Filed by Conrad · Case 26-104594-DO

04c Supplement Omnibus Part One 2026-05-10 Packet

Rockenhaus v. Rockenhaus (Divorce) · Wayne County Circuit Court (Third Judicial Circuit), Hon. Nicole N. Goodson · Filed 2026-05-10

Canonical record: rockenhaus.net. Disputed domains are indexed at /disputed-domains/ (not authoritative).

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STATE OF MICHIGAN

                 IN THE THIRD JUDICIAL CIRCUIT FOR THE COUNTY OF WAYNE
                                FAMILY DIVISION, DOMESTIC RELATIONS

 ADRIENNE MARJORIE ROCKENHAUS,                                        Case No. 26-104594-DO
 Plaintiff,
                                                                      Hon. Nicole N. Goodson
 v.

 CONRAD ALAN ROCKENHAUS,
 Defendant.

DEFENDANT'S SECOND SUPPLEMENT TO PART ONE OF OMNIBUS THREE-LAYER
                 MOTION (EVIDENCE PRESERVATION)

NOW COMES Defendant, Conrad Alan Rockenhaus, appearing pro se, and pursuant to MCR 2.310, MCR
2.313, and the Court's inherent authority to preserve the evidentiary record in pending litigation, respectfully
submits this Second Supplement to Part One of his Omnibus Three-Layer Motion (the "Omnibus Motion"),
filed in this matter on April 16, 2026.
This Second Supplement does not seek new relief beyond the framework already requested in the Omnibus
Motion. It expands the categories of evidence subject to the preservation order requested in Part One to
include specific physical-residence, landlord-tenant, public-narrative-amplification, and email-harassment
categories that have become evidentiarily significant since May 6, 2026. In support thereof, Defendant
states as follows:

                                  I. RELATIONSHIP TO PRIOR FILINGS
1. The Omnibus Motion is incorporated by reference. Part One of the Omnibus Motion identifies eight
   categories of evidence (Categories A through H) for which preservation is sought under MCR 2.310,
   MCR 2.313, and the spoliation framework set forth in Teel v. Meredith, 284 Mich App 412 (2009).
2. Defendant's First Supplement to Part One, filed May 6, 2026, added Categories I through N to the
   preservation request, addressing the compromise and operation of Defendant's Apple ID, email, and
   Facebook accounts; the operation of an additional Facebook account configured to amplify content
   adverse to Defendant; coordinated comment-lockout following amplification; and AirTag location tracking
   of Defendant's wallet.
3. This Second Supplement adds Categories O through T, addressing three further developments since
   May 6, 2026: (a) Plaintiff's vacation of her last known principal residence on May 9, 2026, including the
   operation of a personal pickup truck and the involvement of an unidentified third party in the vacation
   activity; (b) the continuation of the public-narrative campaign first documented in Defendant's Second
   Supplemental Motion in Wayne County Case No. 26-102221-PP (filed May 6, 2026), which has now
   generated third-party speculation on the X social media platform regarding Defendant's status and
   whereabouts; and (c) two harassing emails transmitted to a material witness in this proceeding on the
   same day as Plaintiff's vacation of the residence, from a Gmail account previously unknown to
   Defendant, advancing the same dead-man's-switch narrative seeded in the May 4, 2026 Facebook post.
4. The legal authority, the evidentiary foundation, and the relief framework remain as set forth in the
    Omnibus Motion and the First Supplement and are not restated here.
 5. Defendant designates this filing as the Fourth Omnibus filing in this matter and the Third Supplement to
    the Omnibus Three-Layer Motion: original (filed April 16, 2026); Supplement to Part Three concerning
    rockenhaus.com (filed May 5, 2026); First Supplement to Part One adding Categories I through N (filed
    May 6, 2026); and the present Second Supplement to Part One adding Categories O through T.

                                  II. SUPPLEMENTAL FACTUAL BASIS
 6. Since the filing of the First Supplement to Part One on May 6, 2026, the following developments have
    made specific additional categories of evidence preservation immediately necessary.
 7. Plaintiff's vacation of last known principal residence. Plaintiff's last known principal residence is
    26695 Ross Drive, R

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About this filing

04c Supplement Omnibus Part One 2026-05-10 Packet: filing by Conrad Alan Rockenhaus in Rockenhaus v. Rockenhaus (Divorce), Michigan Case No. 26-104594-DO, Wayne County Circuit Court. PDF and searchable text at rockenhaus.net (canonical court record). Disputed third-party domains: /disputed-domains/.

File name
04c_Supplement_Omnibus_Part_One_2026-05-10_packet.pdf
Filed date
Case number
26-104594-DO
Category
Filed by Conrad
Disputed domains
View disputed domains (asserted controlled by Adrienne Rockenhaus; not authoritative).
Related context
FAQ, Joe Prich evidence, Rob Hein
Canonical record
rockenhaus.net
Direct PDF link
https://rockenhaus.net/wayne_do_26-104594-DO/filed/04c_Supplement_Omnibus_Part_One_2026-05-10_packet.pdf