HomeMy WebLinkAbout06-7305Quintina M. Laudermilch, Esquire
Daley, Zucker & Gingrich, LLC
1029 Scenery Drive
Harrisburg, PA 17109
(717) 657-4795
tlaudermilch@dzglaw.com
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
DAVID P. CONNORS, JR., o? •7305
Plaintiff No. (Civil Term)
V.
CIVIL ACTION - LAW
AMBER ANN CONNORS,
Defendant IN CUSTODY
COMPLAINT FOR CUSTODY
1. The plaintiff is David P. Connors, Jr., residing at 413 Pitt Street, Enola, 17025,
Cumberland County, Pennsylvania.
2. The defendant is Amber Ann Connors, residing at 811 Valley Road, Enola,
17025, Cumberland County, Pennsylvania.
3. Plaintiff seeks primary physical custody of the following child:
Name Present Residence Awe
Natalie Jean Connors 413 Pitt Street, Enola, 17025 13 mths.
4. The child was not born out of wedlock.
5. The child is presently in the custody of David P. Connors, who resides at 413 Pitt
Street, Enola, 17025, Cumberland County, Pennsylvania.
6. During the past five years, the child has resided with the following persons and at
the following addresses:
(List All Persons)
David P. Connors, Jr.
Amber Ann Connors
Austin Connors
Alyssa Connors
Katelyn Shoemaker
(List All Addresses)
413 Pitt St., Enola, 17025
413 Pitt St., Enola, 17025
413 Pitt St., Enola, 17025
413 Pitt St., Enola, 17025
413 Pitt St., Enola, 17025
Dates
Since Birth
Birth-12/9/06
Since Birth
Since Birth
Birth-12/9/06
7. The mother of the child is Amber Ann Connors currently residing at 811 Valley
Road, Enola, 17025, Cumberland County, Pennsylvania. She is Married.
8. The father of the child is David P. Connors, Jr., currently residing at 413 Pitt
Street, Enola, 17025, Cumberland County, Pennsylvania. He is Married.
9. The relationship of plaintiff to the child is that of Father. The plaintiff currently
resides with the following persons:
Name Relationship
Natalie Jean Plaintiff's Daughter
Austin Plaintiff's Son
Alyssa Plaintiff's Daughter
Plaintiff's son Austin and his daughter Alyssa are the plaintiff's children from a
previous marriage. The children do not currently reside with plaintiff on a full time basis;
however, plaintiff does have periods of regular visitation with the children.
10. The relationship of defendant to the child is that of Mother
currently resides with the following persons:
Name Relationship
Laura Defendant's Mother
Sean Defendant's Brother
Mary Defendant's Aunt
Katelyn Defendant's Daughter
Kathrine Defendant's Cousin
Jenny Defendant's Cousin
The defendant
11. Plaintiff has not participated as a party or witness, or in another capacity, in other
litigation concerning the custody of the child in this or another court.
12. Plaintiff has no information of a custody proceeding concerning the child pending
in a court of this Commonwealth or any other state.
13. Plaintiff does not know of a person not a party to the proceedings who has
physical custody of the child or claims to have custody or visitation rights with respect to the
child.
14. The best interest and permanent welfare of the child will be served by granting the
relief requested because:
A. Plaintiff is the natural father of the child.
B. Plaintiff has had primary physical custody of the child since the parties
have separated.
C. Plaintiff has a warm and loving relationship with the child, which has
helped foster her development and growth.
D. Plaintiff has in the past, and will continue to provide a stable, loving home
environment for the child.
E. Plaintiff will support and nurture the relationship between child and
mother.
15. Each parent whose parental rights to the child have not been terminated and the
person who has physical custody of the child have been named as parties to this action.
WHEREFORE, Plaintiff respectfully requests this Honorable Court enter an Order
granting shared legal custody and primary physical custody to Father with periods of partial
custody to Mother.
DALEY, ZUCKER & GINGRICH, LLC
Date:
ter"
Quintlna M. Laudermilch, Esquire
Supreme Court I.D. #94664
1029 Scenery Drive
Harrisburg, Pennsylvania 17109
Attorney for Plaintiff
w
VERIFICATION
I verify that the statements made in this Complaint are true and correct. I understand that
false statements herein are made subject to the penalties of 18 Pa.C.S. § 4904 relating to unsworn
falsification to authorities.
avid P. Connors, Jr., P intiff
CERTIFICATE OF SERVICE
I, Jennifer L. Carl, Paralegal, hereby certify that on this J ay of L_
200!, a true and correct copy of the Compliant for Custody was served upon the Defendant,
Amber Ann Connors, by United States Mail, Postage pre-paid, to the following address:
Amber Ann Connors
811 Valley Road
Enola, PA 17025
Respectfully submitted,
DALEY, ZUCKER & GINGRICH, LLC
By:
fer L. Carl, Paralega
1029 Scenery Drive
Harrisburg, Pennsylvania 17109
(717) 657-4795
co %.i
°? - O -,,
P
DAVID P. CONNORS, JR. IN THE COURT OF COMMON PLEAS OF
PLAINTIFF : CUMBERLAND COUNTY, PENNSYLVANIA
V.
AMBER ANN CONNORS
DEFENDANT
06-7305 CIVIL ACTION LAW
. IN CUSTODY
ORDER OF COURT
AND NOW, Friday, January 05, 2007 , upon consideration of the attached Complaint,
it is hereby directed that parties and their respective counsel appear before Dawn S. Sunday, Esq. , the conciliator,
at 39 West Main Street, Mechanicsburg, PA 17055 on Wednesday, January 31, 2007 at 9:00 AM
for a Pre-Hearing Custody Conference. At such conference, an effort will be made to resolve the issues in dispute; or
if this cannot be accomplished, to define and narrow the issues to be heard by the court, and to enter into a temporary
order. All children age five or older may also be present at the conference. Failure to appear at the conference may
provide grounds for entry of a temporary or permanent order.
The court hereby directs the parties to furnish any and all existing Protection from Abuse orders,
Special Relief orders, and Custody orders to the conciliator 48 hours prior to scheduled hearing.
FOR THE COURT,
By: /s/ Dawn S. Sunday, Es q.
QI11?
Custody Conciliator
The Court of Common Pleas of Cumberland County is required by law to comply with the Americans
with Disabilites Act of 1990. For information about accessible facilities and reasonable accommodations
available to disabled individuals having business before the court, please contact our office. All arrangements
must be made at least 72 hours prior to any hearing or business before the court. You must attend the scheduled
conference or hearing.
YOU SHOULD TAKE THIS PAPER TO YOUR ATTORNEY AT ONCE. IF YOU DO NOT
HAVE AN ATTORNEY OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET
FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP.
Cumberland County Bar Association
32 South Bedford Street
Carlisle, Pennsylvania 17013
Telephone (717) 249-3166
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Quintina M. Laudermilch, Esquire
Daley Zucker Meilton Miner & Gingrich, LLC
1029 Scenery Drive
Harrisburg, PA 17109
(717) 657-4795
taudermilch _dzmmglaw.com
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
DAVID P. CONNORS, JR.,
Plaintiff
No. 06-7305 (Civil Term)
AMBER ANN CONNORS,
Defendant
CIVIL ACTION - LAW
IN CUSTODY
PETITION FOR EMERGENCY RELIEF IN CUSTODY
AND NOW, this 17th day of January, 2007, comes Plaintiff/Petitioner, David P.
Connors, Jr., by and through his attorneys, Daley Zucker Meilton Miner & Gingrich,
LLC, and files the following Emergency Petition for Custody and in support thereof avers
as follows:
1. Plaintiff/Petitioner, David P. Connors, Jr. (hereinafter referred to as
"Father"), an adult individual, who resides at 413 Pitt Street, Enola, Cumberland County,
Pennsylvania, is the natural father of 14 month old Natalie Jean Connors (hereinafter
referred to as "Natalie")(DOB 11-25-05).
2. Defendant/Respondent, Amber Ann Connors (hereinafter referred to as
"Mother"), an adult individual, who resides at 811 Valley Road, Enola, Cumberland
County, Pennsylvania, is Natalie's natural mother.
3. The Parties separated on or about December 9th, 2006.
4. There is currently no custody order in place.
5. Father cares for child on a daily basis to permit mother to work and avoid
the necessity of daycare.
6. Although Parties tried to develop a schedule of shared custody, prior to the
institution of these actions, Father's availability and association with child essentially
puts him in the position of primary care giver.
7. A Complaint for Custody was filed by the Father on December 28, 2006,
asking the Court to issue an Order granting him shared legal custody and primary
physical custody with periods of partial custody to mother.
8. Upon filing the Complaint for Custody, a Pre-Hearing Custody
Conference scheduled for January 31, 2007, before Dawn Sunday, Custody Conciliator.
9. On or about January 9, 2007, Father learned that John Chest was being
released from prison and rehab and would be moving back into the home where Mother
is currently residing.
10. Mr. Chest has a violent criminal background including, but not limited to,
domestic violence and aggravated assault. See Court of Common Pleas of Cumberland
County Criminal Docket attached as Exhibit "A" and News Articles attached as Exhibit
"B" and incorporated by reference.
11. Because of Mr. Chest's violent criminal background, Father was
concerned for Natalie's safety and would not allow Natalie to return to Mother's current
residence on January 11, 2007.
12. Although Father would not allow Natalie to return to the residence, he has
made arrangements for Mother to see Natalie at Mother's convenience.
13. On or about January 12, 2007, Mother, through her Counsel, Susan
Pickford, Esquire, requested that that Parties meet in an attempt to come to an interim
custody agreement pending the Custody Conciliation on January 31, 2007.
14. At the request of Mother and her Counsel, the Parties and their respective
Counsel met on January 17, 2007, to have a four party conference in attempt to come to
an interim agreement, however an agreement could not be reached.
15. During the meeting and without provocation, Mother's Counsel became
confrontational and began raising her voice and yelling at Father and Father's counsel,
which changed the tone of the meeting and it was clear that the Parties were not going to
resolve the matter at that time.
16. To protect the health, safety, and welfare of Natalie, and to allow both
Parties access to the child, Father requests an order be entered continuing the current
arrangement with child remaining in Father's care and custody pending the custody
conciliation.
17. Plaintiff/Petitioner respectfully requests this Honorable Court grant the
relief requested or schedule a hearing, in-chambers conference or conference call with the
Parties and their Counsel to resolve this matter.
18. Defendant's/Respondent's Counsel is aware that this Petition is being filed
and a copy of the Petition was faxed to Counsel prior to filing.
Defendant's/Respondent's Counsel has requested that an ex parte order not be entered in
this matter.
WHEREFORE, Petitioner requests this Honorable Court to enter an interim
Order, granting him primary physical custody of Natalie with periods of partial physical
custody with mother, conditioned on Mr. Chest not being present when Natalie is with
Mother.
Respectfully submitted,
DALEY ZUCKER MEILTON
MINER & GINGRICH, LLC
Date: //-7 C? By:
Qumtma M. Laudermilch, Esquire
Supreme Court I.D.# 94664
1029 Scenery Drive
Harrisburg, Pennsylvania 17109
(717) 657-4795
Attorney for Plaintiff
h 1 1`
]AL ?O
?; } ;IJ
VERIFICATION
I, David P. Connors, Jr., verify that the statements made in this Petition for Emergency
Relief in Custody are true and correct to the best of my knowledge, information and belief. I
understand that false statements herein are made subject to the penalties of 18 Pa. C.S. Section
4904, relating to unsworn falsification to authorities.
Dated: 1-1-7-o(,
David P. Connors, Jr., Plain if /Petitioner
CERTIFICATE OF SERVICE
I, Jennifer L. Carl, Paralegal, hereby certify that on this If' day of January, 2007,
a copy of the foregoing Petition for Emergency Relief in Custody was sent via facsimile
and United States First Class Mail, postage pre-paid, addressed as follows:
Susan K. Pickford, Esquire
3344 Trindle Road
Camp Hill, PA 17011
Fax (717) 612-0375
Attorney for Defendant
DALEY ZUCKER WILTON
MINER & GINGRICH, LLC
Je*SYL. Carl, Paralegal
1029 Scenery Drive
Harrisburg, Pennsylvania 17109
(717) 657-4795
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001213-2006
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania
v.
