HomeMy WebLinkAbout95-03844
~
c
d
Ib
7"
If)
C
'"
.iJ
1
~
C-
~
J
::r
:z-
Oo
('Q
I
l()
0- ,
/
I
01
Cj
I
I
"
.
. ~\
, ,,~
I
RENATA HARKINS,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
v,
: CIVIL ACfION . LAW
: PROTECfION FROM ABUSE
KENNETH CLINE,
Defendant
: NO, 95- 3844 CIVIL TERM
CONSENT AND APPROVAL FOR APPEARANCE UNDER P.B,A.R. 322
I hereby consent to the appearance of Tina Simpson, a certified legal intern under the
supervision of an attorney, in the above-entitled adoption proceeding before the Honorable 1.
Wesley Oler, Ir" at 8:30 a,m. on Wednesday, Iuly 26, 1995,
Date '/2 w.)s4 ~
As the supervising attorney for Tina Simpson, certified under P,8,A.R, 322, I
approve of her appearance on behalf of the above. named client in the above-named
proceeding,
Date~'J-
~Jf,~
TH MAS M. PLACE
ROBERT E, RAINS
Supervising Attorney
THOMAS L. PEELER, ESQ,
Staff Attorney
PI.AIN11Ff'8
EXHIBIT
\
Ln,
-'tu-(l ~ ~-
FAMILY LAW CLINIC
45 North Pitt Street
Carlisle, PA 17013
717/240-5204
CHA"LEI W. JOHNI. rlo
H10TNOHOT.""
WILLIAM a. CO"EY, 1:10.
DlPUT"H10TMDHOT.'"
~Il.ftm ~i.trid
... CITY HALL
'HILAOILPHIA. 'A 1110'7
11'11 '10.1110
.
$upreme GIourt of JennJuItnmiu
July 11, 1995
REGISTRATION UNDER RULES 321 , 322
(PENNSYLVANIA BAR ADMISSION RULES)
0. BLZOIBLB LAW STUDENT
Tina M. Simpson
Box 140
150 S. College Street
Carlisle, PA 17013
TO THE APPROVED SUPERVISING ATTORNEY:
Robert Rains, Esquire
Thomas Peeler, Esquire
The Dickinson School of Law
150 S. College Street
carlisle, PA 17013
The above-named law student has been approved and certified
undar Pa. B.A.R. 321 & 322 by:
Harvey A. Feldman, Associate
The Dickinson School of Law
150 South College Street
Carlisle, PA 17013-2899
as a duly enrolled law student who has completed at least four (4)
semesters of legal studies, or the equivalent thereof, is of good
character, has been adequately trained and is of competent legal
ability to perform as a legal intern.
Dean
Pursuant to such certification and in accordance with and
subject to the provisions of Pa. B.A.R. 321 & 322, the above
&t~dant has been registered and you have been approved to perform
the duties of supervising attorney as of June 28, 1995.
and the seal of this
,July, 1995.
)SL.'-~
erso, squlre
Prothonotary
Ikal
c: Dean
RENATA HARKINS,
Plaintiff
JUL , 9 199~
;'r/
.. .
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
: PROTECTION FROM ABUSE
v.
KENNETH CLINE,
Defendant
: NO, 95--58''1'1CIVIL TERM
TEMPORARY PROTECTIVE ORDER
.
AND NOW, this'.' day of ,] ./ :'\ ,1995 upon presentation and consideration of
,
the within Petition, and upon finding that plaintiff, Renata Harkins, residing in Cumberland
County, Pennsylvania, is in immediate and present danger of abuse from defendant, Kenneth
Cline, the following Temporary Order is entered,
Defendant, Kenneth Cline, is hereby enjoined from harassing or abusing plaintiff, Renata
Harkins, either personally or through his agents,
Defendant is hereby ordered to stay away from the residence of the plaintiff,
Temporary custody of Brandi Elizabeth Harkins, is hereby awarded to plaintiff, Renata
Harkins,
This Order shall remain in effect until pending further order of the court,
You, Kenneth Cline, defendant, have been sued in court to obtain custody of the child.
You are ordered to appear in person at the scheduled hearing held on this mailer on the
,
2.b 7:" day of.J,1, , 1995 at~:~.'.m, in Courtroom No.6' ,
Plaintiff may proceed in forma pauperis pending a further order after the hearing,
\
This Order shall be docketed in the office of the Prothonotary and forwarded to the
Sheriff for service. The Prothonotary shall not send a copy of this order to the defendant by
mail.
