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HomeMy WebLinkAbout94-01243 ./ / ( Ji . , I j I I i STEPHANIE L. OGDEN, Plaintiff I IN THE COURT OF COMMON PLEAS OF I CUMBERLAND COUNTY, PENNSYLVANIA I I CIVIL ACTION - LAW I I 94-1243 CIVIL TERM I I PROTECTION FROM ABUSE V. ALBERT R. WILSON, JR., Defendant IN REI INDIRECT CRIMINAL CONTEMPT BEFORE SHEELY. P.J. MEMORANDUM OPINION AND ORDER OF COURT On March 14th, 1994, I signed a protection from abuse order which had been agreed to by both parties. A hearing was held today on an allegation that the Defendant violated the protection from abuse order. The Plaintiff was represented by Travis Gery, Esquire, Assistant District Attorney. The Defendant was represented by William Braught, Esquire, Assistant Public Defender. This incident occurred during the early morning hours on July 17th, 1994, here in the Borough of Carlisle. At the time the incident occurred the Plaintiff was with her fiance driving south on Hanover Street. The Defendant was with another friend also driving south on Hanover Street. Near the intersection of South Street and Hanover Street this particular incident occurred. The protection from abuse order states that the Defendant is enjoined from physically abusing the plaintiff, Stephanie L. Ogden, or placing her in fear of abuse. From the testimony presented in court today, I find the testimony of the Plaintiff to be more credible than the testimony of the Defendant and his witnesses. I find that the Defendant did violate the i" ,:..OrfICl. Of "; tlt ,,',fJn\O"~ i AII~ CIl14BH\'.AIIO C:,'J~n ft\lllo;~l ~t.II\A .1U\. 1) \U oS ~\\ I~~ protection from abuse order, and that the Plaintiff has established this by clear and convincing evidence. I find the Defendant guilty of indirect criminal contampt and sentence him to the Cumberland County Prison for not less than 15 day nor more than 6 months. Sentence to date from today. The reason for the minimal sentence at this time is that no injuries were received by the Plaintiff as a result of being struck by the Defendant, and also this is the first time that the Defendant has been in court on this particular order. Upon serving the 15 days in prison the Defendant may be released without further order of this court, and upon release he shall in the future comply with all instructions and directions as set forth in the above protection from abuse order dated March 14th, 1994. By the Court, \_V._C-j 1 L ~{l Date 1! C~ (C: ~\i Ha 0 d E. Sheely, P.J. Travis N. Gery, Esquire Assistant District Attorney William G. Braught, Esquire Assistant Public Defender CCP mal AFFIDAVIT RIDER CONTAINING PROBABLE CAUSE FOR THE ISSUANCE OF A WARRANT OF ARREST FOR Albert R. Wilson Jr 234 r-lIlberrv Ave Carlisle Pa 17013 roB 9-Q-67 On July 17,1994 at 00:51 hrs the Carlisle Police Department recieved a complaint from Stephanie L. Ogden and Scott C.Moss who reported that Albert R. Wilson Jr had struck Moss in the face with his fist and struck Ogden in the chest with his arm. 'Ibis was reported to have occurred in the 100 block of S Hanover St at approx 00:50 hours on July 17,1994. Ogden also reported that a protection from abuse order was violated by Wilson. Protection from Abuse No. 1243 Civil 1994 was on file at the Carlisle Police Station which was issued on 2200 of March 1994 by the Honorable Harold E. Sheely. . That order stated that Albert R. Wilson Jr is enjoined from physically abusing Stephanie L. Ogden or from. placing her in fear of abuse. The defendant was also ordered to refrain from having any contact with Ogden. I feel that this is sufficient information for the issuance of a warrant for the arrest of Albert R. Wilson Jr for Indirect Criminal Contempt for violation ProteCtion from Abuse Order No 1243 Civil 1994 and Simple Assault section 2701 of the Pa Crimes Code. . . Execuled Ihls ..17.th...... day 01 ....July................. 19.~. 7~IA\Ilanl) personallr appeared belore me on ............................... 19...... Ihe AlIlanl above named. who. being duly sworn (alllrmed according 10 law. signed Ihls AlIldavl\ Rider In my presence and deposed and said that the facts set forth therein are true and correct to the best 01 Alllants knowledge, Informallon and belle\. ,..,...;,.,. f tl,......It..\ ISEAL) ,'. ..-....-.. AFFIDAVIT RIDER CONTAINING PROBABLE CAUSE FOR THE ISSUANCE OF A WARRANT OF ARREST FOR Albert R. Wilson Jr 234 r-lIlberrv Ave Carlisle Pa 17013 roB l).-Q-67 On July 17,1994 at 00:51 hrs the Carlisle Police Department recieved a complaint from Stephanie L. Ogden and Scott C.Moss who reported that Albert R. Wilson Jr had struck Moss in the face with his fist and struck Ogden in the chest with his arm. 'Ibis was reported to have occurred in the 100 block of S Hanover St at approx 00:50 hours on July 17,1994. Ogden also reported that a protection from abuse order was violated by Wilson. Protection from Abuse No. 1243 Civil 1994 was on file at the Carlisle Police Station "tlich was issued on 2200 of March 1994 by the Honorable Harold E, Sheely. , That order stated that Albert R. Wilson Jr is enjoined from physically abusing Stephanie L. Ogden or fran. placing her in fear of abuse. The defendant was also ordered to refrain from having any contact with Ogden. I feel that this is sufficient information for the issuance of a warrant for the arrest of Albert R. Wilson Jr for Indirect Criminal Contempt for violation Protection from Abuse Order No 1243 Civil 1994 and Simple Assault section 2701 of the Pa Crimes Code. . . Execuled this ..17.th...... day 01 ....July................. 19.94.. 7 ~~1AlIlantl ' Persooallr appeared belore me on ............................... 19...... the Alllant above named, who, being duly sworn (alllrmed according to law, signed this AlIIdavlt Rider In my presence and deposed and said that the facts set forth therein are true and correcl to the best 01 Alllants knowledge, Information and bellel. '1,.....1..,.. ,. tt,..."".It..