Filed by Conrad · Case 26-104594-DO

Helgren May Supplemental Affidavit Final 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

  Adrienne Marjorie Rockenhaus, Petitioner, v. Conrad Alan          **Case No. 26-102221-PP**
  Rockenhaus, Respondent.

  SUPPLEMENTAL WITNESS AFFIDAVIT OF ANN HELGREN REGARDING EVENTS OF MAY 4
                            THROUGH MAY 6, 2026

STATE OF MICHIGAN )
                        ) ss.
COUNTY OF WAYNE )

I, Ann Helgren (printed name), being duly sworn and under penalty of perjury, hereby state the following:

1. IDENTITY AND RELATIONSHIP TO PRIOR AND CONTEMPORANEOUS AFFIDAVITS: My name is
Ann Helgren. I am ______ years of age. I reside at 15869 Lenmore, Redford Township, Michigan. I also go
by the name "Annie." I have previously executed one witness affidavit in this personal protection order
matter and am contemporaneously executing two additional witness affidavits in the related divorce matter
between Petitioner Adrienne Marjorie Rockenhaus and Respondent Conrad Alan Rockenhaus (Case No.
26-104594-DO, in the Family Division of this Court). The previously executed affidavit is a Witness Affidavit
dated April 24, 2026 in this personal protection order matter, addressing events of March 2 and 3, 2026 (the
"First Affidavit"). The contemporaneously executed affidavits are: (i) a Documentary-Records Affidavit of
Ann Helgren Regarding the February 17, 2026 Google Family Group Notifications (the "Documentary
Records Affidavit"); and (ii) a Comprehensive Witness Affidavit of Ann Helgren (the "Comprehensive
Witness Affidavit"). Both contemporaneous affidavits are being executed by me on the same date as this
Supplemental Affidavit. The First Affidavit is incorporated by reference. This Supplemental Affidavit
addresses only the events of May 4 through May 6, 2026, described below, and does not modify or replace
the First Affidavit.
2. PURPOSE OF THIS SUPPLEMENTAL AFFIDAVIT: I provide this Supplemental Affidavit based on my
personal, firsthand knowledge of four categories of events that occurred from May 4 through May 6, 2026:
(a) a Facebook post published on May 4, 2026 that named me by name; (b) a comment posted to a
Facebook photograph on my own account by an account using the name "Demi-Jo Matthews"; (c) the
existence of that same "Demi-Jo Matthews" Facebook account, which has blocked me from viewing it; and
(d) my participation in a walk-in report to the Redford Township Police Department on May 5, 2026.
3. THE MAY 4, 2026 FACEBOOK POST NAMING ME: On or about May 4, 2026, I personally saw a
Facebook post published under Conrad Rockenhaus's account containing language characterized in the
post as a "[SYSTEM ALERT] DEAD MAN'S SWITCH." The post named five persons whom the post
identified as "responsible for my death." I was named in that list. I personally viewed the post on Facebook.
Seeing my own name in a published post identifying persons "responsible for my death" was distressing to
me. I had no involvement of any kind in the publication of that post. I have no knowledge or reason to
believe that Conrad Rockenhaus authored or authorized the post; I understand the post to have been
published while his Facebook account was compromised.
4. COMMENT ON MY OWN PHOTOGRAPH BY THE "DEMI-JO MATTHEWS" ACCOUNT: I maintain a
personal Facebook account in my own name, on which I from time to time publish photographs. On April 24,
2026, I published a photograph on my own Facebook account. On May 6, 2026, I personally observed a
comment on that photograph posted by an account using the name "Demi-Jo Matthews." The text of the
comment, as it appeared to me, was: "Is that right before you killed him?" I personally observed this
comment on my own photograph through my own Facebook account. I had not previously interacted with
any account using the name "Demi-Jo Matthews."
5. THE "DEMI-JO MATTHEWS" FACEBOOK ACCOUNT, BLOCKING: Following my observation of the
comment described in Paragraph 4, 

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About this filing

Helgren May Supplemental Affidavit Final 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
Helgren_May_Supplemental_Affidavit_FINAL_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/Helgren_May_Supplemental_Affidavit_FINAL_2026-05-14.pdf