Service of certified copy of the Petition and this Order shall be provided by the Sheriff
of Cumberland County.
The Police Department of West Fairview will be provided a copy of this Order by
attorney for plair.tiff, and is directed to 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, 23 Pa.C.S. ~6l13. In the event
that an arrest is made under this section, the defendant shall not be taken to jail but shall be
taken without necessary delay before the Court that issued the Order.
By the Court,
, !
'\
i
I
l
11)':
. I '
\_ ,. I
....LA
, '.
.~' I.J1
(' ~.
.....
, .
J
.....
...;UL I:J ii ~d:'i'; 195
f
111?!?r ~ f~L4. ~ ~ ~
."
JUl
I Y 1995
.i'l"-'
v.
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
: PROTECTION FROM ABUSE
RENATA HARKINS,
Plaintiff
KENNETH CLINE,
Defendant
: NO. 95- :J6'-1~CIVIL TERM
PETITION FOR TEMPORARY PROTECTIVE ORDER
AND CUSTODY
The petition of Renata Harkins represents as follows:
COUNT I - PROTECTION FROM ABUSE
1. Plaintiff is an adult individual who is residing at 332 4th Street, West Fairvlew,
Cumberland County, Pennsylvania 17025.
2. Defendant is an adult individual who is residing at 717 S. 21st Street, Camp Hill,
Cumberland County, Pennsylvania.
3. Plaintiff and defendant were never married.
4. Plaintiff and defendant are the natural parents of Brandl Elizabeth Harkins, born,
April 6, 1994. Plaintiff also is the mother of two additional children: Jesse Michael Harkins,
age 5 and September Elaine Harkins, age 4.
5. Over the course of their relationship, defendant has attempted to cause and has
intentionally, knowingly, and recklessly caused bodily injury to plaintiff. Defendant has
attempted to harass and has harassed the plaintiff. Through his actions, the defendant has placed
the plaintiff in reasonable fear of imminent serious bodily injury. This has Included but Is not
limited to the following instances of abuse:
,'"
a. On July 10, 1995, dcfcndant forcibly rcmovcd the plaintiff from her car
parked at 332 4th Strect, Wcst Fairvicw, Cumbcrland County, Pcnnsylvania 17025, throwing
hcr to thc ground, ripping her shirt. and causing injuries to her Icft arm and right leg rcsulting
in largc bruises on both her arm and leg. At that timc. hc yellcd at hcr to " Gct out of the
,.....ing car. It is my car. I pay for iI. Go ahead you insanc bitch, slice the tires. You're the
onc that nccds hclp." Photographs of the bruiscs werc takcn by the Family Law Clinic on July
14,1995.;
b. In February 1995. defendant threatened to kill the plaintiff at the plaintiffs
residence. On this occasion. plaintiff was silting in the living room wilh hcr children. Speaking
to the children in the prcsence of plaintiff, defcndantthreatened to kill plaintiff by stating. "I'm
going to kill your mother. ";
c. In January 1995, defendant entered plaintiffs housc at 332 4th Street, West
Fairview, Cumberland County. Pennsylvania, when she was not at home. On this instance,
dcfendant hid behind a chair in the living room and waitcd for plaintiff to arrive home. When
plaintiff arrived home, defendant jumped from behind thc chair, placed his hands around her
neck, and altempted to choke her.
d, In July 1993. defendant intentionally kickcd plaintiff in the abdomcn after
she told him shc was pregnant with his child.
6. Plaintiff bclicves and thereforc avers that she is and will be in immediate and
present danger of scrious abuse from defendant and that shc is in need of protection from abuse.
Wlmlml"O\U~, pursuant to the provisions of the "Protection From Abuse Act" 23
Pn,C.S. ~ClIlII ct sCll.. plaintilT prays this Honorable Court to grant the following relief:
A. Gruntn Tcmporary Ordcr pursuant to ,:Ie "Protection FlUm Abuse Act" requiring
thc dcfcndllnt tn rcfrain fromllbusing the plaintiff, either personally or through his agents. and
fl'llm comin[.t on hcr propcrty lit 332 4th Street, West Fairview, Cumberland County.