\ (SEAL) CRIMINAL COMPLAINT (POLICE) DISTRICT JUSTICE MAGISTERIAL DISTRICT NO,09-2-01 Paula Correal 16 W High St 2nd floor Carlisle Pa 17013 Complaint Number, II Other Participants A 95744 I, Ptlm L Kell BadRe # 4 (Na"'t',~r ....tl1mll) Carlisle Police De rtment ( dtnlifr dc'puTt"'('", (I' "I:("II(r rrpn'.u'''',oJ and /'If,lilkal.ulh./irMllll ) COMMONWEALTH OF PENNSYLVANIA DEFENDANT: VS. r NAME Albert R. Wilson Jr AND 234 MJlberry Ave ADDRESS Carlisle Pa 17013 of RSA. AKA cauc,male,DOB 9-9-67 do hereby state: (I) l3a I accuse the above named defendant. who lives at the address set forth above or. _ 0 I accuse an individual whose name is unknown to me but who is described as .8 ,~ 0 his nickname or popular designation is unknown to me and. therefore. 1 have designated him herein as John 1 Doe; with violating the penal laws of the Commonwealth of Pennsylvania at 100 block of S Hanover St ;; Carlisle Boroul!.h (/'".....I\~IIIC<lISIlI>JMJI"n) ~ ~ in Qmberland County on or about .July 17. q4 At D(ll'iO h,." P.Jrticipants were fifth..rr "wl"parllclpa",_~.pla('tlht'J'''am('j IlC'rr.I1'pt'LlIiI/K 'h., 1Wml" t!faIHIl'I'Jr/t'"da"'): Albert R. Wilson Jr (2) The acts committed by the accused were: @ INDIRECl' CRIMINAL CONTEMPI' The defendant violated the Order issued under the Protection From Abuse Act in No.1243 Civil 1994 on the 22nd day of March 1994, by the Honorable Harold E. Sheely which Order directed the defendant not to put Stephanie L, Ogden in fear of abuse in that the defendant struck her in the chest with his arm. all of which were against the peace and dignity of the Commonwealth of Pennsylvania and contrary to the Act of Assembly. or in violation of :"?:10190;~",':' . and of the Act of Jurie23.197S: PrOtecl:ioniifriinYAliliR@' ( .xcI/on) (SIIb. J<<tlon) or the, -,'. ~."' . '-':"i': ~:~;-,\::'<'-~~-/';,"~ Ordinance of ',". ( Ih"tiNI SlIh. JM~/m' J (3) I ask that a warranl of arrest or a summons be issued and that the accused be required to answer the charges I have made, (4) I verify that the facts sel forth in this complaint arc true and correct to the best of my knowledge or information and belief, This verification is made subject 10 the penalties of Section 4904 of the Crimes Code (18 Pa. C. S, ~ 4904) relating to unsworn falsification to authorities. July 17 ~ '" (Slgnallln',if Cf.JInl'lalnanl) .19~ AND NOW. on this date ') - J 'J. 19 2.Y-. I certify the comp aint has been properly completed and verified. and that there is probable cause for issuance of process..t.2 /? . ~Q._::2_'\LJ - \ .J(}I>;t:;".~.c:-v', (SEAL) (MagiJ/~r1al D/J/rlrl) (IntI/nil AUllm"'.I') AQPC 41 1.86 ORIGINAL.SEE f1EVEf1SE SIDE rOf1 IVAiVEf1 MJD FOOTNOrES .- . . summons served by cerUlled mall. return receIpt requested. F YOU ARE COMMANDED TO APPEAR BEFORE UNDERSIGNED AT: 10A~ 19 on the day of (Signal.,.) (nut) lor a preliminary he.r\ng upon the charges In the above compt.lnt aCCording to Law. If you r.ll to appoar al the lime and place, a. .Ialed above. 0 warrant will be Inued for your a"..t. Oan will be tel at Ihe preliminary hearing, You havQ Ihe light 10 be repr..enled by a lawyer and It you cannot afford 8 lawyer one will be anlgned 10 represenl you. SUIIITIltlll.. IClllrnc,1 IIl1deli\'ercd on Ihe Iby l,f ''J___. ll,A,l[ 1~;~ lIf n If,lAII .-~;-\;~;~ii;'-;:J I 71I1f) 1,tAI ,I ~ ,Tl ilIA I t)l:, llue 1 ';,',Iill"''\';-''::';l;-"I,--- ,. . .' . . . . . . I . . . . . . . [I . J' I'iAt..,I.,.,.....:,T^!. ',t.., I', fI_." I""," ./....':.,...",..... w! IA " GLENN R. 'AJUml DISTRICT JUSTICE DISTRICT 09-3-04 5002 LEIlDIl 8T. HKClWIICSlUlG. PA. 17055 '*' (!!l1l1tUlllltlurulth llf tJrl1nDylutlnta NAN I TITLI "DDIU.. a Ju,uaDICTION 0' laSUING AUTHm",. COUNTY OF CUHBEllLAND VS. Date: JULY 17. 1994 DEFIND"Nr;, ".."'t' .."', ""J.J'r\\. Charges:PBOTBCTION noM ABUSE Alllan!: 5.000.00 Bail: PTLH. L. XELL r ALBERT R. WILSON JR. 234 KULBBIl1lY AVE. CARLISLE. PA. 17013 w/H DOB 9-9-67 -, Initiating Number Docket Number COMMITMENT To any Constable, Police Ofllcer of the above named County of Ihe Commonweal1h or to the Keeper of the Common Jail, GREETING ~. You are hereby commanded to forthwl1h convey and deliver into the custody 01 the Keeper of the Common Jail the above named defendant and the said Keeper is required to receive the defendant into your cuslody to be safely kept by you unlll discharged by due course 01 law or for: o ~ o o A period of days, Fine & Costs $ A hearing at 9:00A M., on JULY 18. A further hearing The next term 01 court. Bail $ Other Witness my hand and seal ,1994 $L:Y{:(~~ ISSUing Authorl1y RELEASE OF PRISONER FOR HEARING To the Keeper of the Common Jail of the above named County: You are hereby commanded to release to Ollicer the body of the above.named defendant who \',as commited for a hearing to be held on Witness my hand and seal, this day of 19 Issuing Authority U'_~""".,_'" ,l',-'-. RECOMMITMENT To any Constable, Police Olllcer of the above named County of the Commonwealth or to the Keeper 01 the Common Jail, GREETING: You are hereby commanded to forthwith convey and deliver Into the custody of the said Keeper of the Common Jail the above named defendant and the said Keeper is required to receive the defendant Into your custody and to be safely kept by you until discharged by due course of law of lor: Witness my hand and seal o A period of days, Fine & Costs $ o A hearing at M,. on o A further hearing o The next term of court. Bail $ o Other This day of ,19_. ,19 Issuing Authority DISCHARGE To the Keeper of the Common Jail of the above named County: Discharge out of your custody the body of rhe above.named Defendant. It detained for no other cause than thai mentioned in the orlgln81 commitment or other detainer 01 record. And, lor so dOing this shall be your sulllclent warrant, hereby certily, that this case has not been relll/ned to Court, Reason for discharge: Wilness my hand and seal, this day of 19_, . ",,. '. ,,~?~~~~.~~;, ~: '.;.-~/ '''OS.lS Issuing Authority DEFENDANT PHONE /I 1I0ME WORK PUULIC DEFENDER / PRIVATE OTNO IIIDDLIIEIl TOWNIH" IILYIll _INO TOWNIH" I\AIII'IIIII T_IP OLENN R. FARNER DISTRICT JUSTICE OF THE PEACE DISTRICT J. 4 1001 LINKE" IT"UT IIlCHANlCIlIUIlCI, PI\, .7Dn O'flCI 7....110 7.101211 HEARING OR TRIAL NOTICE TO DEFENDANT: UATE JULY 17. 