards (Petiti.oner) V. GERALD L. ROZUM (Respondent) Civil Action No.: CERTIFICATE OF SERVTCE I, Peter Edwards, Petitioner, Pro Se, hereby certify that on this day a true and correct copy of this "PETTTION for WRIT of HABEAS CORPUS Al) SUBJICTENDUM" is being served upon the person(s) listed below in accordance with governing Rules of Court, Hand delivered by Deloris Boyer, to: Dennis E. Lebo, Esq. Clerk of Court of Cumberland County '1 Courthouse Square, Room 205 Carlisle, PA 17013 Service by First Class Mail addressed as follows: Gerald L Rozum (Respondent) SCI-Somerset 1590 Walters Mill Road Somerset, PA 15510 (814) 443-8100 Peter Edwards - (Petitioner KO-6655 ' SCI-Somerset 1590 Walters Mill Road Somerset, PA 15510 y Submitted, IN THE COMMON PLEAS COURT OF CUMBERLAND COUNTY, PENNSYLVANIA Peter Edwards (Petitioner) V. Civil Action No.: .GERALD L. ROZUM (Respondent) STATEMENT OF VERIFICATION I., Peter Edwards, Petitioner, Pro Se, in the above captioned matter, hereby verify that the facts, statements, and averments set forth in this "PETITION for WRIT of HABEAS CORPUS AD SUBJICIENDUM" are true and correct to the best of my knowledge and belief; and that all such facts, statements, and averments made herein are made subject to the penalties of the Statutory Provisions found at 18 Pa.C.S. § 4904. Respectfully Submitted, Peter Edwards - (Petitioner) KQ -6655 SCI - Somerset 1590 Walters Mill Road Somerset, PA 15510 EXHIBIT Ca Y/-0,8 / INFORMATION IN THE COURT OF COMMON PLEAS OF PENNSYLVANIA CUMBERLAND COUNTY 9TH JUDICIAL DISTRICT COMMONWEALTH OF PENNSYLVANIA CRIMINAL ACTION NO. CP- 21-CR- 0003611 -2010 VS. Pros: Ptl. Tracy L. Miller Silver Spring Twp. Police Dept. PETER EDWARDS THE DISTRICT ATTORNEY OF CUMBERLAND COUNTY, by this Information charges that on or about or between Tuesday, the 1st day of June, 2010, and Wednesday, the 11th day of August, 2010, in the said County of d, PETER EDWARDS, did: ault ,000.00 — 5 Years) have indecent contact with a complainant or did cause the complainant, who was Less than thirteen (13) years of age, to .have in -' •ntact with him. ✓ke 5c^ `S COUNT 2: Indecent Assa 1,100.00 — 5Years) have indecent contact with a complainan have indecent contact with him. pr, di vl ause the complainant, who was less than thirteen (13) years of age,,to COUNT 3: Aggravated Indecent Assault (F2 — $25,000.00 -- 10 Years) engage in penetration,. however slight, of the genitals or anus of a complainant with a part of the person's body for any purpose other than good faith medical, hygienic or Iaw enforcement procedures who was less than thirteen (13) years of age, COUNT 4: Aggravated Indecent Assault of a Child (F1 -- $25,000.00 -- 20 Years) engage in penetration, however slight, of the genitals or anus of a complainant with a part of the person's body for any purpose other than good faith medical, hygienic or Iaw enforcement procedures who was less than thirteen (13) years of age. COUNT 5: Corruption of Minors (M1 -- $10,000.00 — 5 Years) being of the age of 18 years and upwards, by any act corrupt or tends to corrupt the morals of any minor less than 18 years of age, or who aids, abets, entices or encourages any such minor in the commission of any crime, or who knowingly assists or encourages such minor in violating his or her parole or any order of court. Citation of Statute: and Section: 18 Pa.C.S.A. Sec. 3126(a)(7) 18 Pa.C.S.A. Sec. 3126(a)(7) 18 Pa.C.S.A. Sec. 3125(a)(7) 18 Pa.C.S.A. Sec. 3125 (b) 18 Pa.C.S.A. 6301 (a)(1) All of which is against the Act of Assembly and the peace and dignity of th f' ommonwealth of Pennsylvania. Matthew P. Smith Attorney for the C• mmonwealth District Attorney 16627.,‹ IN THE COMMON PLEAS COURT OF CUMBERLAND COUNTY, PENNSYLVANIA Peter Edwards (Petitioner V. ROZUM (Respondent) • • • • • Civil Action No.: I .)