John Thomas Chest
Cross Court Docket Nos: CR-0000121-06
Judge Assigned:
OTN: L2905862
Initial Issuing Authority: Richard S. Dougherty Jr.
Arresting Agency: E Pennsboro Twp, Police Dept
Case Local Number Type(s)
Page 1 of 8
CASE INFORMATION
Date Filed: 05/10/2006 Initiation Date: 05/03/2006
Lower Court Docket No: CR-0000121-06
Final Issuing Authority: Richard S. Dougherty Jr.
Arresting Officer: Gaidos, Thomas P.
Case Local Number(s)
STATUS INFORMATION
Case Status: Closed Processinq Status: Awaiting ARD Hearing
Awaiting Filing of Information
Awaiting Formal Arraignment
Awaiting Formal Arraignment
Awaiting Pre-Trial Conference
Awaiting Sentencing
Awaiting Sentencing
Awaiting Sentencing
Awaiting Trial
Sentenced/Penalty Imposed
Case Calendar Event Schedule Start
Type Start Date Time
CALENDAR EVENTS
Room Judge Name
Formal Arraignment 06/27/2006 9:00 am
Pre-Trial Conference 08/29/2006 9:00 am
Trial 09/11/2006 9:00 am
Trial 09/25/2006 9:00 am
Sentencing 12/05/2006 1:30 pm
Jury Assembly
Room
4th Floor
4th Floor
4th Floor
Courtroom 4
Arrest Date: 05/03/2006
Complaint Date: 05/04/2006
Schedule
Status
Scheduled
Scheduled
Cancelled
Moved
Judge Kevin A. Hess Scheduled
n,
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
Exhibit "A"
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001213-2006
CRIMINAL DOCKET
4 Court Case
f
Commonwealth of Pennsylvania Page 2 of 8
V.
John Thomas Chest
DEFENDANTINFORMATION
Date Of Birth: 11/30/1964 City/State/Zip: Enola, PA 17025
Alias Name
Chest, John
Chest, John T.
Chest, John T.
Chest, John Thomas
Chest, Johnas Thomas
CASE PARTICIPANTS
Participant Type Name
Defendant Chest, John Thomas
BAIL INFORMATION
Chest, John Thomas Nebbia Status: None
Bail Action Date Bail Type Percentage Amount
Bail Postinq Status Posting Date
Set 05/04/2006 Monetary $150,000.00
CHARGES
Sequence Grade Section/ Description Statute Description
Offense OTN
Date
ttecent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001213-2006
CRIMINAL DOCKET
Court Case
? j
Commonwealth of Pennsylvania Page 3 of 8
v.
John Thomas Chest
DISPOSITION SENTENCING/PENALTIES
Disposition
Case Event
Sequence/Description
Sentencing Judge
Sentence/Diversion Program Type
Lower Court Proceeding (generic)
Lower Court Disposition
1 / Terroristic Threats W/ Int To Terrorize Another
2 / Harassment - Subject Other to Physical Contact
3 / Simple Assault
Disposition Date Final DisDosition
Offense Disposition Section
Sentence Date Credit For Time Served
Incarceration/Diversionary Period Start Date
05/08/2006
Held for Court (Lower
Court)
Held for Court (Lower
Court)
Held for Court (Lower
Court)
Not Final
18 §2706 §§A1
18 §2709 §§A1
18 § 2701 §§A3
Guilty Plea
Trial 09/25/2006
1 if Terroristic Threats W/ Int To Terrorize Another Quashed
Hess, Kevin A. 12/05/2006
2 / Harassment - Subject Other to Physical Contact
Hess, Kevin A.
3 / Simple Assault
Hess, Kevin A.
Probation
Final Disposition
18 §2706 §§A1
Quashed
12/05/2006
Guilty Plea
12/05/2006
Min of 12.00 Months
Max of 12.00 Months
Other
18 §2709 §§A1
18§ 2701 §§A3
12/05/2006
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001213-2006
CRIMINAL DOCKET
l Court Case
Commonwealth of Pennsylvania Page 4 of 8
v.
John Thomas Chest
COMMONWEALTH INFORMATION
Name: Cumberland County District Attorney's
Office
Prosecutor
Supreme Court No:
Phone Number(s):
(717) 240-6210 (Phone)
Address:
One Courthouse Square
Carlisle PA 17013
ATTORNEY INFORMATION
Name: Susan Pickford, Esq.
Private
Supreme Court No: 043093
Counsel Status: Active
Phone Number(s):
(717) 612-1660 (Phone)
Address:
3344 Trindle Rd
Camp Hill PA 17011
Representing: Chest, John Thomas
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001213-2006
CRIMINAL DOCKET
q Court Case
Commonwealth of Pennsylvania
V.
John Thomas Chest
ENTRIES
Document/Sequence CP Filed Date
Title
Comments
Registry Entry
Issue Date Status Date Service Type
Document Date Filed By
Service Status
1 05/04/2006
Bail Set - Chest, John Thomas
- - - - - - - - - - - - - - - -
1 05/10/2006
Original Papers Received from Lower Court
- - - - - - - - - - - - - - - --
1 06/22/2006
Notice of Trial Joinder
- - - - - - - - - - - - - - -
2 06/22/2006
Information Filed
Service To
Dougherty, Richard S. Jr.
- - - - - - - - - - - -
Court of Common Pleas - Cumberland County
Page 5 of 8
- - - - - - - - - - - - - - -
Cumberland County District Attorney's Office
- - - - - - - - - - - - - -
Cumberland County District Attorney's Office
1 06/27/2006 Barry, Ellen ..
Acknowledgment of Arraignment and Public Defender Appointment at CCP
Deft to appear 8/29/06 at 8:30 a.m. for PTC and 9/11/06 at 9:00 a.m. for Trial
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
1 09/06/2006 08/29/2006 Bayley, Edgar B.
Pre-Trial Conference Order of Court, filed 9-6-06 In re: Defendant Directed to Appear
Def. is ordered to appear for trial 9-25-06.
9-6-06 copies delivered/mailed @ 4pm
- - - - - - - - - - - - - - - - - - - - - - - - - - - -- - - - - -
1 09/25/2006 Pickford, Susan
Written Guilty Plea Colloquy and Plea of Defendant, filed 9/25/06.
Def. plead to Simple Assaulth (M2) in full sat.
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001213-2006
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania
v.
John Thomas Chest
ENTRIES
Document/Sequence CP Filed Date
Title
Comments
Registry Entry
Issue Date Status Date Service Type
Document Date Filed By
Service Status
Service To
Page 6 of 8
1 09/27/2006 Hess, Kevin A.
Guilty Plea Order of Court, filed 9/25/06.
Def plead to Ct. 3, Simple Assault, in full sat. PSI report is directed and def. to appear for sentence on 12/5/06 at
1:30pm.
Copies delivered/mailed on 9/28/06 at 4pm.
- - - - - - - - - - - - -
1 12/06/2006
Penalty Assessed
- - - - - - - - - - - - ---
Court of Common Pleas - Cumberland County
- - - - - - - - - - - - - - - - - - - - - - - - - - - - --
1 12/08/2006 12/05/2006 Hess, Kevin A.
Sentence Order of Court, Filed 12/5/06. In Re: Sentencing
Sentence of the Court at 113-2006 Count 3 Simiple Assault is that the def pay the costs of pros, that he submit to
DNA testing and that he undergo imprisonment in the CCP for 8-18 months. Def is to have no contact with the victim,
parole to Roxbury D&A program. Def is to receive credit for time served from and after 5/4/06.
12/11/06-Copies delivered at 4pm.
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
1 12/18/2006 Pickford, Susan
Request for Modification of Sentencing, Filed.
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - --
1 12/29/2006 12/26/2006 Hess, Kevin A.
Order of Court, Filed 12/26/06.
It is ordered that the conditions of probation be modified as follows, $3080.62 in restitituion to Mr Louis M Vittor,
Members 1st Federal Credit Union, Mechanicsburg, Pa. The previously ordered no-contact provision regarding Laura
Chest is to be deleted as a term and condition of probation per the victims reguest
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
1 01/08/2007 Hess, Kevin A.
Guideline Sentence Form, Filed.
- - - - - - - - - - - - - - -- - - - - -- - - - - - - - - - - - -
Necent entries made in the court riling offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001213-2006
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania
Page 7 of 8
v.
John Thomas Chest
PAYMENT PLAN SUMMARY
Payment Plan No Payment Plan Freq. Next Due Date Active Overdue Amt
Responsible Participant Suspended Next Due Amt
21-2005-P1846 Monthly 07/01/2006 True $371.79
Chest, John T. False $11.79
Payment Plan History: 11117/2005 Payment $120.00
01/11/2006 Payment $60.00
02/21/2006 Payment $60.00
04/07/2006 Payment $15071
06109/2006 Payment $7.50
06/23/2006 Payment $8.75
07/10/2006 Payment $10.00
07/21/2006 Payment $10.00
0810412006 Payment $8.75
08118/2006 Payment $11.25
09/01/2006 Payment $12.50
09/15/2006 Payment $8.75
10102/2006 Payment $10.00
10/13/2006 Payment $16.25
10127/2006 Payment $8.75
11/1312006 Payment $7.50
11/27/2006 Payment $7.50
12/11/2006 Payment $10.00
CASE FINANCIAL INFORMATION
Last Payment Date: Total of Last Payment: $0.00
Chest, John Thomas Assessment Payments Adiustments Non Monetary Total
Defendant Payments
Costs/Fees
Sheriff Costs (Cumberland) $24.78 $0.00 $0.00 $0.00 $24.78
State Court Cost (Act 204 of 1976) $9.70 $0.00 $0.00 $0.00 $9.70
AOPC 2220 -Rev 01115/2007
Printed: 01/1512007
Kecent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001213-2006
CRIMINAL DOCKET
Court Case
Commonweal th of Pennsylvania Page 8 of 8
V.
John Thomas Chest
Chest, John Thomas Assessment Payments Adjustments Non Monetary Total
Defendant Payments
Commonwealth Cost - HB627 (Act 167 $8.30 $0.00 $0.00 $0.00 $8.30
of 1992)
County Court Costs (Act 204 of 1976) $27.00 $0.00 $0.00 $0.00 $27.00
Crime Victims Compensation (Act 96 $35.00 $0.00 $0.00 $0.00 $35.00
of 1984)
Domestic Violence Compensation (Act $10.00 $0.00 $0.00 $0.00 $10.00
44 of 1988)
Victim Witness Services (Act 111 of $25.00 $0.00 $0.00 $0.00 $25.00
1998)
Firearm Education and Training Fund $5.00 $0.00 $0.00 $0.00 $5.00
(158 of 1994)
JCP $8.00 $0.00 $0.00 $0.00 $8.00
ATJ $2.00 $0.00 $0.00 $0.00 $2.00
District Attorney (Cumberland) $17.00 $0.00 $0.00 $0.00 $17.00
Plea Fee (Cumberland) $135.00 $0.00 $0.00 $0.00 $135.00
Administrative Fee (Cumberland) $45.00 $0.00 $0.00 $0.00 $45.00
Sheriff Costs (Cumberland) $1.50 $0.00 $0.00 $0.00 $1.50
Automation Fee (Cumberland) $5.00 $0.00 $0.00 $0.00 $5.00
Non DUI Central Processing Cost $200.00 $0.00 $0.00 $0.00 $200.00
(Cumberland)
Costs/Fees Totals: $558.28 $0.00 $0.00 $0.00 $558.28
Grand Totals: $558.28 $0.00 $0.00 $0.00 $558.28
** - Indicates assessment is subrogated
AOPC 2220 - Rev 01/15/2007
Printed: 01/1512007
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001214-2006
CRIMINAL DOCKET
CourtCase
Commonwealth of Pennsylvania
V.
John Thomas Chest
CASE INFORMATION
Cross Court Docket Nos: CR-0000122-06
Judge Assigned:
OTN: K3918095
Initial Issuinq Authority: Richard S. Dougherty Jr.
Arrestinq Agency: E Pennsboro Twp, Police Dept
Case Local Number Type(s)
Date Filed: 05/10/2006 Initiation Date: 05/0412006
Lower Court Docket No: CR-0000122-06
Final Issuing Authority: Richard S. Dougherty Jr.