1994 TIME DEFENDANT ADVISED/ARRAIGNED 5:30 A.M. ~OHMONWEALTH OF PENNSYLVANIA va. ALBERT R. WILSON JR, WILL BE HELD ON TilE : 18 DAY OF JULY ,19 94, AT THE OFFFICE OF tsmJl~~KUU JUDGE SHEELY LOCATED AT COURTHOUSE. CARLISLE. PA. AND YOU ARE REQUIRED TO IlE THERE AT 9:00 A,M. O'CLOCK. , DISTRICT 09-3 ON TillS DATE. I ALBERT R. WILSON JR. IN THE CASE OF TilE COMMONWEALTH OF PENNSYLVANIA VB ALBERT R. WILSON JR. , APPEARED BEFORE TilE DISTRICT JUSTICE WlIOSE SIGNATURE APPEARS ABOVE AND WAS ADVISED OF THE CIIARGES OF PROTECTION FROM ABUSE ~, PENDING AGAINST ME. AND OF MY RIGIIT TO BAIL, OF TilE NATURE OF BAIL. AND HOW I MAY SECURE BAIL. AND IIAVE BEEN GIVEN AN OPPORTUNITY TO DO 'SO: I HAVE BEEN TOLD OF MY RIGIIT TO HAVE MY ATTORNEY OR TO APPLY TO THE COURT FOR A LAWYER IF I CANNOT AFFORD MY OWN: I HAVE BEEN TOLD OF MY RIGHT '1'0 A PRELIMINARY HEARING (IN COURT CASES) AND MY RIGIIT TO WAIVE THE HEARING. AND TO MY RIGHT '1'0 TRIAL (IN SUMHARY CASES), IF I DESIRE ONE BEFORE TilE ISSUING AUTHORITY NAMED ON THE COMPLAINT/WARRANT. /I 1 ~ Ii av ~N""_ n.. I ~~ANT' S S:tGNATURE ~ WITNESS: ,ADDRESS .. ~ 3 COPIES (DISTR.) ORIGINAL TO INITIAL ISSUING AUTHORITY W/WARRANT OR COMPLAINT DUPLICATE TO DEFENDANT TRIPLICATE COPY OF ARRAIGNING DISTRICT JUSTICE AFFIDAVIT RIDER CONTAINING PROBABLE CAUSE FOR THE ISSUANCE OF A WARRANT OF ARREST FOR Albert R. Wilson Jr 234 tiJlberrv Ave Carlisle Pa 17013 roB Q-Q-67 On July 17,1994 at 00:51 hrs the Carlisle Police Department recieved a complaint from Stephanie L. Ogden and Scott C.Moss who reported that Albert R. Wilson Jr had struck Moss in the face with his fist and struck Ogden in the chest with his arm. 'Ibis was reported to have occurred in the 100 block of S Hanover St at approx 00:50 hours on July 17,1994. Ogden also reported that a protection from abuse order was violated by Wilson. Protection from Abuse No. 1243 Civil 1994 was on file at the Carlisle Police Station which was issued on 2200 of March 1994 by the Honorable Harold E. Sheely. , That order stated that Albert R. Wilson Jr is enjoined from physically abusing Stephanie 1. Ogden or from placing her in fear of abuse. The defendant was also ordered to refrain from having any contact with Ogden. I feel that this is sufficient information for the issuance of a warrant for the arrest of Albert R. Wilson Jr for Indirect Criminal COntempt for violation Protection from Abuse Order No 1243 Civil 1994 and Simple Assault section 2701 of the Pa Crimes Code. .. Execuled this ..l7.th...... day 01 ....July................. 19.94.. 7~tAlIIant) personallr appeared before me on ...............2..-:::/...'1. 191.'1. the AlIIanl above named. who, being duly sworn (alllrmed accord~n to law, S.lgned this AlIIdavll Rider In my presence and deposed and said that the facts set forth therein are t~~ y; correct to je best 01 Alllants knowledge. Information and belle\. ..-/f5Jt %v Y\ 0/11fJ?A. ISEAL) O......i.... ,..........11.,\ SIlElUFF'S RE'I'UHN CCMolONWEI\L'I1I OF PENNSYLVANIA, COUI'1l'Y OF ClMBEHLAND In The Court of Common Pleas of Cumberland County, Pennsylvania No. 1243 Civil Term 1994 Temporary Protective Order Protection From Abuse and Notice and Petition for Protective Order Stephanie L. Ogden VS Albert R. Wilson, Jr. Harry King , Sll>>lfXNX~r Deputy Shcriff of Cunberland County, Pennsylvania. who being duly sworn according to law, says, Temporary Protective Order Protection From Abuse that he served the within Notice and Petition for Protective Order upon Albert R. Wilson. Jr. , the defcndant, at 3:20 o'clock P.M. EST / EIIlXK,X on the 14 day of March . 19~at 234 E. Mulberry Ave., Carlisle , Cunberland County. Pcnnsylvania, by handing to Albert R. Wilson, Jr. Temporary Protective Order Protection from Abuse a truc and attested copy of theNotice and Petition for Protective Order, and at the same time directing his attcntion to the contents thcreof and the "Notice to Plead" endorsed thereon. Sheriff's Costs: Docketing Scrv ice Affidavit Surcharge 14.00 2.80 2.00 18.80 SO ~W;.?I ~L r~~1-::g~ R. Thana) Kline, ~~ 7---- -r Sheriff J, / , Sworn and subscribed to before me this J. I Ar day of ""'''-<<1'-'''' 19 H A.D. C)~L~ Q. TYui~""', ~iii ' Prothonotary '. , . Stephanie L. Ogden, Plaintiff : IN THE COURT OF COMMON PLEAS OF . . . . CUMBERLAND COUNTY, PENNSYLVANIA . . : CIVIL ACTION - LAW VS. : : NO. 1243 CIVIL 1994 : Albert R. Wilson, Jr., Defendant : PROTECTION FROM ABUSE . . AND NOW, PROTECTIVE ORDER thi s L L ~_. day of March, 1994, upon consideration of the Consent Agreement of the parties, the following Order is entered: 1. The defendant, Albert R. Wilson, is enjoined from physically abusing the plaintiff, Stephanie L. Ogden, or from placing her in fear of abuse, 2. The defendant, Albert R, Wilson, Jr" is hereby excluded from the premises located at 250 Walnut Street, Carlisle, Pennsylvania. The defendant is hereby notified that if he resides in the plaintiff's domicile contrary to this Order, he may be in indirect criminal contempt which is punishable by a fine not to exceed $1,000 and/or by a sentence of up to six months in jail and any other appropriate punishment. Resumption of co-residence on the part of the plaintiff and defendant shall not nullify the provisions of the court order directing the defendant to refrain from abusing the plaintiff. 3. The defendant, Albert R. Wilson, Jr" is ordered to stay away from any residence the plaintiff may establish for herself in the future. 4, The defendant is ordered to refrain from having any contact with the plaintiff including, but not limited to, . . , . . entering the plaintiff's place of employment. 5. The defendant is ordered to refrain from stalking the plaintiff and from harassing the plaintiff or her relatives. 6. The dsfendant is ordered to refrain from destroying or damaging any property owned by the plaintiff or any property owned jointly by the parties. 7, This Order shall remain in effect for a period of on. year. 8. The Carlisle Police Departmsnt will be provided with a copy of this Order by attorneys for plaintiff. This Order shall be enforced by any law enforcement agency when a violation occurs by arrest for indirect criminal contempt. The arrest may be without warrant upon probable cause that this Order has been violated, whether or not the violation is committed in the presence of the police officer. In the event that an arrest is made under this section, the defendant shall be taken without unnecessary delay before the court that issued the Order. When that court is unavailable, the defendant shall be taken before the appropriate district justice. (23 P.S. Section 8113). By the Court, \ (:<"A.'