Pcnnsylvllnin, IInd
II. Schedule II he:lring in accordance with the provisions of the "Protection From
Ahusc Act", IInd
C. After such hcaring, enter an order against the defendant, to be in effect for one
ycnr. liS follows:
I) Dirccting the defendant to refrain from abusing the plaintiff.
2) Prohibiling the defendant from having any contact with the plaintiff
including, hut not limilcd to, restraining the defendant from harassing the plaintiff and from
coming onto plaintiff's property at 332 4th Street, West Fairview, Cumberland County.
Pcnnsylvllnill.
COUNT II. IN FORMA PAUPERIS
7. The alleglllions in paragraphs one through six are incorporated herein by reference.
8. Plaintiff does not have funds available to pay the costs of filing and service.
COUNT III. CUSTODY
9. The allegations in paragraphs one through eight are incorporated herein by reference,
10. Plaintiff seeks primary legal and physical custody of the following child:
~ Address
~
Brandl Elizabeth Harkins 332 4th Street, West Fairview, PA
15 months
The child was born out of wedlock.
The child is presently in the custody of Renata Harkins, who resides at 332 4th Street,
West Fairview, Cumberland County, Pennsylvania 17025.
During the past five years, the child has resided with the following persons and at the
following addresses:
Names Address
~
Renata Harkins 400 7th Street, Apt. 2, New Cumberland, PA
332 4th Street, West Fairview, PA
4/94 to 9/94
9/94 to present
Jesse Michael Harkins 400 7th Street, Apt. 2, New Cumberland, PA
332 4th Street, West Fairview, PA
4/94 to 9/94
9/94 to present
September Elaine Harkins 400 7th Street, Apt. 2, New Cumberland, PA
332 4th Street, West Fairview, PA
4/94 to 9/94
9/94 to present
The mother of the child is Renata Harkins, currently residing at 332 4th Street, West
Fairview, Cumberland County, Pennsylvania 17025.
She is single.
The father of the child is Kenneth Cline, currently residing at 717 S. 21st Street, Camp
Hill, Cumberland County, Pennsylvania 170ll.
II, The relationship of plaintiff to the child is that of mother. The plaintiff currently
resides with the following persons:
~
Jesse Michael Harkins
September Elaine Harkins
Brandi Elizabeth Harkins
Relationship
son
daughter
daughter
12. The relationship of defendant to the child is that of father. The defendant
currently resides with the following persons:
Hwnc Relationship
Jean Wagner mother
Jerri Hinkle sister
13. 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.
Plaintiff has no information of a custody proceeding concerning the child pending in a
court of this Commonwealth.
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 has been primary caretaker of the child since birth;
b) Plaintiff provides the child with adequate moral, emotional and physical
d) Plaintiff continucs to cxcrcisc parcntal dutics and cnjoys the love and
surroundings as requircd to mcetthe child's nceds;
c) Plaintiff is willing to acccpt custody of the child; and
affection of the child.
15. Each parent whose parental rights to the child havc not bcen tcrminated and the
person who has physical custody of the child have bcen named as parties to this action.
WHEREFORE, plaintiff requests the court to:
A. Enter a temporary order giving her custody of said minor child pending disposition
of the petition. per 23 Pa.C.S. ~6l06(a)(4). and
B. After the hearing on this petition, grant plaintiff custody of said child.
WHEREFORE, plaintiff prays that the petition be filed and service shall be made
without payment of costs per 23 Pa.C.S. ~6106(b).
Respectfully submilled,
Date 1-/8-95
~'/120. j~~
Tina Simpson I
Certified Legal Intern
)~'l~
THO~AS M. PLACE
Supervising Allorney
FAMILY LAW CLINIC
45 North Pill Strect
Carlisle, PA 17013
717/243-2968
COMMONWEALTH OF PENNSYLVANIA:
COUNTY OF CUMBERLAND: SS.
I verify that the statements made in this P~'1\ Pot! tion are true and correct to the
best of my personal knowledge and belief, I understand that false statements herein are
made subject to the penallies of 18 Pa.C.S. ~4904, relating to unsworn falsification to
authorities.
Date:~
~q\('C~trr' (2:). ~ ,\.1.,\
, R NATA ARKINS S-..-\ YJ. It-j
I
I
i
i
rj
I
~ L.
to
.-
r LO
..