Arresting Officer: Green, Mark
Case Local Number(s)
RELATED CASES
Related Docket No Related Case Caption Related Court Association Reason
Joined Codefendant Cases
CP-21-CR-0001213-2006 Comm. v. Chest, John Thomas CP-09-21-Crim Trial Joinder
STATUS INFORMATION
Case Status: Adjudicated Processing Status: Awaiting ARD Hearing
Awaiting Filing of Information
Awaiting Formal Arraignment
Awaiting Formal Arraignment
Awaiting Pre-Trial Conference
Awaiting Sentencing
Awaiting Sentencing
Awaiting Sentencing
Awaiting Trial
Case Calendar Event Schedule Start
Type Start Date Time
Formal Arraignment 06/27/2006 9:00 am
Pre-Trial Conference 08/29/2006 9:00 am
Trial 09/11/2006 9:00 am
Trial 09/25/2006 9:00 am
Sentencing 12/05/2006 1:30 pm
CALENDAR EVENTS
Room Judge Name
Jury Assembly
Room
4th Floor
4th Floor
4th Floor
Courtroom 4
Judge Kevin A. Hess
Arrest Date:
Page 1 of 10
05/04/2006
Complaint Date: 05/04/2006
Schedule
Status
Scheduled
Scheduled
Cancelled
Moved
Scheduled
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001214-2006
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania
v
Page 2 of 10
John Thomas Chest
DEFENDANT INFORMATION
Date Of Birth: 11/30/1964 City/State/Zip: Enola, PA 17025
Alias Name
Chest, John
Chest, John T.
Chest, John T.
Chest, John Thomas
Chest, Johnas Thomas
CASE: PARTICIPANTS
Participant Type
Defendant
Chest, John Thomas
Bail Action Date
Set
Name
Chest, John Thomas
Bail Type
05/04/2006 Monetary
- mev u in O2UU/
BAIL INFORMATION
Percentage Amount
$150,000.00
Nebbia Status: None
Bail Posting Status Posting Date
- - -- --- --i-y vmum may not oe immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
IQL
Commonwealth of Pennsylvania
v.
John Thomas Chest
CHARGES
Sequence Grade Section/ Description Statute Description Offense OTN
Date
Court Case
Page 3 of 10
1 M2 18 § 2701 §§A3
a a .._.» . ....,.......M Simple Assault 05/04/2006 K3918095
2 M2 18
§ 2705 Recklessly Endangering
y ngering Another 05/04/2006 K3918095
»?.. m .. Person
3
M1
18 §2706 §§A1 .,,,»,m
Terroristic Threats W/ Int To Terrorize
05/04/2006
K3918095
»..» » ....,., Another
4 M2
18 § 5104
Resist Arrest/Other Law Enforce
05/04/2006 .
K3918095
5 F2 18 § 2702 §§A6 Aggravated Assault 05/04/2006 K3918095
6 F2 18 § 2702 §§A6
_.. Aggravated Assault 05/04/2006 K3918095
7 F2 18 § 2702 §§A6 Aggravated Assault 05/04/2006 K3918095
8 F1 18 § 2702 §§A2 Aggravated Assault 05/04/2006 K3918095
9 F2 18 § 2702 §§A3 Aggravated Assault 05/04/2006 K3918095
10 F2 18 2702 Aggravated Assault
05/04/2006
K3918095
Do
- - -- ••• -? -illy unwes may not oe immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
Docket Number: CP-21-CR-0001214-2006
CRIMINAL DOCKET
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001214-2006
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania
V.
John Thomas Chest
Disposition
Case Event
Sea uence/Description
Sentencing Judge
Sentence/Diversion Program Type
Page 4 of 10
Disposition Date Final DisDOSition
Offense Disposition Section
Sentence Date Credit For Time Served
Incarceration/Diversionary Period Start Date
Lower Court Proceeding (generic)
Lower Court Disposition 05/08/2006 Not Final
1 / Simple Assault Held for Court (Lower 18 § 2701 §§A3
Court)
2 / Recklessly Endangering Another Person Held for Court (Lower 18 § 2705
Court)
3 / Terroristic Threats W/ Int To Terrorize Another Held for Court (Lower 18 §2706 §§A1
Court)
4 / Resist Arrest/other Law Enforce Held for Court (Lower 18 § 5104
Court)
5 / Aggravated Assault Held for Court (Lower 18 § 2702 §§A6
Court)
8 / Aggravated Assault Withdrawn 18 § 2702 §§A2
9 / Aggravated Assault Withdrawn 18 § 2702 §§A3
10 / Aggravated Assault Withdrawn 18 § 2702 §§A4
Guilty Plea
Trial 09/25/2006 Final Disposition
1 / Simple Assault
Hess
Kevin A Quashed 18 § 2701 §§A3
,
. 12/05/2006
2 / Recklessly Endangering Another Person 11
11 Quashed 18 § 2705
Hess, Kevin A. 12/05/2006
3 / Terroristic Threats W/ Int To Terrorize Another Quashed 18§ 2706 §§A1
Hess, Kevin A. 12/05/2006
4 / Resist Arrest/Other Law Enforce
Quashed 18'§"
8 § 5104 ? ?Hess, Kevin A. 12/05/2006
5 /Aggravated Assault
Guilty Plea 18 2702
AOPC 2220 - Rev 01/15/2007
RoccM Printed: 01 /1 512 0 0 7
--- - - - - ^ ^ro ? -quay no[ oe immeatatoy reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
DISPOSITION SENTENCING/PENALTIES'
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001214-2006
CRIMINAL DOCKET
Court Case
,r
Commonwealth of Pennsylvania
Page 5 of 10
V.
John Thomas Chest
Case Event
Sequence/Description
Sentencing Judge
Sentence/Diversion Program Type
Hess, Kevin A.
Confinement
Disposition Date Final Disposition
Offense Disposition Section
Sentence Date Credit For Time Served
Incarceration/Diversionary Period Start Date
12/05/2006
Min of 8.00 Months
Max of 18.00 Months
Other
Quashed
12/05/2006
216 Days
12/05/2006
6 / Aggravated Assault
Hess, Kevin A.
7 / A99 _?„ ravated
ault
Hess, Kevin A.
8 / Aggravated Assault
Hess, Kevin A.
18 § 2702 §§A6
Quashed K,..,
18 § 2702 §§A6
12/05/2006
Withdrawn
18 § 2702 §§A2
12/05/2006
9 / Aggravated Assault -§»....._.,.__
Withdrawn 18 2702 §§A3
Hess, Kevin A. 12/05/2006
row w.?..m,,,
10 / Aggravated Assault i,.
Withdrawn
18 § 2702 §§A4
Hess, Kevin A. 12/05/2006
-rvcv vV ?J/LVUI
--- ° - • • •,y - ay nui oe immeaiateiy reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001214-2006
CRIMINAL DOCKET
sy Court Case
Commonwealth of Pennsylvania
V.
John Thomas Chest
COMMONWEALTH INFORMATION
Name: Cumberland County District Attorney's
Office
Prosecutor
Supreme Court No:
Phone Number(s):
(717) 240-6210 (Phone)
Address:
One Courthouse Square
Carlisle PA 17013
ATTORNEY INFORMATION
Name: Susan Pickford, Esq.
Private
Supreme Court No: 043093
Counsel Status: Active
Phone Number(s):
(717) 612-1660 (Phone)
Address:
3344 Trindle Rd
Camp Hill PA 17011
Representing: Chest, John Thomas
Page 6 of 10
---- - - • ^ „y will- may nuc ce immeoiately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001214-2006
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania
v
Page 7 of 10
John Thomas Chest
ENTRIES
Document/Sequence CP Filed Date
Title
Comments
Registry Entry
Issue Date Status Date Service Type
1 05/10/2006
Original Papers Received from Lower Court
- - - - - - - - - - - - -
1 06/22/2006
Notice of Trial Joinder
- - - - - - - - - - - - -
2 06/22/2006
Information Filed
Document Date Filed By
Service Status Service To
Court of Common Pleas - Cumberland County
- --- - - - - - - - - - - - - - -
Cumberland County District Attorney's Office
- - - - - - - - - - - - - - - - -
Cumberland County District Attorney's Office
- - - - - - - - - - - - - - - - - -
1 06/27/2006 Barry, Ellen _ - - - - - - - - -
Acknowledgment of Arraignment and Public Defender Appointment at CCP
Deft to appear 8/29/06 at 8:30 a.m. for PTC and 9/11/06 at 9:00 a.m. for Trial
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
1 09/06/2006 08/29/2006 Bayley, Edgar B.
Pre-Trial Conference Order of Court, filed 9-6-06 In re: Defendant Directed to Appear
Def. is ordered to appear for trial 9-25-06.
9-6-06 copies delivered/mailed @ 4pm
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
1 09/25/2006 Pickford, Susan
Written Guilty Plea Colloquy and Plea of Defendant, filed 9/25/06.
- - - - - - - - - - - - - - - - - -- - - - - - - - - - - - - - - -
2 09/25/2006 Pickford, Susan
Entry of Appearance
- - - - - - - - - - -- - - - - - - - - - - - - - - - - - ----- - - -
- rtuv u-I/ I olzuu/
P.- e
- -- -°- w? .......y vuiccs may not oe immeoiately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001214-2006
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania
V.
John Thomas Chest
ENTRIES
Document/Seauence CP Filed Date
Title
Comments
Registry Entry
Issue Date Status Date Service Type
Document Date Filed By
Service Status
Service To
Page 8 of 10
1 09/27/2006 Hess, Kevin A.
Guilty Plea Order of Court, filed 9/25/06.
Def. plead to Ct. 5, Aggravated Assault, one consolidated count, in full sat. PSI report is directed and to appear for
sentence on 12/5/06 at 1:30pm.
Copies delivered/mailed on 9/28/06 at 4pm.
- - - - - - - - - - - - - - - - - - - - - - - - - -
1 12/06/2006 Court of Common Pleas - Cumberland County
Penalty Assessed
1 12/18/2006 Pickford, Susan
Request for Modification of Sentencing, Filed.
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
1 12/29/2006 12/26/2006 Hess, Kevin A.
Order of Court, Filed 12/26/06.
It is ordered that the conditions of probation be modified as follows, $ 3080.62 in restitituion to Mr Louis M Vittor,
Members 1st Federal Credit Union, Mechanicsburg, Pa. The previously ordered no-contact provision regarding Laura
Chest is to be deleted as a term and condition of probation per the victims reguest
- - - - - - - - - - - -
1 01/08/2007
Guideline Sentence Form, Filed
- - - - - - - - - - - -
Hess, Kevin A.
Kecem emnes made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001214-2006
CRIMINAL DOCKET
1 Court Case
Commonwealth of Pennsylvania Page 9 of 10
V.
John Thomas Chest
PAYMENT PLAN SUMMARY
Payment Plan No Payment Plan Freq. Next Due Date Active Overdue Amt
Responsible Participant Suspended Next Due Amt
21-2005-P1846 Monthly 07/01/2006 True $371.79
Chest, John T. False $11.79
Payment Plan History: 11/1712005 Payment $120.00
01/11/2006 Payment $60.00
02/21/2006 Payment $60.00
04/07/2006 Payment $150.71
06/09/2006 Payment $7.50
06/2312006 Payment $8.75
07/10/2006 Payment $10.00
07121/2006 Payment $10.00
08/04/2006 Payment $8,79
08/18/2006 Payment $11.25
0910112006 Payment $12.50
09/15/2006 Payment $8.78
10/02/2006 Payment $10.00
10/13/2006 Payment $16.25
10/27/2006 Payment $8,75
11/13/2006 Payment $7.50
11/27/2006 Payment $7.50
12/11/2006 Payment $10.00
CASEFINANCIAL INFORMATION
Last Payment Date:
Total of Last Payment: $0.00
Chest, John Thomas Assessment Payments Adjustments Non Monetary Total
Defendant
Payments
Costs/Fees
Sheriff Costs (Cumberland) $24.78 $0.00 $0.00 $0.00 $24.78
Sheriff Costs (Cumberland) $6.39 $0.00 $0.00 $0.00 $6.39
State Court Cost (Act 204 of 1976) $11.09 $0.00 $0.00 $0.00 $11.09
Commonwealth Cost - HB627 (Act 167 $16.64 $0.00 $0.00 $0.00 $16
64
of 1992) .