-ti 6 c REQUEST TO PROCEED IN FORMA PAUPERIS n C rn co -u r`'r r ^. ^� —i c C cl o © _1 N -ate v-I w -< Q J I, Peter Edwards, Petitioner, in the above captioned matter, state under the penalties provided by Title 18 of 1972, December 6, P.L. 1482, No. 334, Crimes and Offenses, that the following statements and facts are true and correct to the best of my knowledge and belief, and that because of my financial condition I am unable to pay the following fees and costs: 1. Retention of Counsel; and 2. Costs of reproducing Transcripts and Records; and 3. Other fees and costs of pursuing this Petition. Also, please note the following: 1. I am not presently employed except for the Prison work detail for which I receive an average monthly pay of approximately $61.00 which is used for personal maintenance and cost of postage; and 2. I have received no other income within the past twelve months except personal gifts which were used for personal maintenance and cost of postage; and 3. I have no Cash or Savings Account, nor do I own any Real Estate, Stocks, Bonds, Notes, Automobiles or other valuable property. 4. 1 have approximately $65 in my Inmate Account, all of which will be used for personal maintenance and cost of postage. 5. 1 have the following debts and obligations: NONE. 6. The following persons are dependent upon me for support: NONE. Respectfully Submitted, Peter Edwards - (Petitioner) KO-6655 SGI- Somerset 1590 Waiters Hill Road Somerset, PA 15510 (2) From Date: Integrated Offender Case Management System Monthly Account Statement 2/4/2014 12:00:00 AM To Date: 3/10/2014 12:00:00 AM 3/10/2014 2:45:22 PM Institution: SMR - Somerset Location SMR -B -A- 2039 -01 Case ID KQ6655 Offender Name EDWARDS,PETER Current Balance 67.13 Escrow Balance 0.00 &Mg 9aOl Description Amount($ a- Transaction($ SMR- 021973 03/07/2014 32 - Commissary +1.40 67.13 SMR COMMISSARY CR FOR 03/07/2014 SMR- 021958 03/07/2014 32 - Commissary -13.24 65.73 SMR COMMISSARY FOR 03/07/2014 SMR- 021949 03/06/2014 50 - Act 84 -12.16 78.97 C P -21 -C R -0 003611 -2010 SMR- 021949 03/06/2014 10 - Maintenance Payroll +60.80 91.13 GRP 2 - 7th -6th SMR- 021923 03/04/2014 37 - Postage -1.61 30.33 First Class Mail SMR - 021889 02/28/2014 32 - Commissary -26.20 31.94 SMR COMMISSARY FOR 02/28/2014 SMR - 021828 02/24/2014 32 - Commissary +1.43 58.14 SMR COMMISSARY CR FOR 02/24/2014 SMR- 021817 02/21/2014 32 - Commissary -29.84 56.71 SMR COMMISSARY FOR 02/21/2014 SMR- 021748 02/14/2014 32 - Commissary -28.44 86.55 SMR COMMISSARY FOR 02/14/2014 SMR- 021712 02/11/2014 37 - Postage -1.19 114.99 First Class Mail SMR- 021694 02/10/2014 37 - Postage -1.40 116.18 UPS SMR- 021670 02/07/2014 32 - Commissary -21.86 117.58 SMR COMMISSARY FOR 02/07/2014 SMR- 021653 02/06/2014 50 - Act 84 -13.87 139.44 CP- 21 -CR- 0003611 -2010 SMR- 021653 02/06/2014 10 - Maintenance Payroll +69.35 153.31 GRP 2 - 7th -6th A ailable Ba ance (VA Page 305 of 2318 PETER EDWARDS, : IN THE COURT OF COMMON PLEAS OF PETITIONER : CUMBERLAND COUNTY, PENNSYLVANIA V. • • GERALD L. ROZUM, • RESPONDENT : 14-2404 CIVIL TERM ORDER OF COURT AND NOW, this day of May, 2014, the Petitioner's Request to Proceed In Forma Pauperis is GRANTED. By the Court, Albert H. Maslan , J. Peter Edwards, KQ-6655 SCI Somerset 1590 Walters Mill Road Somerset, PA 15510 Gerald L. Rozum, Superintendent atl SCI Somerset C I'1 1590 Walters Mill Road 6I(OI ith Somerset, PA 15510 :sal rn " "r, • L, -,. Acy _:A _ cD PETER EDWARDS, : IN THE COURT OF COMMON PLEAS OF PETITIONER : CUMBERLAND COUNTY, PENNSYLVANIA • V. . • GERALD L. ROZUM, . RESPONDENT : 14-2404 CIVIL TERM ORDER OF COURT AND NOW, this 0? day of May, 2014, upon consideration of the Petition for Writ of Habeas Corpus ad Subjiciendum, a Rule is issued on Respondent to show cause why the requested relief should not be granted. Rule returnable twenty (20) days after service. By the Court, .„.„,„,„.