~ Haro d E. SheelY, / . . . , , stephanie L. Ogden, Plaintiff : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA . . : : CIVIL ACTION - LAW vs. : : NO. 1243 CIVIL 1994 . . Albert R. Wilson, Jr., Defendant : PROTECTION FROM ABUSE : CONSENT AGREEMENT This Agreement is entered on this .),1. f)~ day of March, 1994, by the plaintiff, Stephanie L. Ogden, and the defendant, Albert R. Wilson, Jr,. The plaintiff is represented by Joan Carey of Legal Services, Inc.; the defendant is represented by Wayne F. Shade. The parties agree that the following may be entered as an Order of Court. 1. The defendant, Albert R, Wilson, Jr" agrees to refrain from abusing the plaintiff, Stephanie L. Ogden, or from placing her in fear of abuse. 2. The defendant agrees to refrain from having any contact with the plaintiff, including but not limited to, entering the plaintiff's place of employment. 3. The defendant agrees not to stalk the plaintiff or harass the plaintiff or her relatives, 4. The defendant agrees to stay away from the residence located at 250 Walnut Street, Carlisle, Pennsylvania. 5, The defendant agrees to stay away from any residence the plaintiff may establish for herself in the future. 6. The defendant agrees to refrain from destroying or damaging any property owned by the plaintiff or any property own jointly by the parties, year, 7. The defendant, although entering into this Agreement, does not admit the allegations made in the Petition. 8. The defendant understands that the Protective Order entered in this matter shall be in effect for a period of one 9. The defendant understands that this Order will be enforceable in the same manner as the Court's prior Temporary Protective Order entered in this case. WHEREFORE, the parties request that the Order(s) of Court be entered to reflect the above terms. , ~ ~(d/JU_' . (feu ~Stephanie L~ g~ Plaiiiiiff ~vt /l- ;}I~~ (j1:. Albert R. Wilson, Jr. Defendant -~ t~r~' Attorney for Plaintiff LEGAL SERVICES, INC. 8 Irvine Row Carlisle, PA 17013 (717) 243-9400 DrlU ~ Wayn F. Shade Attorney for Defendant 5 S. Hanover Street Carlisle, PA 17013 (717) 243-0220 .' -..11 \", ! {:, l',(.H<', (~. .1 , -!\) ..;, .~. i~ ;.(\ '("1 l,,' ".1/,' ~. ~,~'Lf >:t'- ".)k r<t:';,:; UOi]t,! ( '':i :10 . .~~ ',,' . ,.J I., ~1 U;, :1' " y. E .at M ~ ~ ~?: ....~~f w('>-_. q_c;..1~ '~-c.:.r-t .""g~J:"J "I;:.f.... . ......., vl ,~ ~J.... ""_\';"1"::,: .-2 tlJ~:;h'l ....~~:i."'t. :'> '-Q <0' ~. If . <~. '. l,' . ~ I f !-. ,,- i t, .;; ,~ t~; ,. i, . I' ,." ! ~ if d, r~(; ~ ,~, ( " ~ I t.~ '_~i..~(i . ","-r ", , \_.'i .... , '. if: ;l!"''7jL j '. . L ':, ;.'~ " '. r ~l' f '; . ~ ,-. . ;.o\! J i , '" r-. . . .1' ~; ., '-. I ( , d.: ; , -I i 'j~. ; '~l ~l '1 ~. .. . .}L '., c' 'i' ,'? ,,\, '){'".;I. , . _, l ~ "';"bl. stephanie L. Ogden, Plaintiff IN TIll OOURT OP COMIION PLIAS OP . . CUIBllBLAID COUNTY, PKHNSYLVANIA . . : CIVIL ACTION - LAW Y. NO. /J43 CIVIL 1994 Albert R. Wilson, Jr. Defendant PROTICTION PJlOIIl ABUSE . . TKIIPORARY PROTECTIVE ORDER AND NOW, this ~ day of March, 1994, upon presentation and consideration of the within Petition, and upon finding that the plaintiff, Stephanie L, Ogden, now residing at 250 Walnut Street, Carlisle, Cu.berland County, Pennsylvania, is in im.ediate and present danger of abuse from the defendant, Albert R, Wilson, Jr" the following Temporary Order is entered. The defendant, Albert R, Wilson, Jr" now residing at 234 E. Mulberry Avenue, Carlisle, Cumberland County, Pennsylvania, is hereby enjoined from physically abusing the plaintiff, Stephanie L, Ogden, or placing her in fear of abuse and is ordered to stay away from the residence located at 250 Walnut Street, Carlisle, Cu.berland County, Pennsylvania, a residence which is not owned or leased by the defendant, The defendant is hereby notified that if he resides in the plaintiff's domicile contrary to this Order, he may be in indirect cri.inal contempt which is punishable by a fine not to exceed $1,000,00 and/or by a sentence of up to six months in jail and any other appropriate punishment. Resumption of co-residence on the part of the plaintiff and the defendant shall not nullify the provisions of the court order directing the defendant to refrain from abusing the plaintiff. The defendant is ordered to refrain from having any contact with the plaintiff including, but not limited to, restraining the defendant from entering the plaintiff's place of employ.ent, from stalking the plaintiff, or from harassing the plaintiff, or her relatives, The defendant is ordered to refrain fros daaagin, or destroying any property owned by the plaintiff or any property owned jointl, by the parties. This Order shall resain in effect until a final order is entered in this A hearing shall be held on this satter on the ~daY of March, at J : IItJ j/J,.. in Courtroos No.L, Cusberland County case, 1994, Courthouse, Carlisle, Pennsylvania. The plaintiff may proceed in !2raA DauDeris pending a further order after the hearing, The CUmberland County Sheriff'S office shall attempt to .ake service at the plaintiff's request, but service .ay be accoaplished under any applicable rule of Civil Procedure, The Carlisle Police Department will be provided with a copy of this Order by attorneys for plaintiff. This Order shall be enforced by any law enforcement agency when a violation occurs by arrest for indirect cri.inal contempt, The arrest may be without warrant upon probable cause that this Order has been violated, whether or not the violation is cosmitted in the presence of the police officer. In the event that an arrest ia aade under this section, the defendant ahall be taken without unnecessary delay before the court that issued the Order, When that court is unavailable, the defendant shall be arraigned before the appropriate district justice. (23 Pa,C,S.A. Section 6113), By the Court, II--~I E fl.