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HomeMy WebLinkAbout94-02628 t.. ~ $ ] 3 -j ~ ~ ~ 3 // ( ~I ,~ - . ROBERT L WARDECKER, PLAINTIFF IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA V. PAULA E. WARDECKER, DEFENDANT 94-26~8 CIVIL TERM ORDER OF COUBI AND NOW, this 1 st day of June, 1994, following a hearing on the merits, the petition of Robert L Ward ecker, for relief under the Protection from Abuse Act, IS Robert L Ward ecker, pro se 429 Arch St. Carlisle, PA 17013 DENIED. James D. Rower, Jr., Esquire For Defendant :saa , ~. ; . ROBERT L WARDECKER, PLAINTIFF IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA V. PAULA E. WARDECKER, DEFENDANT ql.j . J~! CIVIL TERM ORDER OF COURT AND NOW, this -.c... day of May, 1994, hearing on the Protection from Abuse Petition filed by Robert L Wardecker, is scheduled for Tuesday, May 24, 1994, at 3:00 p.m., in Courtroom Number 2. Robert L Wardecker, pro se 429 Arch St. Carlisle, PA 17013 Paula E. Wardecker 37 E. Louther St. Carlisle, PA 17013 IIC- (:.oj;-H_,.; .pt.Ol.-,(duJ.. :saa I" ''1 ~ ~ h Y " .Y ":r' ~ ~ I.J.. H ,:",... ~:; ~-~ fe '" ~ ...... -, :t ~ ~-;~ , .,' ..l ," w: - " '- Cl Z "- ,'" '.~ '. >- ';:J ~ ~l"-'" -.', r ,,' - '. Robert L. Wardecker Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA . . V. Paula E. Wardecker Defendant IN PORMA PAUPBRIS APPIDAVIT Robert. L. Wardecker, petitioner, being duly sworn according to law, upon his oath, deposes and says: 1. I am the petitioner in the above-entitled Petition for Protection under the Protection From Abuse Act; 2. I do not have the funds available to pay the costs of filing and service in the above-entitled action at the present. time; 3. I understand that, at the the court shall determine if I hearing on the am indigent. petition, c,_~ '(j~ ,.- - Robert L. Wardecker l?k/J1tL 7n,Gb Notary Public this /d;);day of /JJ(j , Sworn to and subscribed before me NlllARIAL SEAL OO~NA M OTTO, NOTARY PlJRUC CArU jfjl (, flORO. CUMfJtfiLA!m co., PA MY C(,MMISS;o" EXPIRES DECEMBER n 1991 .' - " Robert.L. Wardecker, Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA v. Paula E. Wardecker, Defendant 1. I am the plaintiff In the above matter and because of my financial condition am unable to pay the fees and costs of prosecuting the action or proceeding. 2. I am unable to obtain funds from anyone, Including my family and associates, to pay the costs of litigation. 3. I represent the Information below relating to my ability to pay the fees and costs Is true and correct. (a) Name: Robert L. Wardecker Address: 429 Arch St. Carlisle, Pa. 17013 Social Security No.: 168-48-4B48 (b) Employment: Unemployed Date of last employment: March 16, 1994 Salary or wages per month: $1,600 Type of work: laborer (c) Other Income within the past twelve months: None (d) Other contributions to household support: None (e) Property owned: Checking account: United Telephone Employees Federal Credit Union. Motor Vehicle: Pontiac T1000 1984 No Monies owed. (f), Debts and Obligations: Fingerhut $500.00 8HG Music Service $50.00 Michael Scherer $1,776.00 (g) Persons dependent on me for support: Robert P. Wardecker, 12 Jonathon J.D. Wardecker, 10 Matthew O. Wardecker, 5 4. I understand that I have a continuing obligation to Inform the court of Improvement In my financial clrcumstances which would permit me to pay the costs Incurred herein. 5. I verify that the statements made In this affidavit are true and correct. I understand that false statements here1n are made subject to the penaltles of 18 Pa. C.S. f 4904, relating to unsworn falslflcat10n to authorities. DATE: fI1~ /3,/991 .-:/ PET ITI ONER " ~ Robert L. Wardecker, Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLANO COUNTY, PENNSYLVANIA v. Paula E. Wardecker, Oefendant PETITION FOR RELIEF UNDER PROTECTION FROM ABUSE ACT TO THE HONORABLE, THE JUOGES OF THE SAID COURT: The petition of Robert L. Wardecker, respectfully represents: 1. This petitio,; Is filed pursuant to the Protection From Abuse Act. 2. The petitioner Is Robert L. Wardecker, who currently resides at 429 Arch Street, Carlisle, Cumberland County, Pennsylvania. 