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HomeMy WebLinkAbout94-02184 -0 - o , (.. <I. ~ ~ J j ~ -- CO -' . CRIMINAL COMPLAINT (POLICE) IN PAULA COlUtElIL OlsmlCT ",USTlCE MAGISTERIAL OISmlCT NO. U9-2-01 J. CourrntOUSE SQAIl-\NI~EX CARLISLE, PA IfLi13 INCIDENT N B R 95-10377 I. ~1 SHULEllB~RG~"'_l/lrlll of CARLISLE PuLICE J)ePililTI1Ellff, CAHLlSLE, PA ( IJtntlfJ' Jtptlrt",flll or DJ,:rn()' n'pn-J.c,.tltt'll mill palltlnll."lhJ/l'uiflll ) COMMONWEALTH OF PENNSYLVANIA DEFENDANT: VS. ~~~E r SEAN .NEVI~ ARNOLD..., \~ 'F1acl-~acQ ADDRESS ~ ~. ,^,-d\. p,,- no.r R S A 1'1I11/27 OOB: 10-:12-67 ' A K A SStl: 190-52-1573 do hereby stute: F(IA~ (~) IiU luccuse the IIbove nllmed defendllnt. who lives ut the address set forth ubove or. .-;'jJ1 . A... -- I.A ~ 0 IlIccuse ~dividual whose nume is unknown to me but who is described us '''""'''''- 1?Jr=\E ., ~ i 0 his nicknamrr~hlft:i:!:;~t ~ll n~t~ Jler~r~. f~ de1g!ted ~e~,; John I Jr ~ Doe: with violating the penalluws of the ComJl111nweullh of Pennsylvani:\ ut 17 r(jhl/~?I;',r,lr~\'6d/I~t,~'rI~11= .P/~ ~ ~ in CIIMBEnLN"D County on or about l)7-n7-QC; liT IlWIIIT (lllnn HflIIRc.: ~ Participants were (iftllm' ,,'('n' fWrticif'dllu.l'll/c(" ,ltt'j, IlIlIIIl'S ht'fl', noprll,i,,): lhl' IWlllt'flruhfll'C' JI:/imJa"'); (2) The acts com milled by the accused were: 0 INDlllECT CRHmV'l CotITEl1'T '\ lil THAT "IHE DEFENlJAllb DID VIOLATE A PRO'iECTlON FH0I1 ABUSE ODER, 9lf-2U~4, THAT liAS SIGNED OIl i'!oVErIDEll 2." 19911 BY THi: HOIlORABLE JUDGE J. IIESLEY OLER, In,, IN THAT ''-HE lJEFEtlliYH DID ENTER THE RESIDENCE AT 17 tj. EAST ST. IN VIOLATION OF PARAGHAPH II OF TIiE PI-A. THE DEFEIlDAfH \/AS t1Et1OVED BY CAHLlSLE PULICE AT ABOUT 0428 HOUllS \!lTIiOUT THE POLICE BEING ADVISED OF 'lliE ACTIVE PFIl" THE DEFEf;DAfH REGi\INED EfnllY TO 17 r:, EAST ST. AT ABOUT 1030 HOURS rum t\GAIN PAS HEf!OVED ny CAALlSLE POLICE \'/I"1110UT THE POLICE BEING ADVISED OF THE AcnVE PFA. THE VICTIH, TRUDY I''K)()I:E, I\DVISED CArlLISLE PuLICE AT 1205 HOURS TH{IT THEflE liAS Ill< ACTIVE PFA AND k CUFiPLiIINT ~IAS FILLED OIlT AT THAT nf1E, all of which were ugainst the peuce and dignity of the Commonwcalth of I'ennsylvuniu und contrary to the Act of Assembly. or in villlution of and of the Act of (.\"1...,/1111) (.\'lIb-.\('ft/m,) or the Ordinance of (I\I/ilinll.';lIb.llil"MfllI) (J) I ask that u wurranl of arrest ur II summons be issued and that thc ueellsed be required 10 unswer the charges I huve made, (4) I verify that the facts sel forth in this complainl ure trlle und correct to the hest of my knowledge or information und belief. This verificution is made subject to Ihe penaltics oy.Jcction 49114 of the Crimes Code (18 I'u. C. S, ~ 4904) reluting 10 unsworn fulsificution 10 uUlhorilies, ~ ~ .F/f JULY 7 . 1995 ~, . ,,' . AND NOW. on Ihis date . 19 _' I certify the cOl11pluinl has he en properly completed und verified, and thut therc is prohuble calise fur issuance of process, (SEAL) (,'fa~IItI',,.,1 /)iWlll/ (/\\Ij/II\:,lutlmrlll) AOPC411.t\h laiftr;,7:!'..;A'I;;M>Ymt__ TRUDE D. MOORE, Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO. 94- () I 8'/ CIVIL TERM vs. PROTECTION FROM ABUSE SEAN N. ARNOLD, Defendant TEMPORARY PROTECTIVE ORDER AND NOW, this 2.'