County Court Costs (Act 204 of 1976) $24.27 $0.00 $0.00 $0.00 $24,27
C 2220 - Rev 0111512007
Printed: 01!15/2007
-- ni uie wur[ riling omces may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001214-2006
CRIMINAL DOCKET
,a Court Case
Commonweal th of Pennsylvania
Page 10 of 10
V.
John Thomas Chest
Chest, John Thomas Assessment Payments Adiustments Non Monetary Total
Defendant
Payments
Crime Victims Compensation (Act 96 $35.00 $0.00 $0.00 $0.00 $35.00
of 1984)
Domestic Violence Compensation (Act $10.00 $0.00 $0.00 $0.00 $10.00
44 of 1988)
Victim Witness Services (Act 111 of $25.00 $0.00 $0.00 $0.00 $25.00
1998)
Firearm Education and Training Fund $5.00 $0.00 $0.00 $0.00 $5.00
(158 of 1994)
District Attorney (Cumberland) $17.00 $0.00 $0.00 $0.00 $17.00
Plea Fee (Cumberland) $135.00 $0.00 $0.00 $0.00 $135.00
Administrative Fee (Cumberland) $45.00 $0.00 $0.00 $0.00 $45.00
Sheriff Costs (Cumberland) $1.50 $0.00 $0.00 $0.00 $1.50
Automation Fee (Cumberland) $5.00 $0.00 $0.00 $0.00 $5.00
Non DUI Central Processing Cost $200.00 $0.00
$0.00
$0.00
$200.00
(Cumberland)
JCP $8.00 $0.00 $0.00 $0.00
$8.00
ATJ $2.00 $0.00
$0.00
$0.00
$2.00
DNA Fund Cost $250.00 $0.00 $0.00 $0.00 $250.00
Costs/Fees Totals: $821.67 $0.00 $0.00 $0.00 $821.67
Restitution
Restitution $3,080.62 $0.00 $0.00 $0.00 $3,080.62
Restitution Totals: $3,080.62 $0.00 $0.00 $0.00 $3,080.62
Grand Totals: $3,902.29 $0.00 $0.00 $0.00 $3,902.29
*' - Indicates assessment is subrogated
AOPC 2220 - Rev 0111512007
Printed: 01/152007
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0000288-2002
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania Page 1 of 7
V.
John T Chest
Judge Assigned:
OTN: H3117343
Initial Issuing Authori
Arresting Agency: Other
Case Local Number Type(s)
Legacy Docket Number
11/30/1964
STATUS INFORMATION
Case Status: Adjudicated Processing Status: Migrated Case Complaint Date: 10/29/2001
DEFENDANT INFORMATION
Date Of Birth:
Alias Name
Chest, John
Chest, John T.
Chest, John Thomas
Chest, John Thomas
Chest, Johnas Thomas
Participant Type
Defendant
Chest, John T.
Bail Action Date
Set
CASE INFORMATION
Date Filed: 02/11/2002 Initiation Date: 02/11/2002
Lower Court Docket No: CR-0000429-01
Final Issuing Authority: Robert V. Manlove
Arrestinq Officer: Affiant
Case Local Number(s)
2002-288
Citv/State/Zip: Enola, PA 17025-0000
CASE PARTICIPANTS
Name
Chest, John T.
BAIL INFORMATION
Bail Type Percentage
02/06/2002 Nonmonetary
Nebbia Status: None
Amount
Bail Posting Status
$0.00
Posted
Posting Date
02/11/2002
Recent enures maae in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0000288-2002
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania Page 2 of 7
V.
John T Chest
CHARGES
Sequence Grade Section/ Description Statute Description
Offense OTN
Date
1 M2 18 § 2701 §§A1 Simple Assault 09/26/2001 H3117343
2 S 18 § 2709 §§A1 Harassment/Strike, Shove, Kick, Etc. 09/26/2001 H3117343
DISPOSITION SENTENCING/PENALTIES
Disposition
Case Event
Sequence/Description
Sentencing Judge
Sentence/Diversion Program TvDe
Sentence Conditions
Migrated Disposition
Migrated Dispositional Event
1 / Simple Assault
Hoffer, George E.
Confinement
Disposition Date Final Disposition
Offense Disposition Section
Sentence Date Credit For Time Served
Incarceration/Diversionary Period Start Date
04/23/2002 Final Disposition
Guilty Plea 18 § 2701 §§A1
04/23/2002
Min of 30.00 Days 05/21/2002
Rem IL enu 1es maae in me court riling offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
P
Docket Number: CP-21-CR-0000288-2002
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania Page 3 of 7
V.
John T Chest
COMMONWEALTH INFORMATION
Name: Edmund William John Zigmund, Esq.
District Attorney
Supreme Court No: 072082
Phone Number(s):
(912) 634-3646 (Phone)
(919) 779-2832 (Phone)
Address:
Cumberland County District Attorney's Office
1 Courthouse Square
Carlisle PA 17013
ATTORNEY INFORMATION
Name: Arla M. Waller, Esq.
Private
Supreme Court No: ubu2bb
Counsel Status: Active
Phone Number(s):
(717) 240-6285 (Phone)
(717) 240-7792 (Fax)
Address:
Devorsetz, Stinziano, Gilberti, Heintz & Smith,
P.C.
Cumberland Cc Pub Defender
1 Courthouse Square
Carlisle PA 17013
Representing: Chest, John T.
(717) 240-6285 (Phone)
(717) 240-7792 (Fax)
Address:
Cumberland County Public Defender's Office
1 Courthouse Square
Carlisle PA 17013
Representing: Chest, John T.
t„- -It ,,,,,,y umces may not t)e immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0000288-2002
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania
v.
John T Chest
ENTRIES
Document/Sequence CP Filed Date Document Date
Title
Comments
Registry Entry
Issue Date Status Date Service Type Service Status
1 02/11/2002
TRANSCRIPT FROM DISTRICT JUSTICE, F
TRANSCRIPT FROM DISTRICT JUSTICE, FILED
- - - - - - - - - - - - - - - - - -
1 03/12/2002
INFORMATION FILED. CTS 1,2
INFORMATION FILED. CTS 1,2
1 03/19/2002 Migrated Filer
ACKNOW. OF ARRAIGN., FILED 3/19/02.
ACKNOW. OF ARRAIGN., FILED 3/19/02. DEF APPEAR FOR PTC 4/23/02 AT 8:30AM & TRIAL 5/6/02.
1 04/23/2002 Migrated Filer
GUILTY PLEA COLLOQUY & PLEA OF DEFE
GUILTY PLEA COLLOQUY & PLEA OF DEFENDANT, FILED 4123/02. DEF PLEAD GUILTY CT 1 IN FULL SAT.
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
Filed By
Service To
Migrated Filer
Migrated Filer
Page 4 of 7
2 04/23/2002
Migrated Disposition
Migrated Automatic Registry Entry (Disposition) Text
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3
Migrated Sentence
Migrated Sentence
04/23/2002
Migrated Filer
Migrated Filer
1 05/03/2002 Migrated Filer
GUILTY PLEA, FILED 4/23102. DEF PLE
GUILTY PLEA, FILED 4/23/02. DEF PLEAD TO CT 1 IN FULL SAT. DEF IS TO APPEAR FOR SENTENCE ON
5/21/02 AT 9:30 AM. ORDERED BY GEORGE E. HOFFER, PJ 517/02-COPIES HAND DELIVERED AT 4:OOPM
3PC 2220 - Rev 01/15/2007 Printed 01115/2001
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0000288-2002
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania
V.
John T Chest
ENTRIES
Document/Seauence CP Filed Date
Title
Comments
Registry Entry
Issue Date Status Date Service Tyoe
Document Date Filed By
Service Status Service To
Page 5 of 7
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1 05/31/2002 Migrated Filer
SENTENCE, FILED 5/21/02. DEF IS TO
SENTENCE, FILED 5/21/02. DEF IS TO PAY COSTS, $75 RESTITUTION TO VICTIM, $100 TO CUMBERLAND
COUNTY, AND CCP FOR 30 DAYS TO 23 MTHS. WORK RELEASE IS AUTHORIZED. ORDERED BY GEORGE E.
HOFFER, P.J. 6/3/02 COPIES DELIVERED AT 4:00 PM.
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1 06/11/2002 Migrated Filer
GUIDELINE SENTENCE FORM
GUIDELINE SENTENCE FORM
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1 06/17/2002 Migrated Filer
ORDER OF COURT, FILED 6/14/02. IN R
ORDER OF COURT, FILED 6/14/02. IN RE: PAROLE. DEF IS PAROLED EFFECTIVE 6/19/02 AT 9:00 AM WITH
SUPERVISION. ORDERED BY GEORGE E. HOFFER, PJ 6119/02-COPIES HAND DELIVERED AT 4:OOPM
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
1 10/08/2002 Unknown Filer
Original Papers Received from Lower Court
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1 03/01/2004 Chest, John T.
Penalty Satisfied
--
CASE FINANCIAL INFORMATION
Last Payment Date: 03/01/2004
- RVv V I/ Iolzuuf -
Rarant Pnfriee marls :.. ?{.......s c.?:_ _
Total of Last Payment: ($150.00)
- --- • ••• • a ?•• w? -ay nut uc unmeoiateiy retlected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0000288-2002
CRIMINA L DOCKET
e
e Court Case
Commonwea lth of Pennsylvania Page 6 of 7
v.
John T Chest
Chest, John T. Assessment Payments Adjustments Non Monetary Total
Defendant Payments
Costs/Fees
Sheriff Costs (Cumberland) $40.35 $0.00 ($40.35) $0.00 $0.00
Sheriff Costs (Cumberland) $10.35 $0.00 ($10.35) $0.00 $0.00
County Court Costs (Cumberland) $24.01 $0.00 ($24.01) $0.00 $0.00
Sheriff Costs (Cumberland) $1.50 $0.00 ($1.50) $0.00 $0.00
Firearm Education and Training Fund $5.00 $0.00 ($5.00) $0.00 $0.00
(158 of 1994)
Crime Victims Compensation (Act 96 $25.00 $0.00 ($25.00) $0.00 $0.00
of 1984)
Crime Victims Compensation (Act 96 $15.00 $0.00 ($15.00) $0.00 $0.00
of 1984)
Domestic Violence Compensation (Act $10.00 $0.00 ($10.00) $0.00 $0.00
44 of 1988)
State Court Cost (Act 204 of 1976) $8.61 $0.00 ($8.61) $0.00 $0.00
Commonwealth Cost - HB627 (Act 167 $7.38 $0.00 ($7.38) $0.00 $0.00
of 1992)
JCP $1.50 $0.00 ($1.50) $0.00 $0.00
District Attorney (Cumberland) $15.00 $0.00 ($15.00) $0.00 $0.00
Plea Fee (Cumberland) $125.00 $0.00 ($125.00) $0.00 $0.00
Automation Fee (Cumberland) $5.00 $0.00 ($5.00) $0.00 $0.00
Non DUI Central Processing Cost $200.00 $0.00 ($200.00) $0.00 $0.00
(Cumberland)
Administrative Fee (Cumberland) $40.00 $0.00 ($40.00) $0.00 $0.00
OSP (Cumberland/State) (Act 35 of $75.00 ($75.00) $0.00 $0.00 $0.00
1991)
OSP (Cumberland/State) (Act 35 of $75.00 ($75.00) $0.00 $0.00 $0.00
1991)
Costs/Fees Totals: $683.70 ($150.00) ($533.70) $0.00 $0.00
Fines
County Fine (Cumberland) $100.00 $0.00 ($100.00) $0.00 $0.00
Fines Totals: $100.00 $0.00 ($100.00) $0.00 $0.00
Restitution
Restitution $0.00 $0.00 $0.00 $0.00 $0.00
AOPC 2220 -Rev 01/1512007
Printed: 01/15/2007
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0000288-2002
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania Page 7 of 7
V.