~/~~ ' J. ~ Stephanie L. Olden, Plaintiff IN TIll COOBT 01' ~ PLIAS 01' . . . . CUJlBIlBLAtlD COUNTY, PBNNSYLVANIA CIVIL ACTION - LAW . . Y. : NO. CIVIL 1994 . . Albert R. Wilson, Jr., Defendant . . PBOTICTION I'IIOM ABUSI NOTICE You have been sued in court. If you wish to defend against the clai.s set forth in the following pages, you must take action pro.ptly after this Petition, Order and Notice are served, by appearing personally or by attorney at the hearing scheduled by the Court and presenting to the Court your defenses or objections to the claims set forth against you, You are warned that if you fail to do so the Court may proceed without you, and a judgment may be entered against you by the Court without further notice for an, money claimed in the Petition or for any other claim or relief requested by the plaintiff, You may lose .oney or property or other rights i.portant to you. YOU SHOULD TAlE TIllS PAPER TO YOUR LAWYER AT ONCE. II' YOO 00 lOT HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELKPIIONE THE OFFICE SIT FORTH BELOW TO FIND OUT 1IHERE YOU CAN GET LEGAL HELP. COURT ADMINISTRATOR, 4TH FLOOR CUMBERLAND COUNTY COURTHOUSE CARLISLE, PKNNSYLVANIA 17013 TELEPHONE NUMBER: (717) 240-6200 Stephanie L. Ogden, Plaintiff IN TIll COURT OF COI8ION PLEAS OF ctlMBIKLAlm OOUJTY, PlllNBYLVAHIA : CIVIL ACTION - LA' . . Y. : NO. CIVIL 1994 Albert B. 'ilson, Jr., Defendant I PROTECTION PII(J( AIllSB PlTITIOII POR PROTECTIVE IlRIWR AND CUSTODY RELIEF UNDER THE PROTECTION FROM ABUSE ACT, 23 Pa, C.S,A, Section 6101 et, sea. A. ABUSE 1. The plaintiff is an adult individual whose permanent address is 250 Walnut Street, Carlisle, Cumberland County, Pennsylvania, 17013, 2, The defendant is an adult individual residing at 234 E. Mulberry Avenue, Carlisle, Cusberland County, Pennsylvania, 17013. 3. The defendant has had an intimate relationship with the plaintiff. 4, Since approximately 1989, the defendant has attempted to cause and has intentionally, knowingly, or recklessly caused bodily injury to the plaintiff and by physical senace has placed the plaintiff in fear of i..inent serious bodily injury, This has included but is not limited to the following specific instances of abuse: a, On or about March 8, 1994, the defendant grabbed the plaintiff by her throat with one hand and pushed her in the chest with his other hand. The plaintiff struggled free and ran to a door, When she was attempting to unlock the door, the defendant grabbed her fros behind encircling her upper body with both his arms, The plaintiff broke free frOB his grip and opened the door, The defendant ran up behind her and forcefully pushed her with both hands on her back causing her to fall to the floor and hit her chin, When the plaintiff rolled over to get up, the defendant pinned her to the floor by kneeling on her chest with his knee and putting his hand around her throat pushing on her throat with all his weight. When the plaintiff frantically struggled free and ran to her car, the defendant followed her, Before she could sl.. the car door shut, the defendant reached in and grabbed her by the throat. The plaintiff honked the car horn so someone would help her and the defendant released his grip, snatched her wallet and ran back into the house. The plaintiff drove away and reported the incident to the Carlisle Police Depart.ent, b, On or about February 21, 1994, the defendant grabbed the plaintiff's shoulders, pulled her toward hi., and dragged her through the mud, As the plaintiff was trying to get away, the defendant threw her to the ground until a friend intervened. The defendant started fighting with the friend who told hi. to leave the premises, Approximately a half-hour later, the defendant called the plaintiff and harassed her. c, On or about January 3, 1994, when the plaintiff tried to leave the residence, the defendant repeatedly blocked her escape by physically restraining her and pushing her back into the house. The defendant pushed her down onto a couch, sat on her, held her arms and legs so she was unable to move, While he was sitting on her, he grabbed her by the throat, choked her, and screamed at her, When the plaintiff finally agreed not to leave the residence, the defendant released his hold on her, d, Since approximately 1989, the defendant has on several different occasions shoved the plaintiff, slapped her, pulled her hair, kicked her, bent her fingers backwards, and smashed her hands in doors. 6, The plaintiff believes and therefore avers that she will be in im.ediate and present danger of abuse from the defendant and that she is in need of protection from such abuse, ,.. :'.... 6, The plaintiff desires that the defendant be ordered to refrain from having any contact with her including, but not limited to, entering her place of employment, from stalking the plaintiff, and Crom harassing the plaintiff, or hev relatives. 7, The plaintifC desires that the defendant be ordered to reCrain from destroying or damaging any property owned by her or any property owned Jointly by the parties. B. IlICLUSIVE I'OSSE9810N 8. The home which the plaintifC is asking the Court to order the defendant to stay away from is rented in the naaes of Linda Ogden and Dennis Rickard, and the deCendant has never resided there. 9, The deCendant has his own residence located at 234 E. Mulberry Avenue, Carlisle, Pennsylvania. C. ATI'ORNEY FDS 10. The plaintiCC asks that the defendant be ordered to pay reasonable attorney fees pursuant to the Protection Crom Abuse Act, D. STATUS TO PIlOCUD IN FORMA PAUPERIS 11, The defendant is unemployed. 12. The plaintiCf is employed at Kay Bee Toy Store and has a weekly gross salary of approximately $192.00. 13. The plaintiCf does not have funds available to pay the fees for Ciling and service, WHEREFORE, pursuant to the provisions of the "Protection from Abuse Aot" of October 7, 1976, 23 Pa,C,S.A, Section 6101 et ~., as aaended, the plaintiff prays this Honorable Court to grant the Collowing relieC: A, Grant a Temporary Order pursuant to the "Protection Cram Abuse Act": 1, Requiring the deCendant to reCrain from abusing the plaintiCC or placing her in Cear of abuse. 2, Requiring the defendant to refrain from having any contact with the plaintiff including, but not limited to, restraining the defendant from entering the plaintiff'a place oC e.ploy.ent, fros stalking the plaintifC, and fro. harasaing the plaintiff, or her relatives, 3. Ordering the deCendant to stay away fros the residence located at 250 Walnut Street, Carlisle, Pennsylvania, which the parties have never shared. 4, Ordering the defendant to stay away from any residence the plaintiCC may in the future establish for herselC. 