- .fi.day of April, 1994, upon presentation and consideration of the within Petition, and upon finding that the plaintiff, TRUDE D. MOORE, now residing at 17 North East Street, Carlisle, Cumberland County, Pennsylvania, is in immediate and present danger of abuse from the defendant, SEAN N. ARNOLD, the following Temporary Order is entered. The defendant, SEAN N. ARNOLD, now residing at an unknown location, is hereby enjoined from physically abusing the plaintiff, TRUDE D. MOORE, or placing her in fear of abuse. The defendant is ordered to refrain from harassing or stalking the plaintiff, and from harassing the plaintiff's relatives. This Order shall remain in effect until a final order is entered in this case. A hearing shall be held on this matter on the "tt.. day of '7YJ:L1- Courtroom No. .~, Cumberland , 1994, at J:t1n ~.m. in , County Courthouse, Carlisle, Pennsylvania. The plaintiff may proceed in forma pauperis pending a further order after the hearing. 1I;Tj"';::~ ::;:.;'"'~< ,,,.;.;_,., The Cumberland County Sheriff's office shall attempt to make service at the plaintiff's request, but service may be accomplished 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 where a violation occurs by arrest for indirect criminal contempt 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 Pa.C.S.A. Section 6113). By the Court, -v. /) I U / ," / ' . c..~ 1.- of. () \ ,.I J. TRUDE D. MOORE, Plaintiff : IN THE COURT OF COMMON PLEAS OF . . CUMBERLAND COUNTY, PENNSYLVANIA NO. 94- .ur<! CIVIL TERM vs. . . PROTECTION FROM ABUSE SEAN N. ARNOLD, Defendant . . . . NOTICE You have been sued in court. If you wish to defend against the claims set forth in the following pages, you must take action promptly 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 any money claimed in the Petition or for any other claim or relief requested by the plaintiff. You may lose money or property or other rights important to you. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP. COURT ADMINISTRATOR, 4th FLOOR CUMBERLAND COUNTY COURTHOUSE CARLISLE, PENNSYLVANIA 17013 TELEPHONE NUMBER: (717) 240-6200 TRUDE D. MOORE, Plaintiff : IN THE COURT OF COMMON PLEAS OF . . CUMBERLAND COUNTY, PENNSYLVANIA : : NO. 94- ~/ry CIVIL TERM vs. . . : PROTECTION FROM ABUSE SEAN N. ARNOLD, Defendant PETITION FOR PROTECTIVE ORDER RELIEF UNDER THE PROTECTION FROM ABUSE ACT 23 P.S. SECTION 6101 A. ABUSE 1. The plaintiff is an adult individual whose permanent address is 17 North East street, Carlisle, Cumberland County, Pennsylvania, 17013. 2. The defendant is an adult individual residing at an unknown location. 3. The defendant is the plaintiff's son. 4. Since approximately 1992, the defendant has attempted to cause and has intentionally, knowingly, or recklessly,caused bodily injury to the plaintiff, and by physical menace has placed the plaintiff in fear of imminent serious bodily injury. This has included but is not limited to the following specific instances of abuse: a. In or around March 30, 1994, the defendant kicked the door to the plaintiff's room open and screamed at her, causing her to fear for her safety because of past physical assaults to her. The defendant then tore the stereo from the entertainment ""~--' center, threw speakers against the wall, pushed the coffee table over, all while screaming at the plaintiff that he hated her and threatening her saying she was lucky he was in control of himself or he would kill her. The plaintiff contacted the police who stayed with her until a friend came and picked up the defendant. b. In or around October 1992, the defendant pointed a loaded shotgun at the plaintiff and fired. Fortunately, the gun jammed and the defendant threw the gun down. c. The defendant abuses the plaintiff in ways including, but are not limited to the fOllowing: choking, punching, slapping, and pUlling the plaintiff's hair. The defendant has been in prison for assaulting his sister in November 1993. 