John T Chest
Chest, John T. Assessment Payments Adjustments Non Monetary Total
Defendant Payments
Restitution $75.00 $0.00
($75.00) $0.00 $0.00
Restitution Totals: $75.00 $0.00 ($75.00) $0.00 $0.00
Grand Totals: $858.70 ($150.00) ($708.70) $0.00 $0.00
" - Indicates assessment is subrogated
AOPC 2220 - Rev 01/15/2007
Printed: 01115/2007
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001493-2001
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania
v.
John T Chest
CASE INFORMATION
Judge Assiqned:
OTN: H3301745
Initial Issuing Authority:
Arresting Agency: E Pennsboro Twp, Police Dept
Case Local Number Type(s)
Legacy Docket Number
Date Filed: 07/1712001 Initiation Date: 07/17/2001
Lower Court Docket No: CR-0000273-01
Final Issuing Authority: Robert V. Manlove
Arresting Officer: Rynard, Donald
Case Local Number(s)
2001-1493
Page 1 of 12
STATUS INFORMATION
Case Status: Adjudicated Processing Status: Migrated Case Complaint Date: 06/28/2001
DEFENDANT INFORMATION
Date Of Birth: 11/3011964 City/State/Zip: Enola, PA 17025-0000
Alias Name
Chest, John
Chest, John T.
Chest, John Thomas
Chest, John Thomas
Chest, Johnas Thomas
CASE PARTICIPANTS
Participant Type Name
Defendant Chest, John T.
Chest, John T.
Bail Action
Set
Date Bail Type
07/05/2001 Monetary
BAIL INFORMATION
Nebbia Status: None
Percentage Amount
Bail Posting Status
$5,000.00
Posted
Posting Date
07/17/2001
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001493-2001
CRIMINAL DOCKET
o' ? Court Case
Commonwealth of Pennsylvania Page 2 of 12
v.
John T Chest
CHARGES
Sequence Grade Section/ Description Statute Description
Offense OTN
Date
1 M2 18 § 2701 §§A1 Simple Assault 06/28/2001 H3301745
2 M1 18 § 2706 §§A3 Terroristic Threats Cause Serious 06/28/2001 H3301745
Public Inconv.
3 S 18 §2709 §§A1 Harassmert'Strike, Shove, Kick, Etc. 06/28/2001 H3301745
DISPOSITION SENTENCING/PENALTIES
Disposition
Case Event Disposition Date Final Disposition
Sequence/Description Offense Disposition Section
Sentencing Judge Sentence Date Credit For Time Served
Sentence/Diversion Program Type Incarceration/Diversionary Period Start Date
Migrated Disposition
Migrated Dispositional Event 10/29/2001 Final Disposition
1 /Simple Assault Guilty Plea 18 § 2701 §§A1
2 / Terroristic Threats Cause Serious Public Inconv. Quashed, Dismissed, 18 § 2706 §§A3
Demurrer Sustained
3 / Harassment/Strike, Shove, Kick, Etc. Quashed, Dismissed, 18 §2709 §§A1
Demurrer Sustained
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001493-2001
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania
V.
John T Chest
COMMONWEALTH INFORMATION
Name: Edmund William John Zigmund, Esq
District Attorney
Supreme Court No: 072082
Phone Number(s):
(912) 634-3646 (Phone)
(919) 779-2832 (Phone)
Address:
Cumberland County District Attorney's Office
1 Courthouse Square
Carlisle PA 17013
ATTORNEY INFORMATION
Name: Tim Clawges, Esq.
Private
Supreme Court No: 053784
Counsel Status: Active
Phone Number(s):
(215) 686-6322 (Phone)
(717) 240-6285 (Phone)
(215) 686-6268 (Fax)
(717) 240-7792 (Fax)
Address:
1 COURTHOUSE SO.
Carlisle PA 17013
Representing: Chest, John T.
(215) 686-6322 (Phone)
(717) 240-6285 (Phone)
(215) 686-6268 (Fax)
(717) 240-7792 (Fax)
Address:
PUBLIC DEFENDER OFFICE
Carlisle PA 17013
Representing: Chest, John T.
(215) 686-6322 (Phone)
(717) 240-6285 (Phone)
(215) 686-6268 (Fax)
(717) 240-7792 (Fax)
Address:
CUMB CO PUB DEF
1 COURTHOUSE SO
Carlisle PA 17013--3387
Representing: Chest, John T.
(215) 686-6322 (Phone)
(717) 240-6285 (Phone)
(215) 686-6268 (Fax)
(717) 240-7792 (Fax)
Address:
Page 3 of 12
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
Commonwealth of Pennsylvania
V.
John T Chest
Public Defender
One Courthouse Square
Carlisle PA 17013-3387
Representing: Chest, John T.
(215) 686-6322 (Phone)
(717) 240-6285 (Phone)
(215) 686-6268 (Fax)
(717) 240-7792 (Fax)
Address:
1 Cumb Co Pub Def
1 Courthouse Sq
Carlisle PA 17013-3387
Representing: Chest, John T.
Recent entries made in rho -.. ar.. „ -
Court Case
Page 4 of 12
--- --, -, - n in uouidwiy renectea on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001493-2001
CRIMINAL DOCKET
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001493-2001
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania Page 5 of 12
V.
John T Chest
ENTRIES
Document/Sequence CP Filed Date Document Date Filed By
Title
Comments
Registry Entry
Issue Date Status Date Service Type Service Status Service To
1 07/17/2001 Migrated Filer
TRANSCRIPT FROM DISTRICT JUSTICE, F
TRANSCRIPT FROM DISTRICT JUSTICE, FILED
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- - - - -
1 08/07/2001 - - - - - - - - - - - - - - -
Migrated Filer
INFORMATION FILED. CTS 1,2,3
INFORMATION FILED. CTS 1,2,3
- - - - - - - - - - -
- - - - - - -
1 08/14/2001 - - - - - - - - - - - - - - --
Migrated Filer
ACKNOW. OF ARRAIGN., FILED 8/14/01.
ACKNOW. OF ARRAIGN., FILED 8/14/01. DEF APPEAR FOR PTC
- - - - - - - - - - - - - - - 10/16/01 AT 12:30PM & TRIAL 10/29/01.
1 10/29/2001 - - - - - - - - - - - - - - - -
Migrated Filer
GUILTY PLEA COLLOQUY & PLEA OF DEFE
GUILTY PLEA COLLOQUY & PLEA OF DEFENDANT, FILED. 10/29/01. DEFENDANT PLEAD GUILTY TO COUNT
1, SIMPLE ASSAULT (BODILY INJURY) (M2), IN FULL SAT.
- - - - - - - - - - - - - - - - - -
- - - -
2 10/29/2001 - - - - - - - - - - -
Migrated Filer
Migrated Disposition
Migrated Automatic Registry Entry (Disposition) Text
1 11/01/2001 Migrated Filer
GUILTY PLEA, FILED. 10129/01. COUNT
GUILTY PLEA, FILED. 10129101. COUNT 1: DEFENDANT PLEAD GUILTY TO SIMPLE ASSAULT, IN FULL
SATISFACTION. SENTENCING REPORT. DEFENDANT TO APPEAR FOR SENTENCE ON DECEMBER 11, 2001,
AT 9:30 AM. ORDERED BY J. WESLEY OLER, JR., J. 11/2/01-COPI ES HAND DELIVERED 4:OOPM.
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001493-2001
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania
v.
John T Chest
ENTRIES
Document/Sequence CP Filed Date
Title
Comments
Document Date Filed By
Registry Entry
Issue Date Status Date Service Type Service Status Service To
Page 6 of 12
1 01/10/2002 Migrated Filer
BENCH WARRANT ORDER, FILED. 12111/0
BENCH WARRANT ORDER, FILED. 12111/01. BENCH WARRANT IS ISSUED FOR THE DEFENDANT'S ARREST,
AND ANY BAIL IS HEREBY FORFEITED. ORDERED BY J. WESLEY OLER, JR., J. 1/10102-COPIES HAND
DELIVERED 4:OOPM
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
2 01/10/2002 Migrated Filer
BENCH WARRANT VACATED, FILED. 12/11
BENCH WARRANT VACATED, FILED. 12/11101. DEFENDANT FAILED TO APPEAR FOR SENTENCE, THE
BENCH VWVARRANT ISSUED IS VACATED AND THE DEFENDANT'S RELEASE ON $5000.00 PROFESSIONAL
BAIL IS REINSTATED. ORDERED BY J. WESLEY OLER, JR., J. 1110102-COPIES HAND DELIVERED 4:OOPM
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - --
3 01/10/2002 Migrated Filer
SENTENCE, FILED. 12111/01. COUNT 1:
SENTENCE, FILED. 12/11/01. COUNT 1: DEFENDANT PAY COSTS OF PROS, AND UNDERGO CUMBERLAND
COUNTY PRISON NOT LESS THAN 3 DAYS - 23 MONTHS, WITH CREDIT GIVEN FOR 3 DAYS PREVIOUSLY
SERVED. DEFENDANT IS PAROLED IMMEDIATELY. DEFENDANT HAVE NO CONTACT, DIRECT OR INDIRECT
WITH THE VICTIM EXCEPT THROUGH COUNSEL AND COMPLYING WITH ALL WRITTEN DIRECTIONS OF HIS
PAROLE OFFICER. ORDERED BY J. WESLEY OLER, JR., J. 1/10/02-COPIES HAND DELIVERED 4:OOPM
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - --
4 01/10/2002 Migrated Filer
WARRANT TO COMMIT AND RETAIN, FILED
WARRANT TO COMMIT AND RETAIN, FILED.
- - - - - - - - - - - - -
1 01/1412002 Migrated Filer
GUIDELINE SENTENCE FORM
GUIDELINE SENTENCE FORM
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
1 01/15/2002 Migrated Filer
JUDGMENT ENTERED CIVIL CASE #2002-
JUDGMENT ENTERED CIVIL CASE #2002- 165
Printed:
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001493-2001
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania
V.
John T Chest
ENTRIES
Document/Sequence CP Filed Date Document Date Filed By
Title
Comments
Registry Entry
Issue Date Status Date Service Type Service Status Service To
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
1 01/16/2002 Migrated Filer
PETITION FOR REVOCATION OF PAROLE
PETITION FOR REVOCATION OF PAROLE
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
1 02/08/2002 Migrated Filer
PETITION FOR REVOCATION OF PAROLE
PETITION FOR REVOCATION OF PAROLE
Page 7 of 12
1 02/19/2002 Migrated Filer
ORDER OF COURT, FILED. 2/12/02. IN
ORDER OF COURT, FILED. 2/12/02. IN RE: REVOCATION OF PAROLE. THE COURT FINDS THE DEFENDANT
HAS INTENTIONALLY, VOLUNTARILY, AND WILLFULLY FAILED TO COMPLY WITH THE TERMS OF HIS
PAROLE, HIS PAROLE IS REVOKED, AND HIS STREET TIME IS WITHDRAWN. HE IS REPAROLED
IMMEDIATELY CONDITIONED UPON COMPLYING WITH ALL WRITTEN DIRECTIONS OF HIS PAROLE OFFICER
ORDERED BY J. WESLEY OLER, JR., J. 2/20/02-COPIES HAND DELIVERED 4:OOPM
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
1 03105/2002 Migrated Filer
PETITION FOR REVOCATION OF PAROLE
PETITION FOR REVOCATION OF PAROLE
1 03/21/2002 Migrated Filer
ORDER OF COURT, FILED 3/19/02. IN R
ORDER OF COURT, FILED 3/19/02. IN RE: REVOCATION OF PAROLE. ADJUDICATION AND DISPOSITION OF
THE PETITION ARE DEFERRED FOR A PERIOD OF ONE WEEK AND THE DEFENDANT IS DIRECTED TO
APPEAR FOR A FURTHER HEARING ON THE PETITION FOR REVOCATION ON PAROLE ON MARCH 26, 2002,
AT 9:30 AM. ORDERED BY J. WESLEY OLER, JR., J. 3/25102-COPIES HAND DELIVERED 4:OOPM
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
1 03/22/2002 Migrated Filer
PETITION FOR REVOCATION OF PAROLE
PETITION FOR REVOCATION OF PAROLE
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001493-2001
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania
v.
