HomeMy WebLinkAbout95-04544
IN TilE COURT OF COMMON PLEAS FOR
CUMBERLAND COUNTY, PENNSYLVANIA
DAVID H. HANDSHEW and,
MARGARET L. IIANDSHEW,
PLAINTIFFS
CIVIL ACTION - LAW
V.
NO. 95- .;.).11'/
CIVIL TERM
JANE L. MIDDAUGH and,
GALEN VARNER,
DEFENDANTS
CUSTODY
ORDER OF COURT
AND NOW, fJ""<=.J, .31} , 1995
of the attached compiaint, it is hereby direct
and their respective counsel appear befo~e
, the conciliator, !lt h. 1100
on the f (..;f" day 0 f G'tfl ,
1994, at '1 ~,-3D fl .m., for a Pre-Hearing Custody
Conference. At such conference, an cffort will be made to
resolve the issucs in dispute; or if this cannot be accomplished,
to define and narrow the issues to be heard by the court, and to
enter into a temporary order. All children age five or older may
also be present at the conference. Failure to appear at the
conference may provide grounds for entry of a temporary or
permanent order.
,,'
FOR THE COURT,
BY: /lwlld- Y~~j~[!?'J
custody C06ciliator ~p I
The Court of Common Plehs of Cumbcrland County is required
by law to comply with the Americans with Disabilities Act of
1990. For information about accessible facilities and reasonable
accommodations available to disabled individuals having business
bcfore the court, please contact our office. All arrangements
must be made at least 72 hours prior to any hearing or business
before the court. You must attcnd the schedulcd confcrence or
hearing.
YOU SIIOULD TAKE TillS PAPER TO YOUR LAWYER AT ONCE. IF YOU
DO NOT HAVE A LAWYER OR CANNOT AFFORD ONE, 00 TO OR TELEPHONE TilE
OFFICE SET FORTII BELOW TO FIND OUT WIIERE YOU CAN GET LEGAL HELP.
Office of the Court Administrator
courthousc, 4th Floor
Carlisle, PA 17013
Telephonc (717) 240-6200
following persons and at the following addresses:
~
David Handshew,
Hargaret lIandshew,
and Desiree, Tabitha,
and Sabrina Uandshew
Jane Hiddaugh and
Jerry Kyle
Jane Hiddaugh and
Jerry Kyle
Kim Bailey
Tonya Crum
Jane Hiddaugh
David Handshew,
Hargaret Handshew,
and Desiree, Tabitha,
and Sabrina lIandshew
Jane Hiddaugh and
Jerry Kyle
Jane Hiddaugh
Jane Middaugh
Jane Hiddaugh,
Jerry Kyle, and
Tonya Crum
Jane Hiddaugh and
Tonya Crum
Jane Hiddaugh,
Tonya Crum, and
Donald Hiddnugh
List all Addresses
32-34 East Main Street
Newville, PA 17241
R.D. #1, Box 331
County Rt. 357
Ocean View, DE 19970
121 Cold Spring Road
Carlisle, PA 17013
Easy Road
Carlisle, PA 17013
Hanover Street
Carlisle, PA 17013
120 Cold Springs Road
Carlisle, PA 17013
32-34 East Hain Street
Newville, PA 17241
121 Cold Springs Rd.
Carlisle, PA l7013
15 Baltimore St., Apt. 2 1/2
Ht. 1I0lly Spring, PA 17065
15 Baltimore St., Apt. 4
Ht. 1I011y Springs, PA l7065
121 Cold Springs Road
Carlisle, PA 17013
Betty Nelson Trailer Park
Carlisle, PA 17013
17 South lIigh Street
Newville, PA 17241
Dates
8/3/95 to
present
7/95 to
8/3/95
5/95 to
7/95
2/95 to
4/95
1/95 to
2/95
7/94 to
8/94
3/20/94
to 7/94
1/01/9'1 to
3/19/94
10/93 to
12/93
8/93 to
9/93
8/91 to
8/93
3/91 to
7/91
9/90 to
2/91
Plaintiffs do not know if Defendant Galen Varner resides
with any other persons.