5. The plaintiff believes and therefore avers that she will be in immediate 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 restrained from harassing or stalking the plaintiff, and from harassing the plaintiff's relatives. B. STATUS TO PROCEED IN FORMA PAUPERIS 8. The defendant is unemployed. 9. The plaintiff currently is employed at Ponderosa and receives approximatley $569.00 per month. 10. The plaintiff does not have funds available to pay the fees for filing and service. WHEREFORE, pursuant to the provisions of the "Protection .. ,- _t> '~.." r'. -- ,~, ..', _'_ 0_..".. ....,. ~. from Abuse Act" of October 7,1976, 23 P.S. Section 6101 et ~., as amended, the plaintiff prays this Honorable Court to grant the following relief: A. Grant a Temporary Order pursuant to the "Protection from Abuse Act:" 1. Requiring the defendant to refrain from abusing the plaintiff or placing her in fear of abuse. 2. Requiring the defendant to refrain from harassing or stalking the plaintiff, and from harassing the plaintiff's relatives. B. Schedule a hearing in accordance with the provisions of the "Protection from Abuse Act," and, after such hearing, enter an order to be in effect for a period of one year: 1. Requiring the defendant to refrain from abusing the plaintiff or placing her in fear of abuse. 2. Requiring the defendant to refrain from harassing or stalking the plaintiff, and from harassing the plaintiff's relatives. The plaintiff further asks that this Petition be filed and served without payment of costs, pending a further order at the hearing, and that a copy of this Petition and Order be delivered to the Carlisle Police Department as the Police Department with jurisdiction to enforce this Order. '!"'t,' ".-".-' ',~ --"-''-''''''~'''- ....' r. -- ' ,-~.,..-. ,.--~ ,<, ~"". ";".:"1 The plaintiff prays for such other relief as may be just and proper. Respectfully submitted, ~~? o n carey Attorney for Plaintiff LEGAL SERVICES, INC. a Irvine Row Carlisle, PA 17013 (717) 243-9400 The above-named Plaintiff, TRUDE D. MOORE, verifies that the statements made in the above Petition are true and correct. Plaintiff understands that false statements herein are made subject to the penalties of 18 Pa. c.s. 54904, relatinq to unsworn falsification to authorities. Date: 1,1; J-/ 9r/ \iu, / L d, 7/U<lV./ Trude D. Moore, Plaintiff " "...;~';~ :',,~r:w~~"'''~'''''~:'7'1f~j'~r';~i~~~~t~~~B'2~':;:~t:,'{.: I r~' ,t,q TRUDE MOORE,.. r, ./ , : IN THE COURT OF COMMON PLEAS OF Plaintiff . . CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW . . VS. : NO. 94-2184 CIVIL TERM SEAN N. ARNOLD, . . Defendant : PROTECTION FROM ABUSE AND CUSTODY ORDER FOR CONTINUANCE AND NOW, this ~ day of May, 1994, upon consideration of the attached Motion for continuance, the hearing scheduled for May 6, 1994, in Courtroom No. 5 of the Cumberland county Courthouse, carlisle, Pennsylvania has been generally continued. The Temporary Protective Order of April 26, 1994, remains in effect pending further order of Court. This order is entered without prejudice to either party to request a hearing if the agreement cannot be finalized. By the Court, J "::J" <:n >- .. ,,'l- ~ 1._- ~'- "'" -,,-: CJ c'1 '- " -( , , "'"' , . .