Lv ,I\)
\11 N
8 .;x..-
:::J,.:
-
.~ ::,' ,,=
WI'l
CER'I'IFICATION OF PFA' S
Case Number qf~ 38L/t.f &l~e ~
Name j(el1netA Cline.
7 I 7 SOt(tl1 ~/st stre~t
CanJIJ Hi II PA /7011
, ,
Victim's Name:
Renata. Harkins
Balance Due: $ q /. 30
170 State surcharge
171 State Fine
260 Sheriff Cost
ADD DELETE
$ '2.'5.00 $
$ $
$~ $
502 Restitution
$
$
Name Prothonotary's Office
Address
$ 45'. SO
City
State
Zip
Name
Address
$
City
State _ Zip
Name
Address
$
City
State _ Zip
Prothonotary office
Person Certifying Information {Jh.,~J!.U:Ltl. ~ftitM.. Date
7 ~" /96
( I
_~~J~l).1!~~__~J~~~~~J!J~_____"_.______
In lhe Coun 01 COInIIIOn Plaa 01
Cumberland ColDlty, Pmasyl\~
---____________~~~~~~)~\f:_________________
VI.
Nil,
.--.-__~~~:t:t___________
CIvil.
19j~__
____~f:.ncK._ll;)____(;J.l.!.l.~________
----------------------------------------------
____ __________:Qs::l~ngQ;J.'.1_______
-------... -- ----.. , - .--.- .-------------------..
___:1:~_~~~____G?[~~:~.~:tf_~~:-----------------------_.___________________________
.-.--------------------_________~ls:c~~~____~i~~tlt.(;)____~~~~.__.,~_:r_L~_~___________.
. -- :1~'='___-:\.:~~_j~C.(,d!.'.r. .:t.1.~~~--Cf-'".=.____6_\2.!~~__.5?r_t_~:r_\..!.~O__________.
.____.~!"-f.-~-!.t~~S-~- ___~~Lt:fL__j:Q,__ -~----~~bCJ-~-!:'--:----C.~1)i~-0~~.l
._----~~~~-~~~---_._-----------------------------------------------------------------
.---------------------------.--..-----------------------------------.----------------------------
.--------------------- -. ----------------------------- .------------..----. -- .---------------
1ro ______________________________________
Prochanotary
----------------------
19_____
Jh'~->~- f;):J~~d?-..2!.~A.. 4..<-ucd,~
Actcr.ley far p~"';;i
r
f
.......
,
.~~~~ _0"",:,_.- ,.~
\
3~~L\o
---------.------------
VI.
No,
erG
Term, t9_____.
_.:.:ht:.ru:,1;-:\.~-t.k';;f .~\.~~.;~ ---
KC-nnc-\ h ( l,ne... .
-----------------------------------------
PR,'ECIPE
F"ued ___________________________ 19______
__________________________________, .'try.
-----------------------------------------
..
.l. ~ <
;l<,
56. H~ rs 6
"7 lnr
.0 I
r
.
f
,
...:--- ~.
'.-._-- ~. ,..:
RENATA HARKINS,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
: PROTECTION FROM ABUSE
: AND CUSTODY
v.
KENNETH CLINE,
Defendant
.
.
: NO. 95- 3844 CIVIL TERM
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
Cumberland County Courthouse
Carlisle, Pennsylvania 17013
717/240-6200
'-
<=
~
"'-:
C"
W
In
tv
X>o
," ::r:
c.O
<..n
I
I
.....
rfJ~~<~
J1 ~ ,
~
'I';
'~"1t-<-Q. hI~~~.~ I k.f:F,
.~..
RENATA HARKINS,
plaintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
v.
: CIVIL ACTION - LAW
PROTECTION FROM ABUSE, CUSTODY
KENNETH CLINE,
Defendant NO. 95-3844 CIVIL TERM
IN RE: CUSTODY
ORDER OF COURT
AND NOW, this 26th day of July, 1995, upon
consideration of the Plaintiff's Petition for Temporary
Protective Order and custody, the following Order is entered
with regard to custody of the parties' child, Brandi Elizabeth
Harkins, born April 6, 1994:
1. Plaintiff shall have primary physical custody
and sole legal custody of the child subject to such partial
custody on the part of the Defendant as the parties shall
mutually agree upon.