John T Chest
ENTRIES'
Document/Sequence CP Filed Date
Title
Comments
Document Date Filed By
Registry Entry
Issue Date Status Date Service Type Service Status Service To
1 03/26/2002 Migrated Filer
ADDENDUM PETITION FOR REVOCATION OF
ADDENDUM PETITION FOR REVOCATION OF PAROLE
Page 8 of 12
1 04/03/2002 Migrated Filer
ORDER OF COURT, FILED 3/26/02. DEFE
ORDER OF COURT, FILED 3/26102. DEFENDANT APPEARED IN COURT FOR A PETITION FOR REVOCATION OF
PAROLE. THE HEARING IN THIS CASE IS RESCHEDULED TO APRIL 2, 2002, AT 11:00AM AT WHICH TIME THE
DEFENDANT IS DIRECTED TO APPEAR. ORDERED BY J. WESLEY OLER, JR., J. 4/3/02-COPIES HAND
DELIVERED 4:OOPM
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
1 04/08/2002 Migrated Filer
ORDER OF COURT, FILED 4/2102. IN RE
ORDER OF COURT, FILED 412102. IN RE: REVOCATION OF PAROLE. DEF HAS FAILED TO COMPLY WITH
TERMS OF PAROLE. PAROLE IS REVOKED FOR A SECOND TIME, STREET TIME WITHDRAWN & DEF IS
RECOMMITTED TO CCP TO SERVE UNEXPIRED BALANCE OF TERM PREVIOUSLY IMPOSED. ORDERED BY J.
WESLEY OLER, JR., J. COPIES DELIVERED ON 4/9/02 AT 4PM.
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
1 09/30/2002 Migrated Filer
PRE-PAROLE INVESTIGATION AND ORDER
PRE-PAROLE INVESTIGATION AND ORDER OF COURT, FILED 9/27/02. DEF IS GRANTED PAROLE EFFECTIVE
10/2102. ORDERED BY J. WESLEY OLER, JR, J. COPIES DELIVERED 9/30/02 AT 4 PM.
1 10/22/2002
PETITION FOR REVOCATION OF PAROLE,
PETITION FOR REVOCATION OF PAROLE, FILED.
- - - - - - - - - - - - - --
Migrated Filer
01
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Commonwealth of Pennsylvania
v.
John T Chest
ENTRIES
Document/Sequence CP Filed Date Document Date Filed By
Title
Comments
Registry Entry
Issue Date Status Date Service Type Service Status Service To
Page 9 of 12
1 11/01/2002 Migrated Filer
ORDER OF COURT, FILED 10/29/02. IN
ORDER OF COURT, FILED 10/29/02. IN RE: PETITION FOR REVOCATION. DEF APPEARING IN COURT ON A
PETITION FOR REV OF PAROLE WITH COUNSEL & HAVING MOVED FOR A CONTINUANCE OF THIS MATTER
FOR A PERIOD OF 30 DAYS AND THE COMMONWEALTH HAVING NO OBJECTION TO THE DEFERMENT & THE
DEF PAROLE OFFICER HAVING INDICATED LIKEWISE, THE DEF TO APPEAR FOR A HEARING ON 12/3/02 AT
9:30 AM IN CTRM 1, WITHOUT FURTHER ORDER. ORDERED BY J. WESLEY OLER, JR, J. COPIES DELIVERED
11/1/02 AT 4PM.
1 12/04/2002 Migrated Filer
ORDER OF COURT, FILED 12/3/02. IN R
ORDER OF COURT, FILED 12/3/02. IN RE: PETITION FOR REVOCATION OF PAROLE HEARING CONTINUED.
DEF. HAVING FAILED TO APPEAR IN COURT ON A PETITION FOR REVOCATION OF PAROLE.THIS CASE IS
CONTINUED AND DEF. IS DIRECTED TO APPEAR ON 12/17/02 AT 9:30AM IN CTRM. #1. ORDERED BY J.
WESLEY OLER, JR. J. 1215/02-COPIES DELIVERED 4PM.
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
1 01/13/2003 Migrated Filer
ADDENDUM PETITION FOR REVOCATION OF
ADDENDUM PETITION FOR REVOCATION OF PAROLE, FILED.
- - - - - - - - - - - - - - - - - - - - - - - -- - - - - -
1 01/21/2003 Migrated Filer
ORDER OF COURT, FILED 1/14103. IN R
ORDER OF COURT, FILED 1114/03. IN RE: REVOCATION OF PAROLE. DEF'S PAROLE IS REVOKED, HIS
STREET TIME IS WITHDRAWN, HE IS RECOMMITTED TO CCP TO SERVE THE UNEXPIRED BALANCE OF THE
TERM PREVIOUSLY IMPOSED. ORDERED BY J. WESLEY OLER, JR. J. 1/21103 - COPIES DELIVERED AT 4PM.
- - - - - - - - - - - - - - - - --- -- - - - - - - - - - - - - - -
1 02/13/2003 Migrated Filer
JUDGMENT SATISFIED CIVIL CASE #2002
JUDGMENT SATISFIED CIVIL CASE #2002-165 CS
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
Docket Number: CP-21-CR-0001493-2001
CRIMINAL DOCKET
Court Case
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001493-2001
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania Page 10 of 12
v.
John T Chest
ENTRIES
Document/Sequence CP Filed Date Document Date Filed By
Title
Comments
Registry Entry
Issue Date Status Date Service Type Service Status Service To
1 03/12/2003 Migrated Filer
ORDER OF COURT, FILED 3/10/03. UPON
ORDER OF COURT, FILED 3/10/03. UPON RECOMMENDATION OF DEF'S PAROLE OFFICER, WORK RELEASE
IS AUTHORIZED FOR THE DEF. ORDERED BY J. WESLEY OLER, JR. J. 3/12/03 - COPIES DELIVERED/MAILED
AT 4PM.
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - --
1 07131/2003 Unknown Filer
Original Papers Received from Lower Court
- - - --- - - - - - - - - - - - - - --- - - - - - - - - - - - - -
1 11/25/2003 Oler, J. Wesley Jr.
Order of Court, Filed 12/25/03.
It is ordered that the Def. be paroled with supervision effective 11/26/03, on condition that he (1) be and remain on
good behavior, (2) comply with all written instructions of his signed parole plan, (3) refrain from the use of drugs
and/or alcohol, (4) submit to urine testing, at his own expense, and (5) pay $60.00 per month toward court costs
and restitution.
11/26/03 - Copies delivered/mailed at 4pm.
- - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - ---
1 12/02/2003 Oler, J. Wesley Jr.
Amended Order of Court, Filed 1212/03.
The order of court previously entered in this matter dated 12/25/03, is amended to reflect a correct date of 11/25/03.
12/3/03 - Copies delivered/mailed at 4pm.
CASE FINANCIAL INFORMATION
Last Payment Date: Total of Last Payment: $0.00
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET
Docket Number: CP-21-CR-0001493-2001
CRIMINAL DOCKET
Court Case
Commonwea lth of Pennsylvania Page 11 of 12
V.
John T Chest
Chest, John T. Assessment Payments Adjustments Non Monetary Total
Defendant Payments
Costs/Fees
Sheriff Costs (Cumberland) $9.75 $0.00 ($9.75) $0.00 $0.00
Sheriff Costs (Cumberland) $24.90 $0.00 ($24.90) $0.00 $0.00
County Court Costs (Cumberland) $24.01 $0.00 ($24.01) $0.00 $0.00
Sheriff Costs (Cumberland) $1.50 $0.00 ($1.50) $0.00 $0.00
Firearm Education and Training Fund $5.00 $0.00 ($5.00) $0.00 $0.00
(158 of 1994)
Crime Victims Compensation (Act 96 $25.00 $0.00 ($25.00) $0.00 $0.00
of 1984)
Crime Victims Compensation (Act 96 $15.00 $0.00 ($15.00) $0.00 $0.00
of 1984)
Domestic Violence Compensation (Act $10.00 $0.00 ($10.00) $0.00 $0.00
44 of 1988)
State Court Cost (Act 204 of 1976) $8.61 $0.00 ($8.61) $0.00 $0.00
Commonwealth Cost- HB627 (Act 167 $7.38 $0.00 ($7.38) $0.00 $0.00
of 1992)
JCP $1.50 $0.00 ($1.50) $0.00 $0.00
District Attorney (Cumberland) $15.00 $0.00 ($15.00) $0.00 $0.00
Plea Fee (Cumberland) $125.00 $0.00 ($125.00) $0.00 $0.00
Automation Fee (Cumberland) $5.00 $0.00 ($5.00) $0.00 $0.00
Non DUI Central Processing Cost $200.00 $0.00 ($200.00) $0.00 $0.00
(Cumberland)
Administrative Fee (Cumberland) $40.00 $0.00 ($40.00) $0.00 $0.00
OSP (Cumberland/State) (Act 35 of $287.50 $0.00 ($287.50) $0.00 $0.00
1991)
OSP (Cumberland/State) (Act 35 of $287.50 $0.00 ($287.50) $0.00 $0.00
1991)
Drug Testing (Cumberland) $7.00 $0.00 ($7.00) $0.00 $0.00
Drug Testing (Cumberland) $15.00 $0.00 ($15.00) $0.00 $0.00
Drug Testing (Cumberland) $7.00 $0.00 ($7.00) $0.00 $0.00
Drug Testing (Cumberland) $15.00 $0.00 ($15.00) $0.00 $0.00
Sheriff Costs (Cumberland) $24.00 $0.00 ($24.00) $0.00 $0.00
Sheriff Costs (Cumberland) $4.42 $0.00 ($4.42) $0.00 $0.00
Sheriff Costs (Cumberland) $4.42 $0.00 ($4.42) $0.00
$0.00
Drug Testing (Cumberland) $7.00 $0.00 ($7.00) $0.00 $0.00
AOPC 2220 - Rev 01115/2007 Printed: Dt115/2007
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
DOCKET;
Docket Number: CP-21-CR-0001493-2001
CRIMINAL DOCKET
Court Case
Commonwealth of Pennsylvania Page 12 of 12
V.
John T Chest
Chest, John T. Assessment Payments Adjustments Non Monetary Total
Defendant Payments
Drug Testing (Cumberland) $15.00 $0.00 ($15.00) $0.00 $0.00
Costs/Fees Totals: $1,191.49 $0.00 ($1,191.49) $0.00 $0.00
Restitution
Restitution $0.00 $0.00 $0.00 $0.00 $0.00
Restitution Totals: $0.00 $0.00 $0.00 $0.00 $0.00
Grand Totals: $1,191.49 $0.00 ($1,191.49) $0.00 $0.00
** - Indicates assessment is subrogated
AOPC 2220 - Rev 01/152007
Printed: 01/152007
Recent entries made in the court filing offices may not be immediately reflected on these docket sheets. Neither the Court of Common Pleas nor the
Administrative Office of Pennsylvania Courts assume any liability for inaccurate or delayed data, errors or omissions on these docket sheets. Docket
Sheet information should not be used in place of a criminal history background check which can only be provided by the Pennsylvania State Police.
Moreover an employer who does not comply with the provisions of the Criminal History Record Information Act may be subject to civil liability as set
forth in 18 Pa.C.S. Section 9183.
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Exhibit "B"
NJ.com's Printer-Friendly Page
p ive
.gym
Breaking News from The Patriot-News
Wednesday, December 06, 2006
Lawyer blames drugs for man's samurai attack
By Matt Miller/Of The Patriot-News
John T. Chest was drunk, high and terrified when he threatened three East Pennsboro Twp. police
officers with a 27-inch-long samurai sword in May, his lawyer contended.
In his altered state, he initially was not aware of who they were," defense attorney Susan Pickford
said. "He took two weeks to detox from all the substances that were in his body."
Pickford gave her explanation as Cumberland County Judge Kevin A. Hess on Tuesday
sentenced Chest, 42, of Enola, to 8 to 18 months in county prison, followed by 12 months'
probation, on his guilty pleas to simple and aggravated assault.
Police said Chest brandished the razor-sharp sword and made chopping motions when the
officers served a warrant at his house early on May 4, charging him with assaulting his wife and
threatening to kill her with a kitchen knife.
Chest told officers they'd have to kill him before he'd surrender. He surrendered peacefully after
three hours of negotiations, and no one was hurt.
