Filed by Conrad · Case 26-102221-PP

Exhibit 17 Connor Affidavit

Rockenhaus v. Rockenhaus (PPO) · Wayne County Circuit Court (Third Judicial Circuit)

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

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STATE OF MICHIGAN
                    THIRD JUDICIAL CIRCUIT COURT, WAYNE COUNTY
                         ADRIENNE MARJORIE ROCKENHAUS, Petitioner,
                                           v.
                           CONRAD ALAN ROCKENHAUS, Respondent.
                                     Case No. 26-102221-PP
                                      Hon. PPO Docket Judge
                             Hearing: April 29, 2026 at 11:30 AM (Zoom)

                             EXHIBIT 17
           Affidavit of Deandre Connor, Notarized April 24, 2026

Description:
Notarized affidavit of Deandre Connor, executed under penalty of perjury and notarized April 24, 2026.
Connor was frequently in Respondent's physical presence throughout the March 2026 period, including
the specific dates of the alleged PPO violations on March 27-30, 2026.

Relevance:
Sworn third-party witness corroborating Exhibit 12 (Howell). Connor testifies from personal observation
that throughout the March 2026 period, including the specific dates of March 27-30, 2026, Respondent
possessed only an Apple iPhone and did not possess or use any Android device, Motorola Moto G
Play, or Signal messaging application. Together with Howell (Exhibit 12) and Chavous (Exhibit 16), this
affidavit forms a three-witness corroboration of the device-non-possession testimony in Respondent's
own affidavit (Exhibit 14).

                    Submitted by Conrad Alan Rockenhaus, Respondent (pro se)
              In Support of Respondent's Motion to Terminate Personal Protection Order
                                    STATE OF MICHIGAN
                      3RD JUDICIAL CIRCUIT, WAYNE COUNTY

                                 Adrienne Marjorie Rockenhaus,
                                           Petitioner,
                                               V.
                                    Conrad Alan Rockenhaus,
                                          Respondent.

                                     Case No. 26-102221-PP

 WITNESS AFFIDAVIT REGARDING RESPONDENT'S MOBILE DEVICE USAGE

STATE OF MICHIGAN
COUNTY OF        vJ~,s i-\ +t. vir--..J

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

1. IDENTITY AND RELATIONSHIP TO RESPONDENT: My name is Deandre Connor. I
am ~   6  years of age. I reside at 1998 Pauline Blvd, Ann Arbor, MI 48103 . My relationship
to Respondent Conrad Alan Rockenhaus is: [ ] Current roommate [X] Former resident at the
Delonis Center, Ann Arbor, MI [X] Friend/Acquaintance with regular contact [ ] Other:

2. DURATION OF ACQUAINTANCE: I met Conrad Alan Rockenhaus on March 2, 2026,
the day he was released from federal custody at FCI Milan. We met at the Delonis Center in
Ann Arbor, Michigan, where I was a transitional housing resident at the time. From that date
through the present, I have maintained regular in-person contact with Conrad, including during
the period we both lived at the Delonis Center and continuing after he moved to his current
apartment. I know that before March 2, 2026, Conrad was incarcerated at FCI Milan and could
not have possessed any mobile device during that time.

3. PERSONAL KNOWLEDGE OF MOBILE DEVICE: Throughout the entire time I have
known Conrad Alan Rockenhaus, from March 2, 2026 to the present, the only personal mobile
device I have ever seen him use is an Apple iPhone. I have never observed Conrad in
possession of, or using, an Android-based mobile device of any kind, including but not limited
to a Motorola Moto G Play or any other Motorola device.

4. NO ANDROID DEVICE OBSERVED: I state specifically that at no point between March
2, 2026 and the present, including the period on or around March 29-30, 2026, have I ever seen
Conrad Alan Rockenhaus with a Motorola Moto G Play, a Verizon-network Android device,
or any Android phone.

5. FREQUENT PRESENCE DURING MARCH 2026 AND NO OBSERVATION OF
SIGNAL USE: Throughout March 2026, including the specific dates of March 27

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About this filing

Exhibit 17 Connor Affidavit: filing by Conrad Alan Rockenhaus in Rockenhaus v. Rockenhaus (Personal Protection Order (PPO)), Michigan Case No. 26-102221-PP, Wayne County Circuit Court. PDF and searchable text at rockenhaus.net (canonical court record). Disputed third-party domains: /disputed-domains/.

File name
Exhibit_17_Connor_Affidavit.pdf
Case number
26-102221-PP
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_ppo_26-102221-PP/filed/Exhibits/Exhibit_17_Connor_Affidavit.pdf