2. Defendant shall pick up and return the child
to the Plaintiff's residence without personally entering the
residence.
3. This Order shall remain in effect for a period
of one year unless otherwise modified by a prior Court Order.
4. Nothing herein is intended to preclude the
Defendant from seeking further custodial rights pursuant to the
normal custody procedures or pursuant to a request to this Court
to modify this Order.
. .
By the Court,
J.
Jf~~
%:~~I
Tina M. Simpson, certified Legal Intern
Thomas M. Place, Esquire, Supervising Attorney
Family Law Clinic
Counsel for Plaintiff
Kenneth Cline
717 S. 21st Street
Camp Hill, PA 17011
:slr
'- .
.-::
,-
C.'
l.n
c:>
~:
c.n
...,.,
KENNETH CLINE,
Defendant NO. 95-3844 CIVIL TERM
RENATA HARKINS, IN THE COURT OF COMMON PLEAS OF
plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
v. CIVIL ACTION - LAW
PROTECTION FROM ABUSE, CUSTODY
IN RE: PROTECTION FROM ABUSE
ORDER OF COURT
AND NOW, this 26th day of July, 1995, upon
consideration of the Petition for Temporary Protective Order and
custody, and following a hearing which the Defendant did not
attend notwithstanding that he received notice of the hearing,
the Court finds that the allegations of the Plaintiff's petition
with respect to abuse have been proven by a preponderance of the
evidence and that the Defendant has committed abuse as alleged
in the petition in the form of the placement by physical menace
of the Plaintiff in fear of imminent serious bodily injury.
consequently, it is further ordered as follows:
1. Defendant is hereby enjoined from abusing the
plaintiff either personally or through his agents.
2. Defendant is prohibited from having any
contact with the Plaintiff unless in regard to the parties'
minor child, Brandi Elizabeth Harkins, born April 6, 1994.
This shall include, but is not limited to, restraining the
Defendant from entering the Plaintiff's home and from harassing
the Plaintiff in person or by telephone.
3. This Order shall remain in effect for a period
,
of one year.
4. The West Fairview Borough Police Department
will be provided with a copy of this Order by attorneys for the
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 Order, the Defendant shall not
be taken to jail but shall be taken without unnecessary delay
before the Court that issued the Order. When the Court is
unavailable, the Defendant shall be arraigned before the
district justice who set bail according to the provisions of
Chapter 4000 of the Pennsylvania Rules of criminal Procedure.
5. Resumption of co-residence on the part of the
Plaintiff and Defendant shall not nullify the provisions of this
Order directing the Defendant to refrain from abusing the
Plaintiff.
6. Defendant shall pay the usual surcharge of $25.00
plus the costs of these proceedings.
By the Court,
Tina M. Simpson, certified Legal Intern
. Thomas M. Place, Esquire, supervising Attorney
~ Family Law Clinic
"j Ill., Counsel for Plaintiff
~_tKenneth Cline
~ V 717 S. 21st Street
Camp Hill, PA 17011
Sheriff
:slr
~ .
,
<-
~
r--,)
~.'
C3
cJI
,-., <='
;s..;-
~
~
'l"J~ J~' IJ I( (1.-"
~I OF PEmI\.
IN '11 IE CCURT OF C(lofoION pLE/IS
vs
KENNEllI EXlGEl'lE CUm:
aJMDERIl\ND coom"i, PEml/\.
1981-00134
1981-00296
1981-00133
1995-53844
1981-00131
1992-00953
1989-00707
1981-00129
/
I, Willianf..Diehl, Deputy Sheriff being duly Il\\'Om by law saysl that on May 16 1996 the
above narred subject was arrested. by the W. Fairview Police Dept. on these Bench Warrants.
Deputy Diehl net Olf. Hennan at 1-81 & 114 and custody of subject was transferred to
Deputy Diehl. Subject was transported to the Cl.DTherland County Prison where he is lOOgOO
waiting further action of the court.
Sheriff Costs: 20 miles @ .28~ per mile $5.60
So 1\nSWerS 1
~~7-=
l~iU.bll D~~Y
n "'., .....
r: 0) .;-.
-u:-- r~.;: ;
Q.li.~ ... " -t.!
,- . ~
;': .r ~ I
.. (' ':.
~ ...: ; /"-,
," . :.~ , ..
