Filed by Conrad · Case 26-104594-DO

12c Supplemental Brief In Support Of Pending Emergency Motion 2026-05-14

Rockenhaus v. Rockenhaus (Divorce) · Wayne County Circuit Court (Third Judicial Circuit), Hon. Nicole N. Goodson · Filed 2026-05-14

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/Counter-Defendant,
                                                                     Hon. Nicole N. Goodson
 v.

 CONRAD ALAN ROCKENHAUS,
  Defendant/Counter-Plaintiff.

      DEFENDANT/COUNTER-PLAINTIFF'S SUPPLEMENTAL BRIEF IN SUPPORT OF
       PENDING EMERGENCY MOTION FOR PRESERVATION ORDER AND ORDER
                    PROHIBITING SPOLIATION OF EVIDENCE

                                             I. INTRODUCTION
1. Defendant/Counter-Plaintiff Conrad Alan Rockenhaus, pro se, files this Supplemental Brief in support of
   his Emergency Motion for Preservation Order and Order Prohibiting Spoliation of Evidence (the "Pending
   Motion"), filed May 13, 2026. This Brief seeks no new or expanded relief. The relief already requested in
   the Pending Motion, including preservation directives addressed to X Corp. for the named X-platform
   accounts (including the @rosebuttcheeks account), Meta Platforms, Inc. (including Facebook and
   Threads), and Google LLC (including the email account [email protected]), is the relief sought.
2. This Brief is filed solely to place before the Court four supplemental evidentiary findings developed by
   Defendant/Counter-Plaintiff on May 14, 2026 that strengthen the inferential basis on which the Pending
   Motion already rests. The findings are: (a) the cessation of publicly-attributable X-platform activity by the
   twelve previously-monitored X-network accounts since May 9, 2026, together with the documentary
   attribution of the @rosebuttcheeks account (already named in the Pending Motion) as a private-identity
   X account operated by Plaintiff/Counter-Defendant Adrienne Marjorie Rockenhaus and continuing to post
   throughout the relevant period; (b) a temporal synchronization at three-minute resolution on May 9, 2026
   between an electronic mail message sent to Witness Ann Helgren and an X-platform reply by the
   account @spuntpatrol; (c) the identification of @BiancaWestfall as a previously-undocumented
   operational amplifier of the coordinated case-narrative content with a five-month history of such activity,
   including the publication of original content targeting Defendant/Counter-Plaintiff's federal-court attorney;
   and (d) the operational migration of the coordinated activity from publicly-attributable X accounts to Meta-
   owned platforms and email channels while continuing under cover of the @rosebuttcheeks private-
   identity account.
3. The chain of custody, capture methodology, and SHA-256 hash manifest for the public-record X scrape
   datasets supporting the findings stated in this Brief are set forth in the Second Chain of Custody
   Supplement and the Third Chain of Custody Supplement, both filed contemporaneously herewith.

                                       II. PROCEDURAL POSTURE
4. On May 13, 2026, Defendant/Counter-Plaintiff filed the Pending Motion together with the Chain of
   Custody Supplement supporting the May 12, 2026 Scrape Evidence (the "First Supplement"). Both filings
   were accepted through the Third Judicial Circuit Court Applications (CCApps) filing system on the same
   date.
5. By Order entered May 14, 2026, this Honorable Court denied the emergency framing of the Pending
   Motion while leaving the Pending Motion alive on the regular motion docket pending submission of an
   ePraecipe for non-emergency hearing under Zoom. Defendant/Counter-Plaintiff submitted the required
   ePraecipe on May 14, 2026 at approximately 16:45 UTC.
6. On May 14, 2026, between approximately 22:02 UTC and 22:42 UTC, Defendant/Counter-Plaintiff
   captured additional public-record X-platform scrape datasets covering the period from May 12, 2026
   forward and discrete historical conversation 

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About this filing

12c Supplemental Brief In Support Of Pending Emergency Motion 2026-05-14: 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
12c_Supplemental_Brief_in_Support_of_Pending_Emergency_Motion_2026-05-14.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/12c_Supplemental_Brief_in_Support_of_Pending_Emergency_Motion_2026-05-14.pdf