6. Plaintiffs have 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.
Plaintiffs do not have information of a custody proceeding
concerning the child pending in a court of this Commonwealth.
Plaintiff is not aware of a person not a party to the
proceedings who has physical custody of the child and claims to
have custody or visitation rights with respect to the child.
.7. The best interest and permanent welfare of the child will be
served by granting the relief request because:
a. Plaintiffs are better able to care for the
physical, emotional, educational and medical needs of
the child;
b. On August 3, 1995, Defendant Jane Middaugh
requested that Plaintiff take custody of the child.
c. Defendant Jane Middaugh has abused drugs and in
fact overdosed on drugs on or about August 6, 1995j
d. Defendant Galen Varner has not seen the child since
birthj and
e. The child, who is 16 years of age, prefers to live
with Plaintiffs.
e. Plaintiffs can raise the child in an environment
that is much more stable than either of the Defendants
following persons and at the following nddresses:
t!nJn.q
David lIandshew,
Margaret IInndshew,
and DeHir~e, Tabitha,
nnd Snbrlna Hnndshew
Jane Mlddau~h and
Jerry Kyle
Jane Hlddaugh and
Jerry Kyie
Kim Bailey
Tonya Crum
Jane Hiddllugh
David Ilnndshew,
Hllrgnrel. IInndshew,
and Desiree, Tabithll,
Rnd Snbr I nn IInnrh;how
Jane Hiddnugh and
Jerry Kyle
Jnne Hlddnullh
Jane Hiddnullh
Jane Hiddaugh,
Jerry Kyle, /\nd
Tonya Cl'um
Junc Hlddnugh and
Tony/\ Crum
Jane Hirld/\ugh,
Tonyn Crum, /Inti
Donnld Midrlnugh
List all Addresses
32-34 East Hain Street
Newville, PA 17241
R.D. '1, Box 331
County Rt. 357
Ocean View, DE 19970
121 Cold Spring Road
Carlisle, PA 17013
Easy Road
Carlisle, PA 17013
Hanover Street
Carlisle, PA 17013
120 Cold Springs Road
Carlisle, PA 11013
32-34 East Main Street
Newville, PA 17241
121 Cold Springs Rd.
Carlisle, PA l7013
15 Baltimore St., Apt. 2 l/2
Ht. 1I01ly Spring, PA 17065
16 Baltimore St., Apt. 4
Ht. /lolly Springs, PA 17065
121 Cold Springs Road
Carlisle, PA l7013
Betty Neison Trailer Park
Carlisle, PA 17013
17 South IIlgh Street
Newvillc, PA 17241
Dates
8/3/95 to
present
7/95 to
8/3/95
5/95 to
7/95
2/95 to
4/95
1/95 to
2/95
7/94 to
8/94
3/20/94
to 7/94
1/01/94 to
3/19/94
10/93 to
12/93
8193 to
9/93
8/91 to
8/93
3/91 to
7/91
9/90 to
2/91
PlalntiffR do not know If Defendant Galen Varner resides
with any other perRons.
6. Plaintiffs have 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.
Plaintiffs do not have information of a custody proceeding
concerning lhe child pending in a court of this Commonwealth.
Plaintiff is not aware of a person not a party to the
proceedings who has physical custody of the child and claims to
have custody or visitation rights with respect to the child.
7. The besl interest and permanent welfare of the child will be
served by grant Ing the relief request because:
a. Plaintiffs are better able to care for the
phYRical, omotional, educational ond medical needs of
the child;
b. On AUgUHL 3, 1995, Defendant Jane Hiddaugh
requested that Plaintiff take custody of the child.
c. Defendant June Middaugh has abused drugs and in
fact overdosed on drugs on or about August 6, 1995;
d. Defendant Galen Varner has not seen the child since
birth; and
e. The child, who is 16 years of age, prefers to live
with Plaintiffs.
e. PlalnLiffs can raise the child in an cnvironmcnt
that Is much more stable than either of the Defendants