" , :0
~~\ 5 -.:t. I
,~ r.:
-.
:'J :.) ..
,., :...~
-,
COM~IONWEAI/l'lI OF PENNSYLVANIA
COUN'l'Y OF CUMBERLAND
OM~ 05-% .::lSe
1995-53844
18273
CASE TRANSFERRED
FROM CIVIL DIVISIO
CASE NO.
PROB NO.
CHARGE:
(Additlonal Caaea - See Attached)
AFFIANT:
TO: R. Thomaa Kline, Sheriff, or any duly authorized law enforcement
of[icer.
Rtt; :
KENNE1'H CLINE
717 SOUTH 21ST STREET
CAMP lilLI, PA 17011
0013:
SEX:
HT:
EYES:
8/02/1962
MALE
5'6"
BL
SSN:
RACE:
WT:
HAIR:
00-00-0000
CAUC
150
BR
mU: 491907WIO
SID#: 14083537
WHEREAS, the defendant above named failed to: APPEAR AS DIRECTED
BEFOllE JUDm: HESS ON APRIL 26, 1996, ON A PETITION FILED BY BARRY E.
IIAIR
and,
WHERf:AS, this Court on 5/01/1996 directed a Bench Warrant be issued
fur the apprllhension of the defendant.
This is therefore to command you to arrest the defendant above and
bring Hr. CLJI~E before me at Carlisle, pennsylvania,
~lll:hc'l\t unnecessary delay to be dealt with according to law.
W['I'NC:SS t.lle undersigned Judge, at Carlisle, this the 6th day of
I.lay A.D., 1996.
IIESS
A'r'1'E;,'l':
Ci~~. ~,
( ':~EA!.)
-------------.---------------------------------------------------------
(XI FXTRADITION - NOT APPLICABLE
( ! SXTRADITION APPROVAL - Any state, adjoining state, or within
o miles of Carlisle.
{ Photo }
[) [:,'l'HICT ATTORNEY/ASS'T. .~\~A:DE: \ (:' II ~\.Id
",j\ 01""
'"1r" I, -.I
L'~ { if }
q'O, \\~ ll\ G ~
q 1. 30
i\i4lili'rl'l-'--ciivEU,- - IF-APPLI CABLE .,a~ { Available }
;-. . . : '11 J" :;:MAO
:!Aa\;1l~:: ."
COMMONWEALTH
v.
I IN THE COURT OF COMMON PLEAS
I OF CUMBERLAND COUNTY, PENNA.
1981 CRIMINAL 0009
1981 CRIMINAL 0129
1981 CRIMINAL 0131
1981 CRIMINAL 0133
1981 CRIMINAL 0134
1981 CRIMINAL 0296
1989 CRIMINAL 0707
1992 CRIMINAL 0953
1995 CRIMINAL 53844
./'
KENNETH E. CLINE
IN REI BENCH WARRANT
ORDER OF COURT
AND NOW, THIS 20TH day of DECEMBER, 1995, after a hearing
on the above named, action is deferred until April 26, 1996.
The bench warrant issued on April 28, 1995 is hereby
vacated.
BY THE COURT
"
Cn
~,-..,
... t'J'''.._
.. :. ~ ') t'.
".f"
....
C::l
~
~
SHERIFF'S OFFICE
PROBATION OFFICE
/7d
c.o
::~ t;;
..) ~
: -,
..
~
DISTRICT ATTORNEY'S OFFICE
wc
(j I.":) ("')
t-~ c;, ."
. I
"tJ'. ,- :7; =-'J
[}Jr '- ~..
. >'"Jm
~I! (..'1 .'Iel
-. )(~
C-t. ~"": ': i:I
.-
:>=t":" 'JCJ
~) ~-' IT)
....r~ '-)
-.J
~ :.) ~.
::u
(,;oJ -:
COMMONWEALTH I IN THE COURT OF COMMON PLEAS OF
I
I CUMBERLAND COUNTY, PENNSYLVANIA
I
V I ~ CRIMINAL 1981
I 129 CRIMINAL 1981
I ~31 CRIMINAL 1981
I 133 CRIMINAL 1981
I 1134 CRIMINAL 1981 /
I ~296 CRIMINAL 1981
I ~707 CRIMINAL 1989
. V953 CRIMINAL 1992
.