5. Ordering the defendant to refrain fros destroying or daaagin. any property owned by the plaintifC or any property owned jointly by the parties. 8, Schedule a hearing in accordance with the provisions of the "Protection frOB Abuse Act," and, after such hearing, enter an order to be in effect Cor a period of one year: 1. Requiring the defendant to refrain CraB abusing the plaintiff or placing her in Cear of abuse, 2, Requiring the defendant to reCrain Crom having any contact with the plaintifC including, but not li.ited to, restraining the deCendant Cram entering the plaintiff'a place of e.ploy.ent, Crom stalking the plaintifC, and fros harassing the plaintiff, or her relatives. 3, Ordering the defendant to stay away from the residence located at 250 Walnut Street, Carlisle, Pennsylvania, which the parties have never shared, 4, Ordering the defendant to atay away from any residence the plaintiCf may in the future establish for herself. 5, Ordering the defendant to reCrain Crom destroying or damaging ,'.. any property owned by the plaintiff or any property owned jointly by the parties. 6, Ordering the defendant to psy reasonable attorney fees. The plaintiff further asks that this Petition be filed and served without payment of costs, psnding a further order at the hearing, and that a copy of this Petition and Order be delivered to the Carlisle Police Depart.ent as the Police Department with jurisdiction to enforce this Order. The plaintiff prays for such other relief as may be just and proper. Respectfully sub.itted, J~' -Carey Attorney for Plain iff LEGAL SERVICES, IHC, 8 Irvine Row Carlisle, PA 17013 (717) 243-9400 The above-na.ed plaintiff, Stephanie L, Ogden, verifies that the stateaents aade in the above Petition are true and correct, The plaintiff understands that false stateaents herein are aade subject to the penalties of 18 Pa, C. S, Section 4904 relating to unsworn falsification to authorities. Date: \.fYla/lLh I \ l.~rlLj ~(tp{(af'l~dac)( ) tephanie L, Ogde, lai tift j ~ -=. """, -.." I~ ~.= . - ., o o ~ ~ .r o ,---., = ..r ::;= , 'i' , . SURETY. BONDSMAN, REALTY BAlL BOND CER11FICATlON OF BAIL AND DISCHARGE OTN CClMMQtMU.LTlt va (~"""IIId~' A1b0rt ~11~on Jr. 23/1 E...:,t Nu1berry 4venuc C...r1i~1 P0nra Ivnntn 17013 o ROR lno surety) 0 Nominal Bail Bail total amount sellf S oue. OC [ia Condlf.ions 01 R.... laside 110m IppIIIIng II au1 when reqIiIod:) TO APPEAR AS DIRECTED TO ALL COURTS, AND KEEP THE PEACE (attach addendum,ll nece"""ry) SEClHTY OR SURETY tF ANY, o Surely Company IXk Prolesslonal Bondsman o Really o Other .lJOGE OR ISSUWO AUlttQRTy GLENN R. FARNER, DISTRICT JUSTICE APPEARANCE OR BAIL BOND THIS BOND IS VAWD FOR THE ENl1RE PROCEEDINGS AND UNl1L FUll AND FINAL DISPOSIl10N OF THE CASE INCLUD. ING FINAL DISPOSIl10N OF ANY PETl110N FOR WRIT OF CERTIORARI OR APPEAL l1MELY FILED IN THE SUPREME COURT OF THE UNITED STATES, ........ .~ Y" \ ,-.). 1 ,,' ,t APPUCABLE PORTION OF REVERSE SIDE MU . BE COMPLETED f'OUC( CASe NO OJ NO CP TERM & NO ClWUtSI DATE OF owmt81 JULY 18 1994 PROTECTION FROM ABUSE DAlE N<<> T1ME NEXT COURT AC110N LDCAllON JULY 18 TO: 94 9:00AM n Detention Center JUDGE SHEELY o Other I hereby certify that sufficient ball has been entered o By lhe defendant Gik01 beha" 01 the defendant by. JAMES C. COSTOPOLOS CARLISLE. PA, ,NIma IS ~ 01 &.nlfVJ fLJc:wae M1} . Relund 01 cosh bail will be made wilhln 20 days alter final dlsposillon.IPaRCr.P, 4015(b)) . Refund 01 all olher types 01 beil will be made promptly alter 20 days following final disposition,IPa.RCr.P, 40151a)) . Bring Cash Ball Receipt to Clerk of Court. OISCIlARGE TIlE ABOVE,NAMED ~FENDANT FRDM CUSTODY IF ~TAlNED FOR NO OTllER CAUSE TIlAN TIlE ABOVE STATED. Given under my hand and lhe Otlicial Seal ollhis Court, this ~ OOYi ~ /- I ~-1^" J ~/ f 01 Calf a Is5cq AuCtIO'JIYI (SEALI ,199/f 's, are jointly and severally bound 10 pay 10 Ihe dollars ($ ), CE --- "11/ S 1-5/-l/L F / L E J) 5tfoULD U.J / 77-f hell andl I old asl i BE PiE C / ill L - ('19JJ::: , jJdiJ Dato ...__. __ __..__".. ""'0.#"". BY THE APPROVED AGENT I ACKNOWlEDGE THAT I AM LEGAllY RESPONSISLE FOR THE FUll AMOUNT OF THE BAIl.. Tho following acknovofedgomenf is also app/ic:lble if Potcentage Cash Bail is usod, THIS BOND StGNED ON .1UL -; 17 "t MECHAlHC:!lBURG. 19~ PENNSYLVANIA t bfolore me IhlS ~ JULY .19~ 'I -; .- LL~I?~ fC"" d Cu.l (J' lo.....M'1g A..nhlY'~} . k1 case 01 cotpOmto slICtr ball, Powct uI Attorney must be a1tixed to bond Of otherwrse bond IS IfMJIKt Applicable Only When Surely Is A Corporation) , Surety. nd 00 I",lhe' CllUlll" Indemn~y is 10 be given the said Surely excepl ..e lhan lhirty day~ Irom lhe dalo ollhe entry 01 such ,......., (SEALI 01 SUe/y IMay BondstllM, Ba~ Afl""CY, or plMlle indlVid. Mimlionl. EIfCcp/ when ctelendnn/ IS mIoosod a1 his own . . (fl()Ill, lhis musl be Signed rn all b.'IiI Situations, including Ib.1il. A()()ftL~",flf ~'Hl IY :..."tL IY COM'''NY Ofl Qlf[NU,Af.T s.,.....v Nu (. ,t(l\~...nJI Ornd5".", L.-:.-t.Yl">(>'~ " hptf3/ul UlII' ORIGINAL . In "'= 01 Percentage Cash &il or NomI/lOI &J/, Power 01 Attorney is not requited. A{'lf'C.. 14 ~1:' (SEAL I (SEAL I (SEAL) STEPHANIE L, OGDEN, Plaintiff V. IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA 1243 CIVIL 1994 CHARGE: INDIRECT CRIMINAL ATTEMPT ALBERT R. WILSON, JR., Defendant ORDER OF COURT AND NOW, this ..j1l/day of ({11(HI<,.r , 1994 in j' consideration of the attached Commonwealth's Petition, the defendant, Albert R. Wilson, Jr" is directed to appear before the Court on the /r;,.ti day of0//hlld' , 19~4 at/::;?I ..P.m. ,j' I in Courtroom # ~ of the Cumberland County Courthouse, Carlisle, Pennsylvania, to show cause why the defendant should not be adjudicated in indirect criminal contempt of Court. Defendant has a right to be represented by an attorney. If defendant cannot afford an attorney, one will be assigned to represent the defendant. Further, if defendant fails to appear an arrest warrant will be issued. By the Court, 1~ Thomas A, Placey Assistant District Attorney Wayne F, Shade Attorney for Defendant ') /iL~r~ 1) 3Af , ". f' " ,~ " ,; r. ,1 .::; I '. 1;..., ..