The officers involved, Sgt. Todd Bashore and Officers Benjamin Epting and Thomas Gaidos, were
commended by township commissioners for resolving the standoff without violence.
For more on this story, see tomorrow's editions of The Patriot-News
Copyright 2007 PennLive.com. All Rights Reserved.
Page 1 of 1
http://www.pennlive.com/weblogs/print.ssf?/mtlogs/penn patriotnews/archives/print2l271... 1/15/2007
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IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
DAVID P. CONNORS, JR, NO 06-7305 (Civil Term)
Plaintiff
Civil Action - Law
Vs
AMBER ANN CONNORS, CUSTODY
Defendant
ANSWER TO PLAINTIFF'S
PETITION FOR EMERGENCY RELIEF
IN CUSTODY
AND NOW, this 18'h day of January, 2007, comes Defendant/Respondent, Amber
Ann Connors, by and through her attorney, Susan K. Pickford, Esq. and files the
following Answer to Plaintiff's Petition for Emergency Relief and answers as follows:
1. Admitted.
2. Admitted
3. Admitted
4. Admitted. By way of further answer, there has been an agreement between the
parents in place since separation which provided for alternating weeks with the minor
child, the exchange date being Sunday's at 12:30. Father unilaterally changed this
agreement by taking the child and not returning her. Father claims that his attorney
advised him to take the child and not return her.
5. Denied. By way of further answer, Father has taken the child from her
mother's care against her wishes. He has refused to permit the day care arrangements
made by the Mother leaving her with no options acceptable to father. Father is a truck
driver and currently takes the infant in the front seat of his cab for the entirety of the day,
each day of the week.
6. Denied. The parties had a working arrangement. Father is not in a position
to be primary care giver as he is on the road every day. Spending entire weeks in the
front seat of a truck cab is not in the best interests of the minor child. Mother had
arranged for two separate care givers, familiar to the child and the family. Father
unreasonably refuses to allow the child to be with these care givers.
7. Admitted in part and denied in part. A complaint was filed and the matter is
set for conciliation on the 31St of January.
8. Admitted
9. Admitted that John Chest was released from rehab and would be moving
back into the home where Mother currently resides.
10. Admitted in part and denied in part. It is admitted that Mr. Chest has a
criminal record for violent crimes, most, if not all, of which concern domestic violence
with his wife and the use of alcohol and drugs. Mr. Chest served his time in jail and went
through rehab and was released. He has never been accused of violence with a child
much less an infant. He is being monitored by probation. Further, prior to and again at
the four party meeting between lawyers and parties, Mother agreed to move out of the
residence where Mr. Chest lives. Again, none of her alternative locations were acceptable
to Father.
11. Denied. Father first claims that he is keeping the child in order to provide day
care and allow Mother to work. He then claims that he is keeping her for safety reasons
because he does not want her exposed to Mr. Chest. This is the second time Father has
taken the child and refused to return her to mother.
12. Admitted and denied. It is admitted that prior to the filing of his Petition, Father
had allowed mother to see the minor child in his residence only, however, as of the filing
of this Answer, he refuses to answer his phone or allow Mother to see the minor child.
13. Admitted.
14. Admitted.
15. Absolutely DENIED. Counsel for Mother did not `yell' at anyone. With no
order in place, Father was strenuously asserting a non-existent legal right to take the
minor child from her mother and keep her. This is the second time he has taken this child
in an attempt to manipulate the mother to rekindle their relationship. Counsel for
defendant merely informed father and his counsel that he had no legal right to withhold
the child from mother.
16. Denied. It is not necessary to the child's safety for the current arrangement to be
changed in such a drastic manner through an emergency order. The only safety concern
alleged by Father is the presence of John Chest in the home and that matter has been
resolved. The new residence for Mother and the child is the home of people Mother has
known all her life, neither of whom have any criminal background. Mother agrees to
keep the child away from Mr. Chest until this matter is resolved.
17. Paragraph states no averments that can be denied or admitted. Mother requests
his Honorable Court to deny relief to Petitioner.
18. Admitted. Counsel for Mother did receive a copy of the Petition and wishes to
be heard on the matter.
NEW MATTER
19. Paragraphs 1-18 are hereby incorporated by reference herein as if fully set
forth.
20. Mother has provided appropriate care for the minor child during alternating
weeks and is willing and able to continue that schedule until further order of court.
21. Mother attempts to address any reasonable concerns of Father regarding safety
and day care. Father took the child the day Mr. Chest came home without first discussing
his concerns with Mother or giving her an the opportunity to address the situation.
22. Mother requests this Honorable Court to order Father to return to the agreed
upon schedule of alternating weeks pending the conciliation and further court order.
Mother represents to this Court that she will not allow the child in the presence or home
of John Chest until and unless further court order permits same.
23. Mother further requests that this Honorable Court order Father not to
unilaterally change the schedule or withhold the child from Mother in the future.
WHEREFORE, Respondent/Defendant requests this Honorable Court to enter an
interim Order, denying Petitioner's request and ordering the continuation of the current
arrangement of alternating weeks of custody pending conciliation and further order of
court and that the court order Father not to again withhold the child from Mother.
Date:
Respect y submitted,
usan K. Pickf , E
Attorney for Mother
ID# 43093
1029 Scenery Drive
Harrisburg, PA 17109
(717)657-4795
VERIFICATION
I, Amber Ann Connors, verify that the statements made in this Answer to
Plaintiff s Petition for Emergency Relief are true and Correct to the best of my
knowledge, information and belief. I understand that false statements herein are made
subject to the penalties of 18 Pa.C.S.Section 4904, relating to unsworn falsification to
authorities.
Answer was read to other who verified
the content and statements made in answer
to the Petition and New Matter. Due to the
timeliness issue of filing this Answer,
Mother authorized counsel to affix her
name to the Verification.
=
i
GJ
tfJ ;?
DAVID P. CONNORS, JR., IN THE COURT OF COMMON PLEAS OF
PLAINTIFF CUMBERLAND COUNTY, PENNSYLVANIA
V.
AMBER ANN CONNORS,
DEFENDANT 06-7305 CIVIL TERM
ORDER OF COURT
AND NOW, this I_ of _day of January, 2007, the petition for
emergency relief pending the conciliation conference scheduled for January 31, 2007,
IS DENIED.
By the Court,
Edgar B. Bayley,
Auintina M. Laudermilch, Esquire
For Plaintiff
?isan K. Pickford, Esquire
F
For Defendant
:sal
Rk..C;. ..
THEE 00 7 JAN 19 P 1: 2 7
w
FM os 200,,
DAVID P. CONNORS, JR. IN THE COURT OF COMMON PLEAS OF
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
VS. 06-7305 CIVIL ACTION LAW
AMBER ANN CONNORS
Defendant IN CUSTODY
ORDER
AND NOW, this 29th day of January, 2007, the conciliator, being advised by counsel that the
parties have reconciled and that there is no need for the custody conciliation conference scheduled for
January 31, 2007, hereby relinquishes jurisdiction.
FOR THE COURT,
Dawn S. Sunday, squire
Custody Conciliator
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Quintina M. Laudermilch, Esquire
DALEy ZUCKER MEILTON
MINER & GINGR?CH. LLC
1029 Scenery Drive
Harrisburg, PA 17109
(717) 657-4795
tlaudermi Ichgdzmmgiaw.com
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
DAVID P. CONNORS, JR.,
Plaintiff No. 06-7305 (Civil Term)
CIVIL ACTION - LAW
AMBER ANN CONNORS,
T)efendnnt IN C.1 TRTOW
TEMPORARY STIPULATION
AND AGREEMENT FOR CUSTODY
THIS STIPULATION AND AGREEMENT is entered into this day of June,
2007, by and between David P. Connors, Jr. (hereinafter referred to as "Father") and Amber Ann
Connors (hereinafter referred to as "Mother").
NOW THIS AGRF,F,MFNT WITNFS;SF,T14 THAT-
WHEREAS, the Parties are the natural parents of one (1) minor child, namely, Natalie
Jean Connors, whose date of birth is November 25, 2005 (hereinafter referred to as "Natalie");
and
WHEREAS, the Parties wish to work together to make decisions that they believe are
currently in the best interest of the Child; and
WHEREAS, the Parties have reached a temporary agreement with regard to legal and
physical custody of the Child; god
WHEREAS, the Parties now wish to formalize and memorialize the terms of their
agreement; and
WHEREAS, both Father and Mother request that the following Custody Stipulation and
Agreement be entered as a Court Order.
NOW THEREFORE, the Parties agree as follows:
1. The Parties hereby agree to share legal custody of Natalie. Maior decisions
concerning Natalie's health, welfare, education and religion shall be made by them jointly, after
discussion and consultation with each other, with a view toward obtaining and following a
harmonious policy in Natalie's best interest.
2. Primary physical custody of Natalie shall be with Father.
3. Mother shall have physical custody of Natalie on alternating weekends beginning
Fridays at 6:00 p.m. and ending on Sundays at 6:00 p.m.
4. The Parties shall share holidays as they mutually agree.
5. Father shall have custody of Natalie on Father's Day and Mother shall have
custody of Natalie on Mother's day.
6. Transportation for all visits shall be provided by the Parties. In the event that
there is no specific provision governing the custody exchange, the parent who is to receive
custody at the time of the exchange is to provide for transportation from the residence of the
other parent. No one transporting Natalie shall be intoxicated while transporting Natalie.
7. During any period of custody or visitation, the parties to this Order shall not
possess or use any controlled substance and/or consume alcoholic beverages to the point of
intoxication. The Parties shall likewise assure, to the extent possible, that other household
members and/or house guests comply with this prohibition.
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8. Both parties shall refrain from making derogatory comments about the other party
in the presence of Natalie and to the extent Dossible shall prevent third Darty from making such
comments in the presence of Natalie.
9. Due to concerns regarding the safety of Natalie, neither Darty shall allow Natalie
to have any unsupervised visitation with John Chest. Unless otherwise agreed to by the Parties,
any visits where John Chest is present must be supervised by either Mother or Father.
10. The Parties agree that in the event that either parent is unable to watch Natalie for
more than 3 hours the other Party shall be afforded the first opportunity to watch Natalie before
seeking a third party to watch Natalie.
11. Neither Party shall allow Natalie to call anyone else mom or dad or any form
thereof.
12. Neither Party shall relocate from a current address if such relocation will
necessitate a change in the custody schedule as set forth in this Order, or if the relocation will be
to a location in excess of fifty (50) miles from the other Party's then-current address without (a)
such Party's first giving prior written notice to the other Party not less than sixty (60) days prior
to the planned relocation, and (b) either written consent of the other Party to such relocation or
further Order of this Court. In the event of any intended relocation, either Party may seek
modification of the terms of this custody Order by filing a Petition to Modifv Custody with the
Prothonotary.
13. It is understood and stipulated by the Parties that upon mutual agreement, an
expanded or altered schedule may be agreed upon between the Parties and that such mutual
agreement would be in the best interest of Natalie. Any maior. long-term modifications of the
Stipulation and Agreement need to be in writing. agreed to by both Parties, and executed with the
f
same formalities as the Stipulation. In the event that either Party is not in agreement with a
proposed change. this Agreement will control the custodial arraneement until such time as the
Parties are able to agree, or until further Order of the Court.
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David P. Connors. PI A tiff
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Amber X. Connors. Defendant
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Quintina M. Laudermilch, Esquire
DALEY ZUCKER MEILTON
MINER & GINGRICH, LLC
1029 Scenery Drive
Harrisburg, PA 17109
(717) 6574795
tlaudermilch a,dzmmjzlaw.com
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
DAVID P. CONNORS, JR.,
Plaintiff
AMBER ANN CONNORS,
Defendant
AND NOW, this 34day of
No. 06-7305 (Civil Term)
CIVIL ACTION - LAW
IN CUSTODY
ORDER
2007,
upon presentation and
consideration of the within Stipulation and Agreement, and upon agreement of the Parties, it is
hereby ORDERED and DECREED as follows:
1. The Parties hereby agree to share legal custody of Natalie. Major decisions
concerning Natalie's health, welfare, education and religion shall be made by them jointly, after
discussion and consultation with each other, with a view toward obtaining and following a
harmonious policy in Natalie's best interest.