KENNETH E. CLINE ~'~995-53844 CRIMINAL TERM
IN REI PETITION FOR CONTEMPT OF COURT
:bg
~ ~
C~ ~
"$of""" -
"-'dJr"'r:
""",,."f\:1'r"'\
~~~_a ::::.
.;1;., ~
,.~ '"
c. ~
'f" ..
. ~
ORDER OF COURT
AND NOW, this 20th day of December, 1995, at 9:35
a.m., action on the within contempt petitions once again is
deferred, and the defendant is ordered and directed to appear
for further proceedings hereon on April 26, 1996, at 9:00 a.m.
By the Court,
Ad
Michael Schwoyer, Esquire
Assistant District Attorney
William Braught, Esquire
Assistant Public Defender
Hess, J.
probation
CCP
("J .() 0
c; C) T'
--;:r:~ ;:-.; J
'"!:J - ':';:'1
.'. '"1r,1
:./ .. lCJ
<. -,~(:)
'-',
, . 'J
, '.i~!
';.C)
.- ' (~' ~~ i.jI'f1
..0: :,) ;..~l
. , :..g
-~ (~l -,
./
COMMONWEALTH I IN THE COURT OF COMMON PLEAS OF
I
I CUMBERLAND COUNTY, PENNSYLVANIA
V I 198t,%"
I 296 CRIMINAL
I 134 CRIMINAL 198 ;/.
I 707 CRIMINAL 198911
I 953 CRIMINAL 1992~
I 129 CRIMINAL 1981v/"
. 133 CRIMINAL 1~
.
9 CRIMINAL 198 ~
131 CRIMINAL 1981 vi
KENNETH E. CLINE 53844 CRIMINAL 1995
IN REI BENCH WARRANT
ORDER OF COURT
AND NOW, this 1st day of May, 1996, a bench
warrant is issued for the arrest of the defendant.
By the Court,
,-.
-AIL
'::C"J
:":..
. f":"\:J
.....{.-
.',-r,
~
Office of the District Attorney
Prc.1bation
Ibg
:,
.
(.0
...,.,
g;,.
-<
~
oJ
c:>
....
~
\1 __
(") '0 0
!? Q:) ,.,
,- ..
~ti~ F; -,.:
,":!1
rtlr. i "- , 'r-
;:-: ~ i ! 1~t:]
%t VI
(J~ .i<:,
-"
r_\..! :-'= ' -.,
-..;;... 5:u
:<. ~" ......C)
j.:~'.-! '? urn
-,
;.--= w ~
=< r.J -<
COMMONWEALTH
v
KENNETH E. CLJ:NE
1
1
1
1
1
1
1
1
1
1
1
1
J:N THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANJ:A
296 CRJ:MJ:NAL 1981v'
134 CRJ:MJ:NAL 1981~
707 CRJ:MJ:NAL 1989~
953 CRJ:MJ:NAL 1992~
129 CRJ:MJ:NAL 19~81
133 CRJ:MJ:NAL 198
9 CRJ:MJ:NAL 1981 ~
131 CRJ:MJ:NAL 1981./ ./
53844 CRrMJ:NAL 1995v ~
J:N RE 1 CONTEMPT HEARJ:NG TO BE SCHEDULED
ORDER OF COURT
AND NOW, this 17th day of May, 1996, at 11143
a.m., this matter in contempt will be set for hearing after the
court has had an opportunity to confer with the Domestic
Relations Department concerning the timing of a hearing in the
support matters pending against the defendant. Pending same,
security is set in the amount of $500.00.
Thomas Placey, Esquire
Assistant District Attorney
Timothy Clawges, Esquire
Assistant Public Defender
probation Office
CCP
Ibg
.'.
By the Court,
'/fd-
Hess, J.
;.;.,
-,
:~
,- -1
.....,
:~
I.'
:~
:.....
"
(.......
",.
1/
(") ..':) 0
c c:o -"
-., '"
:t:l~': ..-..
, .. ,J
n!l, ~~: ~:n
-,.. ,-..
~;:-' , '1,."
~* I (')
(.,J; c..ri :\~
f.~ ::-- J.'j
~: ):L
.... C""")
~:.; '2 '::j'-'~'
-~... -,
-"- ~" -.
--J :ij
-. <w --
, " ~.