__..........,....... -- ~UG 3 \I 51 ~~ '9~ , JffICf. Qf 1",': I "., ~O!l~1 An r,Ul'titL~!lC C';l.!tl1 POlh;,t...,^!I\A STEPHANIE L, OGDEN, Plaintiff : IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA 1243 CIVIL 1994 CHARGE: INDIRECT CRIMINAL ATTEMPT V, ALBERT R. WILSON, JR" Defendant COMMONWEALTH'S PETITION FOR A HEARING ON CHARGES OF INDIRECT CRIMINAL CONTEMPT Thomas A. Placey, Assistant District Attorney, files the following petition for a hearing on charges of indirect criminal contempt against Albert R. Wilson, Jr" as follows: 1, A Protection From Abuse order was entered in by the Honorable Harold E. Sheely on March 22, 1994. A certified copy of the Court Order is attached as exhibit 1. 2. Defendant's violation of this Order is averred in the attached criminal complaint, Attached as exhibit 2. 3, The police, upon contact by the victim, ascertained her immediate safety, and were not able to locate the defendant in the vicinity, 4, The victim has requested the filing of charges on indirect criminal contempt. 5. The Commonwealth is requesting a hearing on the charges of indirect criminal contempt pursuant to 23 Pa,C.S.A, Section 6113. WHEREFORE, the Commonwealth requests a hearing on the charge of indirect criminal contempt of the Protection From Abuse Order. Re:~ec.tfullY' SUbmltte~ // \~ / // Thoml~'A, !"J.ac:ey A"ir\Diotrict Attor,ney Stephanie L. Ogden, Plaintiff : IN THE COURT OF COMMON PLEAS OF : : CUMBERLAND COUNTY, PENNSYLVANI~ : . : CIVIL ACTION - LAW vs. : : NO. 1243 CIVIL 1994 : Albert R. Wilson, Jr., Defendant : PROTECTION FROM ABUSE : AND NOW, this PROTECTIVE ORDER ~ . ~ .:t day of March, 1994, upon consideration of the Consent Agreement of the parties, the following Order is entered: 1. The defendant, Albert R. Wilson, is enjoined from physically abusing the plaintiff, Stephanie L. Ogden, or from placing her in fear of abuse. Z. The defendant, Albert R. Wilson, Jr., is hereby excluded from the premises located at 250 Walnut Street, Carlisle, Pennsylvania. The defendant is hereby notified that if he resides in 'the ~laintiff's do~~cile contrary to thi~ ~rder, he may be in indirect priminal contempt which is punishable by a ,-' -. -'- .,.- f '~:':f . . --:. t., fine not to exceed $1,000 and/or by a sentence of up to six months in jail and any other appropriate punishment. Resumption of co-residence on the part of the plaintiff and defendant shall not. nullify the provisions of the court order directing the defendant to refrain from abusing the plaintiff. '. 3, The defendant, Albert R. Wilson, Jr., is ordered to stay away from any residence the plaintiff may establish for herself in the future, 4. The defendant is ordered to refrain from having any contact with the plaintiff including, but not limited to, c;_~ktbJ i .... ," <-......-....... +-- en ng . ----_.. - - ..... oyment. 5. The defendant is ordered to refrain from stalking the plaintiff and from ~arassing the plaintiff or her relatives. ~ 6. The defendant is ordered to refrain from destroying or damaging any property owned by the plaintiff or any property owned jointly by the parties. 7. This Order shall remain in effect for a period of one year. 8. The Carlisle Pol ice. Department will be provided with a copy of this Order by attorneys for plaintiff. This Order shall be enforced by any law enforcement agency when a violation occurs by arrest for indirect criminal contempt. The arrest may be without warrant upon probable cause that this Order has been viola"ted,;;~hether or not the violation is c~~ittedin the presence of the police officer. In the event that an arrest is made und~r this sehtion, the defendant shall be taken without unnec~~~,a~~,d~l,a~~b~~~~re ,~~he,. cou~~ that i ssue,d t.he_'..~~der. When that court isunllvai.lable;., the d~fendant shall be taken before . .' .......:. ;.: ,'" t... .~. . .~:';.,;:r-I'.:~.. ~:,:..,.:.::;:?, -:., :- .,-:: ' the appropriate 'district justice. (23 P.S. Section 6113). .:.. :""':'';' By the Court, : ...- '. ~.: ',.. .., .., " .s/<<~C':' ~ Harold E. SheelY,. .J. <'. - TRUE COpy FROM RECORD In T/iS!lmony whereot: I hare unto set' hand ;md :l1e s'~, r.1 ~~:.i :"."., ' . .,... I myp ... 'umQ' .,.... ~. :"'II'~'" " . .. " GllGI . .. ...- .-..n;, Q. 0//1.. _';:~i u. ~ 111 'If honat.uy - :1" .- Stephanie L. Ogden, : IN THE COURT OF COMMON PLEAS OF Plaintiff : : CUMBERLAND COUNTY, PENNSYLVANIA . . : CIVIL ACTION - LAW . . vs. : . NO. 1243 CIVIL 1994 . : Albert R. Wilson, Jr. , . PROTECTION FROM ABUSE . Defendant : CONSENT AGREEMENT "..~ This Agreement is entered on this C:?,;} day of March, 1994, by the plaintiff, stephanie L. Ogden, and the defendant, Albert R. Wilson, Jr.. The plaintiff is represented by Joan Carey of Legal Services, Inc.; the defendant is represented by Wayne F. Shade. The parties agree that the following may be entered as an Order of Court. 1. The defendant, Albert R. Wilson, Jr., agrees to refrain from abusing the plaintiff, Stephanie L. Ogden, or from placing her in fear of abuse. 2. The defendant agrees to refrain from having any contact :."! ..... .'f..' . with the plaintiff;.including but not limited to, entering the ":'.;.-'.'-:.l" . plai.ntiff's place of employment.'. ... -... 3. The defendant agrees not to stalk the plaintiff or harass the plaintiff or her relatives. 4. The defendant agrees to stay away from the residence located at 250 Walnut Street, Carlisle, Pennsylvania. , 5. The detendant agrees to stay away from any residence the plaintiff may establish for herself in the future. S, The defendant agrees to refrain from destroying or damaging any property owned by the plaintiff or any property own jointly by the parties. ." . - 7. The defendant, although entering into this Agreement, does not admit the allegations made in the Petition. 8. The defendant understands that the Protective Order entered in this matter shall be in effect for a period of one year. 9. The defendant understands that this Order will be enforceable in the same manner as the Court's prior Temporary Protective Order entered in this case. WHEREFORE, the parties ,.request that the Order(s) of Court be entered to reflect the' above terms. ~(tVJ~..u ~Stephanie L. gde Plaintiff ~~ !;,s!~. ~. Defendant ' ~r~' Attorney for Plaintiff LEGAL'SERVICES, INC. 8 Irvine Row Carlisle; PA 17013 (717) 243-9400 #~~ Wayn F. Shade . Attorney for Defendant 6 S. Hanover- Street. . Carlisle, PA 17013 (717) 243-0220 .......,i~/':. :;:.