2. Primary physical custody of Natalie shall be with Father.
3. Mother shall have physical custody of Natalie on alternating weekends beginning
Fridays at 6:00 p.m. and ending on Sundays at 6:00 p.m.
4. The Parties shall share holidays as they mutually agree.
5. Father shall have custody of Natalie on Father's Day and Mother shall have
custody of Natalie on Mother's day.
6. Transportation for all visits shall be provided by the Parties. In the event that
there is no specific provision governing the custody exchange, the parent who is to receive
custody at the time of the exchange is to provide for transportation from the residence of the
other parent. No one transporting Natalie shall be intoxicated while transporting Natalie.
7. During any period of custody or visitation, the parties to this Order shall not
possess or use any controlled substance and/or consume alcoholic beverages to the point of
intoxication. The Parties shall likewise assure, to the extent possible, that other household
members and/or house guests comply with this prohibition.
8. Both parties shall refrain from making derogatory comments about the other party
in the presence of Natalie and to the extent possible shall prevent third party from making such
comments in the presence of Natalie.
9. Due to concerns regarding the safety of Natalie, neither party shall allow Natalie
to have any unsupervised visitation with John Chest. Unless otherwise agreed to by the Parties,
any visits where John Chest is present must be supervised by either Mother or Father.
10. The Parties agree that in the event that either parent is unable to watch Natalie for
more than 3 hours the other Party shall be afforded the first opportunity to watch Natalie before
seeking a third party to watch Natalie.
11. Neither Party shall allow Natalie to call anyone else mom or dad or any form
thereof.
12. Neither Party shall relocate from a current address if such relocation will
necessitate a change in the custody schedule as set forth in this Order, or if the relocation will be
to a location in excess of fifty (50) miles from the other Party's then-current address without (a)
such Party's first giving prior written notice to the other Party not less than sixty (60) days prior
to the planned relocation, and (b) either written consent of the other Party to such relocation or
further Order of this Court. In the event of any intended relocation, either Party may seek
modification of the terms of this custody Order by filing a Petition to Modify Custody with the
Prothonotary.
13. It is understood and stipulated by the Parties that upon mutual agreement, an
expanded or altered schedule may be agreed upon between the Parties and that such mutual
agreement would be in the best interest of Natalie. Any major, long-term modifications of the
Stipulation and Agreement need to be in writing, agreed to by both Parties, and executed with the
same formalities as the Stipulation. In the event that either Party is not in agreement with a
proposed change, this Agreement will control the custodial arrangement until such time as the
Parties are able to agree, or until further Order of the Court.
BY TI
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DAVID P. CONNORS, JR.,
Plaintiff/Respondent
V.
AMBER ANN CONNORS,
Defendant/Petitioner
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION-CUSTODY/VISITATION
No. 06-7305
PETITION FOR CONTEMPT AND
FOR MODIFICATION OF CUSTODY
1. Amber Ann Connors is the natural mother of Natalie Connors, age 2, and the Defendant/Petitioner
(Petitioner) herein, with a current residence of 166 Locust Street, Apt. 4, Columbia, PA 17512.
2. David P. Connors Jr. is the natural father of Natalie Connors, age 2, and the Plaintiff/Respondent
(Respondent) herein with a current residence of 413 Pitt Street, Enola, PA 17025.
3. An Order of Court was entered on July 3, 2007 in the course of the parents' divorce, a true and
correct copy of which is attached hereto as Exhibit A.
4. On the advice of counsel, the Plaintiff refused to allow the Defendant, who was unrepresented, to see
Natalie until she signed over primary physical custody and the July 3, 2007 Order of Court was entered.
5. The parties complied with the July 3, 2007 Order until February 22-23, 2008 and thereafter, when
the Plaintiff refused to allow the Defendant to take her normal, weekend long, unsupervised visitation/partial
custody of Natalie.
6. The Plaintiff has never explained to the Defendant why he unilaterally violated the July 3, 2007
Order of Court, which he forced upon the Defendant.
7. The Plaintiff has insisted that the Defendant travel all the way from Columbia to Enola for
supervised visits at 413 Pitt Street, when his job schedule permits.
8. This represents a hardship and is also in violation of the July 3, 2007 Order, which provides for
transportation to be borne equally.
9. When the Defendant would come to 413 Pitt Street to see Natalie, the Plaintiff would attempt to get
her to reconcile, write her numerous, voluminous, and intimate notes, and otherwise interfere with her right to
see Natalie.
10. The Plaintiff is employed as an independent, long haul, over the road trucker, who is gone for days
and weeks from home.
11. Natalie accompanies the Plaintiff, when he drives his truck, and the Plaintiff travels regularly.
12. Natalie lives, eats, and sleeps in the cab of a truck, while the Plaintiff is t{ umWrting goods in his
truck, as far away as North Carolina.
13. Natalie's best interest is not served by a parent and primary custodian, who parents his 2 year old
child from the cab of a tractor trailer.
14. The Defendant was the primary caretaker of Natalie, while the Plaintiff drove his truck over the
road, until the Defendant withheld custody and coerced her into signing the terms of the July 3, 2007 court
order.
15. The Defendant lives with her fianc6 and Natalie's half sister in a comfortable apartment.
16. The Defendant has set aside a separate room in the apartment, which was used by Natalie, until
visitation was withheld, and is appropriate for a 2 year old child.
17. The Defendant and her fiance are employed.
18. The Plaintiffs lifestyle is not suitable to the nuture and social development of a toddler.
WHEREFORE, Petitioner requests that the Court:
A. Find the Plaintiff in Contempt of the July 3, 2007 Court Order, particularly as to paragraphs 3
and 6.
B. Direct the Plaintiff pay the costs of this proceeding, including Defendant's litigation costs,
expert fees (if any), and attorney fees.
C. Award primary physical custody to the Defendant, subject to visitation/partial custody by the
Plaintiff.
D. Grant such other relief as the best interests of Natalie Connors may require.
DATE: 5
/0?o/ass
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Shawn A. Bozarth, Esquire
Attorney for Amber Ann Connors
15 Beech Lane
Elizabethtown, PA 17022
717-503-9399
Attorney I.D. No. 41068
I, Amber Connors, verify that the statements made in this pe f 1 ton . Ivr whhn?4 ar4,6 NWi
G ? are true and correct. I understand that false statements herin are made subject
to the penalties of 18 Pa. C.S.A. 4904, relating to unswom falsification to
authorities.
AMBER CONNORS
DATE:
Quintina M. Laudermilch, Esquire 'JUN 8 8 2a0a
DALEY ZUCKER MEILTON
MINER & GINGRICH, LLC
1029 Scenery Drive
Harrisburg, PA 17109
(717) 657-4795
tlaudermilch -dzmmgdaw.com
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
DAVID P. CONNORS, JR.,
Plaintiff
AMBER ANN CONNORS,
Defendant
No. 06-7305 (Civil Term)
CIVIL ACTION - LAW
IN CUSTODY
ORDER
rd
AND NOW, this day o , 2007, upon presentation and
consideration of the within Stipulation and Agree nt, and upon agreement of the Parties, it is
hereby ORDERED and DECREED as follows:
1. The Parties hereby agree to share legal custody of Natalie. Major decisions
concerning Natalie's health, welfare, education and religion shall be made by them jointly, after
discussion and consultation with each other, with a view toward obtaining and following a
harmonious policy in Natalie's best interest.
2. Primary physical custody of Natalie shall be with Father.
3. Mother shall have physical custody of Natalie on alternating weekends beginning
Fridays at 6:00 p.m. and ending on Sundays at 6:00 p.m.
4. The Parties shall share holidays as they mutually agree.
5. Father shall have custody of Natalie on Father's Day and Mother shall have
custody of Natalie on Mother's day.
6. Transportation for all visits shall be provided by the Parties. In the event that
there is no specific provision governing the custody exchange, the parent who is to receive
custody at the time of the exchange is to provide for transportation from the residence of the
other parent. No one transporting Natalie shall be intoxicated while transporting Natalie.
7. During any period of custody or visitation, the parties to this Order shall not
possess or use any controlled substance and/or consume alcoholic beverages to the point of
intoxication. The Parties shall likewise assure, to the extent possible, that other household
members and/or house guests comply with this prohibition.
8. Both parties shall refrain from making derogatory comments about the other party
in the presence of Natalie and to the extent possible shall prevent third party from making such
comments in the presence of Natalie.
9. Due to concerns regarding the safety of Natalie, neither party shall allow Natalie
to have any unsupervised visitation with John Chest. Unless otherwise agreed to by the Parties,
any visits where John Chest is present must be supervised by either Mother or Father.
10. The Parties agree that in the event that either parent is unable to watch Natalie for
more than 3 hours the other Party shall be afforded the first opportunity to watch Natalie before
seeking a third party to watch Natalie.
11. Neither Party shall allow Natalie to call anyone else mom or dad or any form
thereof.
12. Neither Parry shall relocate from a current address if such relocation will
necessitate a change in the custody schedule as set forth in this Order, or if the relocation will be
to a location in excess of fifty (50) miles from the other Party's then-current address without (a)
such Party's first giving prior written notice to the other Parry not less than sixty (60) days prior
I
to the planned relocation, and (b) either written consent of the other Party to such relocation or
further Order of this Court. In the event of any intended relocation, either Party may seek
modification of the terms of this custody Order by filing a Petition to Modify Custody with the
Prothonotary.
13. It is understood and stipulated by the Parties that upon mutual agreement, an
expanded or altered schedule may be agreed upon between the Parties and that such mutual
agreement would be in the best interest of Natalie. Any major, long-term modifications of the
Stipulation and Agreement need to be in writing, agreed to by both Parties, and executed with the
same formalities as the Stipulation. In the event that either Party is not in agreement with a
proposed change, this Agreement will control the custodial arrangement until such time as the
Parties are able to agree, or until further Order of the Court.
BY THE COURT:
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DAVID P. CONNORS, JR. IN THE COURT OF COMMON PLEAS OF
PLAINTIFF CUMBERLAND COUNTY, PENNSYLVANIA
V.
AMBER ANN CONNORS
DEFENDANT
2006-7305 CIVIL ACTION LAW
IN CUSTODY
ORDER OF COURT
AND NOW, Friday, March 28, 2008 , upon consideration of the attached Complaint,
it is hereby directed that parties and their respective counsel appear before Dawn S. Sunday, Esq. , the conciliator,
at 39 West Main Street, Mechanicsburg, PA 17055 on Wednesday, April 23, 2008 at 12:00 PM
for a Pre-Hearing Custody Conference. At such conference, an effort will be made to resolve the issues in dispute; or
if this cannot be accomplished, to define and narrow the issues to be heard by the court, and to enter into a temporary
order. Failure to appear at the conference may provide grounds for entry of a temporary or permanent order.
The court hereby directs the parties to furnish any and all existing Protection from Abuse orders,
Special Relief orders, and Custody orders to the conciliator 48 hours prior to scheduled hearing.
FOR THE COURT,
By: /s/ Dawn S. Sunda Es q.
Custody Conciliator
The Court of Common Pleas of Cumberland County is required by law to comply with the Americans
with Disabilites Act of 1990. For information about accessible facilities and reasonable accommodations
available to disabled individuals having business before the court, please contact our office. All arrangements
must be made at least 72 hours prior to any hearing or business before the court. You must attend the scheduled
conference or hearing.
YOU SHOULD TAKE THIS PAPER TO YOUR ATTORNEY AT ONCE. IF YOU DO NOT
HAVE AN ATTORNEY OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET
FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP.
Cumberland County Bar Association
32 South Bedford Street
Carlisle, Pennsylvania 17013
Telephone (717) 249-3166
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DAVID P. CONNORS, JR. IN THE COURT OF COMMON PLEAS OF
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
vs. 2006-7305 CIVIL ACTION LAW
AMBER ANN CONNORS
Defendant IN CUSTODY
ORDER
AND NOW, this 17th day of April, 2008 , the conciliator, having been advised by
Plaintiff's counsel that all custody issues have been resolved by agreement between the parties, hereby
relinquishes jurisdiction. The custody conciliation conference scheduled for April 23, 2008, is
cancelled.
FOR THE COURT,
J`
Dawn S. Sunday, Esquire ?J
Custody Conciliator
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