COMMONWEALTH
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY. PENNSYLVANIA
129 CRIMINAL 198!1
131 CRIMINAL 198V/ /
133 CRIMINAL 198V,
134 CRIMINAL 198i1
296 CRIMINAL 198\~'
707 CRIMINAL 198~ /
953 CRIMINAL 199:.v/
95-53844 CRIMINAlJ/
vs,
KENNETH E. CLINE
ORDER
AND NOW, this
;z q' day of May. 1996, furthcr hearing on the within contempt
mattcr is sct for Friday, Junc 14. 1996, at 10:00 a.m. in Courtroom Numbcr 4, Cumbcr1and
County Courthouse, Carlisle, P A. Sccurity is continucd in thc amount of $500.00.
BY THE COURT,
. Ad-
Officc of District Attorney
Officc of publie Dcfender
Probation
:r1m
.. .I~'
. ,,-"
....'. ...J
1',:L'
7 11'1'
ir.. Il.1li5::: Er. "II
'i. ....
\I
(") .0 0
r;; ::0 '"
o. '- ~
"".,lE~ r:: '. "
gn~: ;r:: ,1,=
~.. -. '~I fT)
:;'<1 (.,'1 ";:)':1
tJ)." ')0
f:;c .,~ r
;:::;.. .--,
<....- 5:!J
....,... ~....(')
1:~~' :'7 i-.:5n1
'l'1
~ :..) ~
c.)
COMMONWEALTH I IN THE COURT OF COMMON PLEAS OF
I
I CUMBERLAND COUNTY, PENNSYLVANIA
V I
129 CRIMINAL 1981
I 296 CRIMINAL 1981
I 134 CRIMINAL 1981
I 133 CRIMINAL 1981
I 129 CRIMINAL 1981 /
953 CRIMINAL 1992
: 707 CRIMINAL 1989
: 9 CRIMINAL 1981
KENNETH E. CLINE : gs..!53"'.' CRIMINAL
OTN: E073518-4
C191191-0
IN RE: PETITIONS FOR CONTEMPT
ORDER OF COURT
AND NOW, this 14th day of June, 1996, at 9:56
a.m., disposition of the within contempt matter is deferred, and
the defendant shall be released from custody following written
verification of his employment and thereafter make regular
payments in the amount of $25.00 per week. In the event that
this verification is not forthcoD.ing, this matter to be relisted
in thirty days.
By the Court,
:!~
William I. Gabig, Esquire
Sr. Assistant District Attorney
William Braught, Esquire
Assistant Public Defender
'--
;:i:i
~.,
t..:.
: .
Probation Office
.,
, .
CCP
:bg
t\
;qnJ
() \0 (")
C ~ .;1
-.' '-
~ ,
'Yln (-:7 !.:.."
C!"!C. :.-!: :r~
~-..!
. 't
(lj ,..~
~;' (..', -:~~ll
f;.~::' :::-. --""1
J ._ :;:: )~
-..-', , :;? -,
;"S 0
""
~ :... ~
(..l
vs.
: IN 11m COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
,
;VI~\ CRIMINAL 1981
:(').96 CRIMINAL 1981
:vi34 CRIMINAL 1981
:./133 CRIMINAL 1981
:11')29 CRIMINAL 1981
V953 CRIMINAL 1992
n07 CRIMINAL 1989
:v9 CRIMINAL 1981 /
~5.53844 CRIMINAL TERM
ORDER
COMMONWEALTH
KENNETH E. CLINE
AND NOW, this
//"
day of July, 1996. it appearing that thc deCendant has
obtained gainful employment. he is released Crom custody in the above captioned contempt
matter and disposition is deCerred on condition that the deCcndant make payments on the
amounts due oC $100.00 per month. A bench warrant to issue iC a paymcnt is missed.
BY THE COURT,
Office of District Attorney
./lIL
, Office oC Public DeCender
Probation
CCI'
:rlm
- \
.. ..~. ~~.' ,
,--
I' ..'\
II
II
(") .n 0
l:: ..XI '.
;;: ~.~
\:'0.:.'.1 :;-7J
Q.!I.
:~'I' ;i1
(,-'1 :1..;J
t/l. ' .:;0
...: .
~.:.: ~: 'I
.t4.rt
:\~;.~ -'. )(5
;? ;:5rn
-~!;: -.,
:':''''1 :.> $
-< (~ -<
\