Filed by Conrad · Case 26-102221-PP

Rockenhaus Affidavit PPO Hearing Notarized

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
                              IN THE 3RD JUDICIAL CIRCUIT COURT
                                       COUNTY OF WAYNE

Adrienne Marjorie Rockenhaus,                          Case No. 26-102221-PP
     Petitioner,                                       Hon. Yvonna C. Abraham
V.

Conrad Alan Rockenhaus,
     Respondent.

     AFFIDAVIT OF RESPONDENT CONRAD ALAN ROCKENHAUS IN SUPPORT OF
            MOTION TO TERMINATE PERSONAL PROTECTION ORDER

 STATE OF MICHIGAN )

                      ) ss.

 COUNTY OF WASHTENAW )

 I, Conrad Alan Rockenhaus, being duly sworn and under penalty of perjury, hereby state the

 following :

 1. IDENTITY AND CAPACITY: My name is Conrad Alan Rockenhaus. I am the Respondent in the

 above-captioned matter. I am over the age of 18, am competent to testify, and have personal knowledge

 of the facts stated in this affidavit except where stated on infonnation and belief.

 2. MILITARY AND DISABILITY STATUS: I am a United States Navy combat veteran. I served in

 Afghanistan. I am l 00% service-connected disabled and receive compensation from the Department of

 Veterans Affairs and Social Security Disability Insurance as my sole sources of income.

 3. CURRENT RESIDENCE: I currently reside at 1690 Brookfield Drive, Ann Arbor, Michigan

 48103, pursuant to a lease entered through a VA-coordinated housing program. This has been my

 residence since March 27, 2026.

 4. FEDERAL CUSTODY, INITIAL INTAKE: I was arrested on September 4, 2025, and taken into

 federal custody on that date. I was initially held at the Livingston County Jail pursuant to a contract

 between that facility and the United States Marshals Service. Although the Livingston County Jail is a
county facility, my custody there was federal from the moment of intake.

5. TRANSFER TO FCI MILAN: I was subsequently transferred from the Livingston County Jail to

the Federal Correctional Institution at Milan, Michigan (FCI Milan), and designated as federal inmate

#39400-480.

6. CONTINUOUS FEDERAL CUSTODY: I remained in continuous federal custody, first at the

Livingston County Jail under USMS contract, then at FCI Milan, from September 4, 2025 through
March 2, 2026.

7. RELEASE FROM FCI MILAN: I was released from FCI Milan on March 2, 2026, pursuant to the

Federal Bureau of Prisons' BP-A0714 Notice of Release and Arrival (a true copy of which is included

as Exhibit 13 to the PPO Hearing Bundle). I was released to the Robert J. Delonis Center, 312 West

Huron Street, Ann Arbor, Michigan, which was my designated release address.

8. TRANSITION FROM DELONIS CENTER TO CURRENT RESIDENCE: I remained at the

Delonis Center from March 2, 2026 through March 27, 2026, when I signed my lease at 1690

Brookfield Drive, Ann Arbor, Michigan, and moved into that residence.

9. PHYSICAL INCAPACITY DURING CUSTODY: During the period from September 4, 2025

through March 2, 2026, I was physically incapable of traveling to or accessing Petitioner's residence,

communicating with Petitioner outside of monitored channels (U.S. Mail and the BO P's TRULINCS
electronic messaging system, both only available from FCI Milan), or taking any action with respect to
joint financial accounts, mail, or marital property.

10. GENERAL DENIAL OF PETITION ALLEGATIONS: I have read the Ex Parte Petition for

Personal Protection Order filed by Petitioner on or about February 19, 2026. I categorically deny the

factual allegations of violence, threats, stalking, harassment, or coercion set forth in the Petition.

Specific denials follow .

11. DENIAL OF ALLEGED SEXUAL ASSAULT: I did not rape Petitioner. I did not commit any

act of criminal sexual conduct against Petitioner on any date. The allegation is false .

12. DENIAL OF ALLEGED PHYSICAL ASSAULT PATTERN: I did not subject Petitioner to a

pattern of physical aggression, coercion, or domestic violence. I did not use my physical size to
overpower, intimidate, or trap Petitioner. The allegation is false.

13.

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About this filing

Rockenhaus Affidavit PPO Hearing Notarized: 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
Rockenhaus_Affidavit_PPO_Hearing_Notarized.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/Rockenhaus_Affidavit_PPO_Hearing_Notarized.pdf