3. The respondent Is Paula E. wardecker, who currently resides at 37 East Louther Street, Carlisle, Cumberland County, Pennsylvania. 4. The parties are husband and wife, havln9 been married on June 25, 19B1 at Carlisle, Commonwealth of Pennsylvania. 5. The parties have three minor children born of their marriage, whose names, ages and birth dates are as follows: Robert P. Wardecker, 12, AU9ust 23, 19B2, Jonathon J.O. Wardecker, 10, October 30, 19B4, Matthew O. Wardecker, 5, March 23, 19B9. 6. The children currently reside In the custody of the respondent and petltloner does not currently enjoy partial physical custody or vlsltatlon r19hts, having waived same until further Order of Court, as Indicated by Order of Judge Kuhn of Adams County, Pennsylvanla, on August 5, 1993. 7. Respondent has abused the petitioner In that: 1. On March 12, 1994 Respondent and her boy friend (Dan Singleton) attempted to ram petltloner's vehicle with their vehicle. 2. On May 9, 1994 respondent and Dan Singleton attempted to ram petitioner's vehicle. 3. On may 7, 1994 respondent and Mr. Singleton drove by petitioner's residence blowing their car horn. 4. On May 5, 1994 respondent and Mr. Singleton drove by petitioner's residence blowing their car horn. 5. On March 12, 1994 respondent and Mr. Sin9leton stopped In front of petitioner's residence and repeatedly blew their car horn. B. Petitioner has fear for his safety. ~~~~~~~RE, the petitioner prays for the entry of a Protection Order granting the following " - ~ (a) directing the respondent to refrain from abusing, harassIng, or stalklng the petitioner. (b) That petitioner be granted visitation of the parties three minor children. (c) any other relief your Honorable Court may deem approprIate and/or necessary. 5ubmltted Robert L. Wardecker ~ I.L \-i -:r en - :c a.- N = >-,. ~r. ..- .." ;~~ . ;- -.1"'. ~:~ ~.~ ~-.; :', --.;1 ::. '.! r; oJ '" L\. ~ LI o 2 ~~_. .- d ::a::: i I '. I .... I rf If) , " I ~ ~ j . , ... l~ ~~ = II j ~ ~ J . I~ I-=: lC lC <l- Ie: I ~ oR ~ . ~ 8 '-I '"' I.. :C 1<= ~ ..1 r i - zr -, If) c:: I.... r-: .- t ;l I 'U ~ t<'> .,.... 1<'\ r-' ~; ~ d Aaalllll AaO'llg AaOljl~ Aao PJC Aao p<Ql AltO 111 I 6 ill 6 ill 6 ill 1 6 iI 6 ill 6 ill 6 ill 6 ill 6 ill 6 iI 6 ill 6 iI :l ., In ~ ~i~ I ~ i L /~~~ -'~ : ~ ~ g :l . , .. \ \'\ ~~p~ ~ ~ I i I I- 0' & I i - N '" .. .. .. II \ I I I \ I!!.r-I- II- , I I I I I I I I I I -I -,- , , u ':1-' ~~ J,,IJ II i r-, , .. , . ( 'I' '.. q;, (I ~'" ~ vl :, :J " :1' E .... -; . ~;J ... .- 'J "- .~ 008 0" .., I' ~ I -:l. ~ 3WI~1:i3^O I:iO \f1:i~X3 . '. SHERIFF'S RETURN CCMMONWEALTH OF PENNSYLVANIA. COUNI'Y OF ClMBERLAND In The Court of Common Pleas of Cumberland County, Pennsylvania No. 94-2628 Civil Term Order of Court Protection Order Under Protection From Abuse Act Robert L. Wardecker vs Paula E. Wardecker Daniel Peiper , )5KllClldlt1fXOtr Deputy Sheriff of Cunber1and County, Pennsylvania, who being duly swom according to law, says, that he served the within Order of Court Protection Order Under Protection From Abuse ACt: upon Paula E. Wardecker , the defendant, at 1:40 o'clock P .M. ~ / EDST, on the day of , 1994at 18 May 37 East Louther Street, Carlisle Pennsylvania, by handing to Paula E. Wardecker . Cumberland County, a true and attested copy of the Order Abuse and at the same time directing her of Court Protection Order Under Prqtection Act attention to the contents thereof and the "Notice to Plead" endorsed thereon. Sheriff's Costs. DoCketing Service Affidavit Surcharge So answers. 14.00 2.80 16.80 r~~'-~~ R. Thomas Kline. Sheriff Swom and subscribed to before me bY5-:#~ Deputy Sheriff this .2 3 -<<t. day of nLl..,.t 19 If'( A.D. C L., J:. ht, f{J,~ AJj,.77:_ n . I=+- Prothonotary