~ ',\ - -' TRUDE MOORE" -" . : IN THE COURT OF COMMON PLEAS OF Plaintiff . . VS. CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW NO. 94-2184 CIVIL TERM SEAN N. ARNOLD, Defendant : PROTECTION FROM ABUSE AND CUSTODY MOTION FOR CONTINUANCE The plaintiff, by and through her attorney, Joan carey of Legal Services, Inc. states the following: 1. On the 26th day of April, 1994, the plaintiff filed a Protection From Abuse action and the court entered a Temporary Protective Order and scheduled a hearing for the 6th day of May, 1994. 2. Legal Services has been in contact with the defendant who is not contesting the matter and wishes to execute a Consent Agreement making a hearing unnecessary at this time. 3. The plaintiff and defendant are in the process of finalizing the terms of the agreement and signing the agreement, but the defendant has asked Legal Services for additional time beyond the hearing date of May 6, 1994, to complete this process. 4. The plaintiff is not opposed to a continuance of the hearing if the Temporary Protective Order remains in effect pending further Oruer of Court after receipt of the signed Consent Agreement. .....'-'--......,-,.,-', - . WH5REF~~E, the plaintiff requests that an Order for continuance be entered and that pending further Order of Court the Temporary Protective Order remain in effect. Respectfully submitted, .hM t;., ~6/ JoV' Carey t ,Attorney for plaintiff LEGAL SERVICES, INC. a Irvine Row Carlisle PA 17013 (717) 243-9400 \~~~h;, " r, -.<for',.- ',1,' ~ ~ ;J~\~jk.. " iff);; ,,' ~.'- -< '> . -'.i; ,,:<-! , ,~~ , , < ,':.::~~~ ,~.> ,:.;~,~'\<<':~" @ , ",' ,,,.i~ " ~~~}:~c :f~~,' , · ~~~iN""'~' '~'~r-~"'~~ ~ -~~~~~"';F~~:~:~~";;t~~;t_~~:;~~~~~~;:;~~~,;' r: ;' T \~' , ',- ., '-... " ~ 1 , , " I I, I . .\ i " \ \ ,~ 1 , \ . \ \ I . TRUDE D. MOORE, Plaintiff , : IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO. 94-2184 CIVIL TERM PROTECTION FROM ABUSE vs. SEAN N. ARNOLD, Defendant AND NOW, this PROTECTIVE ORDER ~day of November, 1994, upon consideration of the Consent Agreement of the parties, the following Order is entered: 1. The defendant, SEAN ARNOLD, is enjoined from physically abusing the plaintiff, TRUDE D. MOORE, or from placing her in fear of abuse. 2. The defendant, SEAN ARNOLD, is enjoined from harassing or stalking the plaintiff, and from harassing the plaintiff's relatives. 3. The defendant, SEAN ARNOLD, is ordered to leave the residence located at 17 North East street, Carlisle, Pennsylvania, by November 31, 1994, and is excluded from the residence thereafter. 4. The defendant, SEAN ARNOLD, is ordered to stay away from any residence the plaintiff may establish for herself in the future. 5. This Order shall remain in effect for a period of one year. 6. The Carlisle Police Department will be provided with a ..,J.,:,..~ Nav 29 II ~2 MI'9~ . I' ')t F'~f ~F ". ..lvli:'T,\hY CU"i,.:,. ,r CC';HTY l~r ~:j:': ~.t..:;!. . copy of this Order by attorneys for plaintiff and may enforce this Order by arrest for indirect criminal contempt 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 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 PS Section 6113). By the Court ./.