„./,2- ,-- Albert H. Masland, J. V Peter Edwards, KQ-6655 SCI Somerset 1590 Walters Mill Road Somerset, PA 15510 Gerald L. Rozum, Superintendent d SCI Somerset M�,�e 1590 Walters Mill Road � I`1 Somerset, PA 15510 5I 00 :sal `) 7:1- z r1 x�• -. -c ..r .Y --t x' c C�Y.; <C ., C,z 1 PETER EDWARDS, : IN THE COURT OF COMMON PLEAS OF PETITIONER : CUMBERLAND COUNTY, PENNSYLVANIA c) c , • -0 as - -i mrn 1 G Fr GERALD L. ROZUM, • . ; RESPONDENT : 14-2404 CIVIL TERM -x-' cD• ` 'M MOTION TO MAKE RULE ABSOLUTE ` ' On the 6th day of May, 2014, upon consideration of the Writ of Habeas Corpus Ad Subjiciendum, a Rule was issued on Respondent GERALD L. ROZUM to show cause why the requested relief should not be granted. The Rule returnable twenty (20) days after Service. Petitioner hereby respectfully requests the Honorable Court to issue the Order of Relief and release Petitioner from incarceration, Without Prejudice. Respondent shall discharge the Order of the Court to release Petitioner within Forty Eight (48) hours of date and time Served. Respectfully Submitted, PIPER EDWARDS - (Petitioner) KQ-6655 SCI-Somerset 1600 Walters Mill Road Somerset, PA 15510 Date: 6/19/2014 To: Prothonotary of Cumberland County 1 Courthouse Square, Room 205 Carlisle, PA 17013 14-2404 CIVIL TERM Dear Sir, Please file the enclosed Motion to Make Rule Absolute. Please provide me with a time-stamped copy for my records. Respectfully Submitted, ' Peter E&ards KQ-6655 SCI-Somerset V 1600 Walters Mill' Road Somerset, PA 15510 Date: 6/19/2014 YE1'b1t EDWARDS, : IN THE COURT OF COMMON PLEAS OF PETITIONER : CUMBERLAND COUNTY, PENNSYLVANIA • V. GERALD L. ROZUM, RESPONDENT : 14-2404 CIVIL TERM LETTER TO THE PROTHONOTARY, Re: INCOMPLETE MOTION Seo,yi a, 1) \A Dear Sir/Madam, ‘AokpCI ce-0\0\ On the date of June 19, 2014, I, Peter Edwards, Petitioner in the above captioned matter, submitted a MOTION TO MAKE RULE ABSOLUTE. However, I failed to include the necessary ORDER and CERTIFICATE OF SERVICE. Please set aside the incomplete MOTION and accept this complete Motion, Order, Certificate of Service, and Request to File/T.S.Copy/Return. Thank you for your help. Respectfully Submitted, YiIRR EDWARDS - (Petitioner) KQ-6655 SCI-Somerset 1600 Walters Mill Road Somerset, PA 15510 Date: 6/23/2014 w , PETER EDWARDS, : IN THE COURT OF COMMON PLEAS OF PETITIONER : CUMBERLAND COUNTY, PENNSYLVANIA n I-- GERALD L. ROZUM, • RESPONDENT : 14-2404 CIVIL TERM :s r... CERTIFICATE OF SERVICE I, PETER EDWARDS, Petitioner, Pro Se, hereby certify that on this day a true copy and correct copy of this MOTION 10 MAKE RULE ABSOLUTE is being served upon the person(s) listed below in accordance with governing Rules of Court. Service by U.S.P.S. First Class Mail as follows: The Prothonotary of Cumberland County 1 Courthouse Square Carlisle, PA 17013 GERALD L. ROZUM, (Respondent) 1590 Walters Mill Road, Somerset, PA 15510 Respectfully Submitted, PEr R EDWARDS - (PetitionerS KO-6655 SCI-Somerset 1600 Walters Mill Road Date: 6/23/2014 Somerset, PA 15510 PETER EDWARDS, : IN THE COURT OF COMMON PLEAS OF PETITIONER : CUMBERLAND COUNTY, PENNSYLVANIA V. •• GERALD L. ROZUM, •• RESPONDENT : 14-2404 CIVIL TERM ORDER OF COURT AND NOW, on this day of , 2014, upon consideration of the MO'T'ION TO MAKE RULE ABSOLUTE, the Respondent failed to answer the ORDER to show cause within twenty (20) days. Therefore, the above captioned matter shall be decided under Pa.R.C.P. No.206.7 and Dispositions shall be completed within days of this date. Notice of the entry of the ORDER shall be provided to all parties by the Petitioner. Respondent shall discharge the ORDER of the Court to release Petitioner within Forty Eight (48) hours of date and time Served. AND, it is hereby ORDERED and DECREED that the Defendant's MOTION TO MAKE RULE ABSOLUTE is hereby _ Distrubution: By THE COURT: Prothonotary of Cumberland County GERALD L. ROZUM, (Respondent) J PETER EDWARDS, : IN THE COURT OF COMMON PLEAS OF PETITIONER : CUMBERLAND COUNTY, PENNSYLVANIA V. GERALD L. ROZUM, RESPONDENT : 14-2404 CIVIL TERM ORDER OF COURT AND NOW, this day of July, 2014, upon consideration of the Motion to Make Rule Absolute filed by Petitioner, Peter Edwards, that Motion is DENIED and the Praecipe for Writ of Habeas Corpus. Ad Subjiciendum is DISMISSED despite Respondent's failure to reply, as this filing is patently frivolous. By the Court, Peter Edwards, KQ-6655 SCI Somerset 1600 Walters Mill Road Somerset, PA 15510 Gerald L. Rozum, Superintendent SCI Somerset 1590 Walters Mill Road Somerset, PA 15510 :sal Albert H. Masland, J.