~r:.(. > . " .~ .. " . CIlIMINAL COMPLAINT (POLICE) OUllI!A 09-2-01 DISTRICT JUSTICE MAGISTERIAL DISTRICT NO, Paula P. correal 16 Hest High St 2 00, Floor Carlisle, Pa. 17013 Complnl,;'"Numborllf"Olhcr Participants A Gtl'(f/?. COMMONWEALTH OF PENNSYLVANIA DEFENDANT VS. r Ptlm, Raynllnd W, Anderson (Smlll'o/Am"",} of North Middleton Twp,Pd. ( M,'I/IU-" JC'f'cJrt"'c''''lIr ~j:I'mT h'rn.'WIII,'1! dlld 1'"1111t'1l1.\ 'j/tt/imi, 'n I NAME ANO ADDRESS Albert R, Wilson Jr. 234 East Mulberry Ave., Carlisle, Pa, 17013 I, Badge #3 ASA AKA W/M/23 ooB 9/9/69 do hereby slate: (I) !iI I accuse lhe ablwe named defendmll. who lives al Ihe address S~I forthaho\"C or. _ 0 luccuse un individuul whose lHllne is unknown 10 me hUI who IS deserlhed as ~ .a o his nicknume or popular designalion is unknown 10 me and, Iherefore, I have desi.gnated hi~l herein as fohn Doc: with viohlling the penal laws of Ihe Commonwealth of I'ennsyh'ania al Harrisburg Pike, Carltsle,Pa, N h M'ddl 1'\ I/Y.co'./WtlC.'SlIbJ/,'/J!<III) nrt I etotl '/P unbe I d 71'') 194 ?100 in C r an County on or about ~__ at Participants were (t'-"tf'fl' ~'rll' ""'/(/1'(1111\_ plllfc',he'iT m,,"c', hm', 0'''('1'';''1: ,h(' IIilll/c,,,t llbt.m'J.'jiollJ/IIII): Albert R. lo/Ilson Jr. f"A\ I d' t C I' I Co t (2) The acls eommilted by the accused were: \:;,I n Irec r mlna ntemp The defendant violated the Order Issued under the Protection From Abuse Act in No. 1243 on ~larch 22, 1994, By Honorable Harold E, Sheely, IVhich Order directed defendant not to: he is not to harass Stephanie L, Ogden, In that the defendant did harass Stephanie L. Ogden by driving on the right side of her vehicle on the Harrisburg Pike which is two lanes one North and one South, she loIas traveling North and he tr ied to force her into the South bound land when other vehicle were traveling South.He then cut right in front of her and slammed on his brakes trying to get her to hit his vehicle, He then drove North and was turning right on to Post Rd. he again slammed on his brakes trying to get her to hit him in the rear end, Vehicle Code Section 3736 Reckless Driving Albert R. lo/ilson Jr. did drive in a reckless manor and tried to force another vehicle into the opposite lane of traffic when their was other vehicles comming in that lane. He also slammed on his brakes trying to get another vehicle to hit his vehicle in the rear end. all of which were against Ihe peace and dignity of the Commonweallh of Pennsylvania and contrary to the Act of Assembly. or in violation of 10190 and of the Ael of .1Im.. ?~I lQ7R Prn,.,.,.Hnn lO'r,.." Al.II11" (St'C,irmj (SlIhoWfIiOl.) ~ . .. c ~ ~ i5 - or Ihe Ordinance of (""ltlflJIS"h.Jlrbltlll) (3) I ask Ihat a warranl of arresl or u summons he issued and Ihal Ihe accused be required 10 answer the charges I huve made. (4) I verify Ihat the facts set fOrlh in Ihis eomplailll ure true und eorreCI to Ihe hest of my knowledge or informulion and belief. This verifiealion is made suhject to the penulties of Section 4904 of the Crimes Code (18 Pa. C. S, ~ 4904) relating to unsworn fulsifieulion to aUlhorilies. 20 July -:/ /~-=-- /.- ,''''' -:;:;:.:.--. ~/ .~ "" ." ..----... '.....c:.---:c:-- -- / ~.~ - /.. ~':'----- - --- .; -- ...- -...., ~ - (SiR"alll1'l'flJ ("umpllli"a", J , 19 94 AND NOW, on Ihis date , 19 _' I certify Ihe complailll hus been properly compleled and verified, und thai lhere is probable cause for issuunce of process. (.\tat:i.\ll'rill/ (JMrktJ (SEAL) AOPC 411.86 f't-tubJ- .2- tl.HIlIn,:Alltlmrll.l') u.~ < OZ ~ (J)e( ..,. 0:: M U5~ en 0 I- Z ... en ~ co. ~~ ~ ...J> ... , :II: ... o.(J) 0:: Z W I:z < Z ..J ~ 0 I- Zz <:J - .... -~z I-OWZ Ow > :c . 1-00 ::Eo. UU(J)< .... I- Z - u -0:J> ::E . u ..J 0 1-11I o~ < III WW..J a:zo>! uz l"l W . ..J co.tIl< In:5:I:(J) u.:J ..,. :II > .... 0:: Z - I-Z 00 N Z :II 11I<_ Oa:a:Z ... 0 - :C:ll: WW:JW I-U :II: :CU_ :I:lDOo. a:0 :II: 0:: I- 0:: I-:::E U . :JZ 0 ..Jzu u.:J W 0:5 u I- <0 OU iil Ua: 0:: w I- wu. :J W :lltIlU Ww co zzw uO a: :I:lD ..J 0-0:: ii: < I-:::E < :11:0::- u. U Z:J :II:<C 0 -U OWZ U:C_ STEPHANIE L. OGDEN, Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTV, PENNSVLVANIA . . . . . . V. . . . . ALBERT R. WILSON, JR. CIVIL ACTION - LAW Defendant NO. 94-1243 CIVIL TERM IN RE: INDIRECT CRIMINAL CONTEMPT ORDER OF COURT AND NOW, this 16th day of August, 1994, the Defendant appeared in court today represented by Allen Welch, Esquire, Private Counsel. He was here today on an allegation that he violated a protection from abuse order on July 12th, 1994. I previously heard another case that happened after this alleged incident, and I sentenced the Defendant on that to fifteen days in jail. Since his release on that charge there have been no further problems between the parties. The agreement today is to continue this case for a period of ninety days, and if there are no problems within that period of time, then the petition will be dismissed. I think that's an appropriate resolution, and, therefore, this case is continued for a period of ninety days. If there are no problems between the parties during that period of time, this petition will then be dismissed. If there is another charge brought within the ninety-day period, then we will hear this petition along with any new ,charges that may be filed. ~tf' 1 10 32 Wi '9tI ,If j~j: ',F . ,.,":'.V. "'f:.""f (~-...;.t ~r, :-".~~ ';n' ;'if'f Pd,fl"!' V,~'f ~ By the Court, . "~I: 16>-_-</ ):-~ r -i~I!~L arold E. Sheely, P.J. ~ Thomas A. Placey, Esquire Assistant District Attorney For the Plaintiff Allen C. Welch, Esquire Private Counsel For the Defendant :lfh .;~ ~'1 ~ a- 1 .l .J '\l 11 r-- r ,'. i ,":.;~ JI ~~ .~.i .. '.. I " .. .ct,..".',..".,....,.>.c.' ...._.'''~.,i. .~-. '; ,-,,,,,<.,, ......""".....--~0--.,. -.N;."~"""-' .-..'..,.',...., GLENN R. FARNER DISTRICT JUSTICE OISTRICT 3-4 1002 LENKER ST. IolECHANICSIUR6,'A 17011 -- - ~ -'~ ~,-' -- --- -JIll- - -' ..,.~-' -' _. .. .- - - ---.-. -.' ..---~--- ---'-- () "1-' III:}'!' " L/ CLERK O~CO ~ 1 COURTHO SQUARE 7 . PA. 17013 t70ta-aaas 02 1...111...111"....11..11".11...11...11..1.1.11....,,11,,11.I 0'~'.'_.-.' ._ ,0,."''-',.; ""'''>.... ..~.,>.- >.'.:~~'-'-0-,..-"~,.-c."._.;.,:..'f~;;.,:"'.-. -'-:':"'" .. I"';t;ed-~~ ,.........-