-) J ,~..~.,,,,,,;<;-...,-~t .' TRUDE D. MOORE, Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO. 94-2184 CIVIL TERM vs. PROTECTION FROM ABUSE SEAN N. ARNOLD, Defendant CONSENT AGREEMENT This Agreement is entered on this ,;I8t" day of November, 1994, by the Plaintiff, TRUDE D. MOORE, and the defendant, SEAN ARNOLD. The plaintiff is represented by Joan Carey, of Legal Services, Inc.; the defendant is unrepresented but is aware of his right to have an attorney. The parties agree that the following may be entered as an Order of Court. 1. The defendant, SEAN ARNOLD, agrees to refrain from abusing the plaintiff, TRUDE D. MOORE, or from placing her in fear of abuse. 2. The defendant agrees not to harass or stalk the plaintiff or harass the plaintiff's relatives. 3. The defendant agrees to leave the residence located at 17 North East Street, Carlisle, Pennsylvania, by November 31, 1994. 4. The defendant agrees to stay away from the plaintiff's residence located at 17 North East Street, Carlisle, and from any residence the plaintiff may establish for herself in the future. 5. The defendant, although entering into this Agreement, does not admit the allegations made in this Petition. .- '. '. .-,.t~i~'J"j~ . ". 6. The defendant understands that the Protective Order entered in this matter shall be in effect for a period of one year. 7. 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 an Order of Court be entered to reflect the above terms. .;t J 1/1.. tl /JUJtIlL Trude D. Moore, Plaintiff OBn Carey Attorney for aintiff LEGAL SERVICES, INC. 8 Irvine Row Carlisle, PA 17013 (717) 243-9400 "~ t--.-,,_- :'~i.ii~!i,l '. , ,,,j.....: "~f ',:..,~.: <';',:,'. ;:,; >.J "-{'~1- - '-9i?; .'-J:i_ :-,"-, '" ,", ',"rc_ (~~: ':t;,' ,<f!." j .;1), <:.,}~~ :r '_:;-~ .~:';l ~ . ,\:1";'(:;: ,o,'--:.<t: : f.' i ;,<?;.+'-;.. ''''~~ ,i;~i ~ 1 .' ,.>t:. 'j-,~.'.1:f'~:tf "AY!~. 'l~_ ,.:.~ ._Jl~ . " '.~ -;-j~:-:.::,- ;:: ,-, -'.- ":"_:"':""i~~,;t;~<- ,,'\'1;.,; C.i .".... .~'~'~i.!il'G-.~ f\":t . ',!t,~'. "-"'~.-1lii'-,\'" ,c:n -~.;;-;j r -~..- . '~fi ,G_.O.. W", ~.'..~'-~ ~~,! t,)h g/~(: :.~:.;.,~ /.'J'.'~ ~- '.n) c;~, (t\ <,' ~ r' ';")1\:;';) ~ .. "...., _I .' ~ 'ri+ '... {d-" i' ..;} .:.,,'Y lJ>~ _ . " .:1: 7~ .<> 0:;:,.,. L ','t:.: '~::;; d~J ~ -O~.... 'W . . "T;:S: <t..:. 'Ij: 'm ,:',' ,(~ "~',~:~,:.. .<', f~ ~, :; <~ --'~ . 'i:i; - c., ,,~i;;: ..... H .. 1 -;, . to'S ~-:i ~ -'-i"-~-.~): . ":,',:,. r .,\ '. ',,.. ',>,:~;,:~{::~~ ,,;~:: :)~~~< ';e~~+'\'~);t-, " "':-,r, ""',,' 'i, , ..-1, '. ...... r,~ '~'\~'IS:'f , , ;.{.;~:i"~, " .~. -;5~ : ,t.:- ,--'1-~' -: '~;i;lf. - ,./>,' >~, .';r\). . . ,1 ~n-.' ::-:' ~~-, :":""'. .;'" .' ,',,;' ""L ~ " o f"""'~(. ~",~,~,,",",~~~"',,:-'>"7'''"''''-''' , .~:'i:?; :~ " "". '.',~-,"-"i.' '''-'-~-'--,; .. !:'J',3lr,t'fl .,."...,;;y'."..,....' "'~~"r-",:'" .- . ~>, "_f~''c:,'' - - '",,~- -~,,, "^':~rr~~,:;~ ~ ~~:~~~~.~~,~sl~~:.;.,~t~~.~f_~'~,~.1~1,.;;.:f r~',T I CASH OR NOMINAL BAIL BOND CERTIFICATION OF BAil AND DISCHARGE UJ NO CJ' ""MINO 94-2184 Civil Term COM~()UWlAWt v:. fOtllurllWlf ~ '"' Mnul DAlE Of CIIAROEISI Sean Nevin Arnold 106 Fleetwood Ave. Hechanicsbur ~ U1ROR (no surety) D Nomirnll Bail D BOIl (Iotat amount 501. il any) $ D Cond,hOIlS 01 Re~a.. laside hom aweallnv at COUIt when reQUlfod.) Comply with existing PFA Order. Stay away from 17 N. East St., Carlisle, PA Contempt (Violation of Protection from Abuse Order) NE XT COURT ACTION DAII: ANO TIMr. 7 TO, Friday 30 P.H XilDetention Center lOCATION C.R. tt5 umbo Co. Courthouse DOfher I heroby corlity that sulliclent bail has been entered liilBy lhe dofond.,nt D On behalf 01 the delendanl by: lallnch a_ndum,1I oocessarYI SECUnlTY OR SURETY (IF ANYI D Cash In lull amount 01 bail D Percentage cash bail D Money lurnished by D Defendanf D 31d Party JUDGE OR 5SlmO AUHfOAfTY Hon. J. Wesley Oler, Jr. ROR INJme & Adi'ou uI SIIfJfr) flblnle NoI . Relund 01 cash ball will be modo within 20 days oller llnnl disposition. IPe.RCr.P.40 151b) I . Rolund 01 all olher Iypes 01 bail will be meda promptly oller 20 days loIlowing linot disposition. (Pe.R.Cr.P.4015(0)) . Bring Cash Ball Receipt 10 Clerk of Courl. APPEARANCE OR BAil BOND IJISCHARGE THE ADOVE.NAMED DEFENDANT FRDM CUSTODY IF DETAINED FOR NO DlHER CAUSE THAN THE ABOVE STATED. G""lIl undor my hand and the Otlicial Seal 01 this Courl. THIS BOND IS VALID FOR THE ENTIRE PROCEEDINGS AND UNTIL FULL AND FINAL DISPOSITION OF THE CASE INCLUDING FINAL DISPOSITION OF ANY PETITION FOR WRIT OF CERTIORARI OR APPEAL TIMELY FILED IN THE SUPREME COURT OF THE UNITED STATES. this. 7th day ot Julv ,19ft. (SEAL) Prothonotar WE. THE UNDERSIGNED. defendant and surety. our succossors. hoirs and assigns. are jointly and soverally bound to pay to the Commonwealth 01 Pennsyfvonia tho sum 01 ROR dolla.. ($ ). SEE REVERSE SIDE FOR BAil CONDITIONS ~ :e. ; (j l~h'..1 J ICId. d ,t 01' ~ ~ttw>nI'J D t TO BE USED ONLY FOR PERCENTAGE CASH BAil: The undersigned aboul to become Surety in lhe case citro herein, being duly swam (or affirnll.~). deposes and snys: 1. I reside at and my occupation is my phone number is nnd I work lor 2, I have no undisposed of crimi",-11 cases against me pending In the Courts of lhe aforesaid County, except as follows: 3. I am nol Surely on any bond 01 any kind except as follows: DAT[ AMOUNT DEFENDANT 4, I have ctltcfully read the foregoing nlhdavlt and know il Is true nnd correct. I ACKNOWLEDGE THAT I AM lEGAllY RESPONSIBLE FOR THE FUll AMOUI\lT OF THE BAIL. , The to/lowing acknowledgement IS also app/lC<Jble h ~~~ " PercB1l/ago Cash Ball IS used X /.Zr _ __ ?: ~ THIS BOND SIGNED oN_My.....1...... 19..9.L 5K.NMfJf"",i Of f\ NUAN......T ' at _ CaJ;:,lisle, PENNSYLVANIA. Signed and acknowledged belore me Ihis 7th day 01 Julv l' .'~ .....'J. ->'~:l... LL. O.....tLr:u~ 'CItJI".JIcCJUtOl'~J- Deputy Prothonotary ISEAL) ISEAL) . 19.2.L.. S~tml 0/ Suoty (May be Bondsman, Ba,' Agency. Of private individual 01 organizatIOn). ExcC(Jt when dofendant IS released on his own rocogniZOflCO (RORI. this must be signed in all bail SItuationS, /fICludmg nominal ba,l. . ~ ~. /2r>- t;:"..~.f&/,jgl1 L/t..,. ~ Jo.i.t,~ ABrnirSS or SUR , LTV C tl N f[ '7.r. ; ~ / r(......,,;.-_. S&rnty No or ~ ~ lICense No & E~1OI1 D.Mr AOPC 41J.6<' ORIGINAL ..' TRUDB D. MOORE, I IN 'l'HE COURT OP COMMON PLEAS OP Plaintiff I CUMBERLAND COUN'l'Y, PENNSYLVANIA I v. I NO. 94-2184 CIVIL TERM I SEAN N. ARNOLD, I Defendant PROTECTION PROM ABUSB IN RE I CON'l'INUANlJ!i: ORDER OP COURT AND NOW, this 14th day of July, 1995, upon consideration of the complaint for indirect criminal contempt in the above-captioned matter, and the Defendant, Sean N. Arnold, now appearing in Court with the Public Defender, Ellen K. Barry, Bsquire, and the Commonwealth, in the person of Thomas A. Placey, Esquire, having indicated that it would have no objection to a continuance of this matter for a period of ninety days and to an automatic dismissal of the charge at the end of said period if there have been no further alleged violations of the Order, and the Defendant through counsel having agreed that in the event that there is an additional alleged violation of the Order during that period this matter may be tried notwithstanding the continuance granted herein, the case is continued for a period of ninety days pursuant to an agreement of counsel, end the complaint shall be deemed automatically dismissed, and the Defendant discharged, if during the said period of ninety days there is no further alleged violation of the Order and if the Defendant remains on good behavior during such period. ~,-,..--- JULIO II:u MI'95 , ~1f fief: Of 7 .' ,,~~;.:~, ('l''''-. ;'~.";~' ':r'" ',lY I't ,,"';',', . .,'A . .. " << . . '. . ,. , , ... ... '~:~;~,~7~\':r:r~~~ fc',,' ............".., , ; ,"",' '.',~ . --,. .' . ~ . . By the Court, Thomas A. Placey, Esquire Assistant District Attorney Bllen X. Barry, Esquire First Assistant Public Defender ('~~ '1 II 'lI1t'JS"' ~f--- "".r. Islr v. IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA 94-2184 CIVIL TERM COMMONWEALTH SEAN NEVIN ARNOLD INDIRECT CRIMINAL CONTEMPT IN ~E: TRIAL DATE SET ORDER OF COURT AND NOW, this 7th day of July, 1995, the Defendant, Sean Nevin Arnold, now appearing in court on a charge of Indirect Criminal Contempt with the Public Defender, Ellen K. Barry, Esquire, trial in this matter is set for Friday, July 14, 1995, at 1:30 p.m. The Defendant is present in court at the time that this order is entered, and no further notice of the trial date will be supplied to him. By the Court, Thomas A. Placey, Esquire Assistant District Attorney Ellen K. Barry, Esquire First Assistant Public Defender . ~(.....~(t 'l{~ /9.....: .~. -{l. lt I"L II I I ~l - ," ~ :;01 nlJ ..Jt' /' It. Iii; ~;.: ,.." ,'..," . ,...,.--..., COMMONWEALTH : IN THE COURT OF COMMON PLEAS OF 4 ~s ~~ERLAND COUNTY, PENNSYLVANIA : 94-2184 CIVIL TERM ,.1 ('. ; , I~PIRECT CRIMINAL CONTEMPT JUl 21 v. SEAN NEVIN ARNOLD " i.;j IN RE: DEFENDANT IS RELEASED ON R.O.R. BAIL ORDER OF COURT AND NOW, this 7th day of July, 1995, the Defendant, Sean Nevin Arnold, now appearing in court with the Public Defender, Ellen K. Barry, Esquire, as a result of an arrest for Indirect criminal Contempt in the above-captioned matter, and the Commonwealth in the person of Thomas A. Placey, Esquira, having indicated that it has no objection to the Defendant's release on his own recognizance pending the trial in this matter, it is ordered and directed that the Defendant be released on his own recognizance conditioned upon his executing the necessary bail document and conditioned upon his complying with the existing Protection from Abuse Order including the provision requiring that he stay away from the premises at 17 North East Street, Carlisle, Cumberland, County, Pennsylvania. By the Court, / / , J Thomas A. Placey, Esquire Assistant District Attorney Ellen K. Barry, Esquire First Assistant Public Defender lt 1'1-.J../&-L1 c. T. CRIMINAL COMPLAINT (POLICE) Complaint Numb... II Oth.r Participant. PAULII COrUlEJIl OISTRICT JUSTICE MAGISTERIAL DISTRICT NO. 09-2-01 1 CoUrmtOUSE SQ.t/I:\NI~EX CAHLISLE, Pf\ lIll13 A41318 9S-10rTl I, m.1 SHYlEllBIOIlG9*1JmB,i1/1 of CAl~LISLE PULICE IlEpi~m1Ei'ff, CAllllSLE, PA ( /Je'nt(/), dl'f'df'IIIC'tlI or <<lKt'''C)' n'(ln'.JC'IIIt'C/ alld pfI/Jtlful.UlhJM.\I"") COMMONWEALTH OF PENNSYLVANIA DEFENDANT: VS. NAME r~ NeVIN ARNOLD AND .. EAsT ST17 . ADDRESS LISLE, PA 013 RS.A. AKA Il/W27 OOB: 10:-12-67 SSN: lro-S2-1573 do hereby state: (~)~ ,g .!< .~ ~ ~ ~ is ~ I accuse the above named defendant. who lives at the address set forth ahove or. I accuse an individual whose nllme is unknown to me but who is described liS o his nicknllme or populllr designlltion is unknown to mc lind, thcrcfore, I hllvc designatcd him herein as John Doe: with violating the penllllllws of thc Commonwcnlth of I'ennsylvnnia at -1ZJ) EA'1,i ST 6d ~~ISI E ,PI-' Plurv. n ltIeal Si, ii' Jlon in C1114l31';11Lllf.ln County on or IIbout n7-n7-Q, ('T AMI IT Illlm Part ici pan ts were (ift/lton' M't'fI' f'drtirif'dIllJ. plan' ,"('/r nam('.\ lu'n', n'pc'Uti"s: ti'l' "Ulllt' f!f a~m' Jt/t'"Jam): Ilnll~l.; (2) The acts commilled by the accused were: 0 INDII1J\tT CRII-1IIlJIl CotITFJ1lT ~iiG~\}rf.~:==Al19, Di~I~A~/H~~~~~o~u~~~1J:ne€~L~~E&E~:-~~;' I~~~~AS OlliE IJEFEtIDANT DID ENTEfl THE flESIDENCE ,\T 1/ fL EAST ST. HI VIOLATION OF PARAGrlAPH Lf OF THE PFA. TIlE DEFEtIDAtIT !/AS t1EtlOVED BY CAHLI~LE Pu...ICE AT ABOUT 0428 HOUlIS \!ll1iQUT TtlE POLICE BEING ADVI~~ OF olliE ACTiVE PFP" THE DEFErillANT REGi\lNED ErmtY TO 1/ tL I:.Asr ST. AT {\BOUT lO-'lJ IKJUI1C mJ AGAIN PAS IIEt.lOVED DY CMLI5LE POlICE ImliOUT THE POlICE UEING i\DY!~ED OF iliE AcolIVE PFA. THE VICTI~I, TflUDY t'\iOI:E, f'.DVISED CAllllSLE PllllCE AT uu5 HOUI~S "fHJ\T THEnE liAS Ill. ACTIVE PFA AND A CllI'lPUIIIIT ~/flS FILLED OUT AT THAT TII.IE. all of which were against the peace and dignity of the Commonwealth of Pennsylvanin and eontmry to the Act of Assembly, or in violation of ' ,., . . . , and of the Act of ......",.~,}~:,c:"'...,i\,..",",~".. , ( S<ctlon) (SlIh. Joc'iolf) or thc Ordinance of '.' ... :.~ (3) ( 1'1I!;,lcul Sub. dMJ/on) I nsk that a warrant of arrest or a summons be issucd and that the accused be required to answer the charges I have made. (4) I verify that the facts set forth in this complaint are true and correct to the best of my knowledge or information nnd belief. This verification is made subject to the pennlties of 'ction 4904 of the Crimes Code (18 Pu. C. S. ~ 4904) rclnting to unsworn falsification to authorities. JULY 7 . 19~ ~ -#f AND NOW, on this date . 19 _' I certify the complaint has been properly completed and vcrified, and that there is probable clluse for issuance of proccss. "'C'.'''' ,.,..- '>"'.:.' c._ -:.>-"'f ( Magur"fa' Dutr/r/ ) (llltlingAmlwrlt)') (SEAL) AOPC411.B6 ORIGIN^l.-SFf !TVEI\~.L ~)lul rUi: V.'i\IVtH 1J.r~D IOOlNOlES 1- PI."'E YOU ARE COMMANDED 10 APPEAR BEFORE UNDERSIGNED AT: 100IE ...uuu""........ ."'-.. uJ___"'''t~III''''' .IUIoI", .......u.~....._.,...."''t......,...., on the day or 19 (.\"ig",lII"") (71/1<1 'or . preliminary h..ring upon the chargee In the above COmplaint aceDfdlng to Llw. II you fall to appear at the lime and place. .. ,tated above. . Wlnlnt will be Issued 'Of your .,relL Ball will be HI at the preliminary hearinG. You have the right to be rep'e..nted by . lawyer .nd " you cannot afford. lawyer one wtll be ..-'gned to r.pre.ent you. Summons rcturned undeli.crcd on the day or 19 OATE ISSUED (SEAL) (SiK"IIll"?:J /1)1/1"1 IMG~TERlAl ()(STRJCT ISSUING AU'ttORITV