Filed by Conrad · Case 26-104594-DO

37a Helgren Comprehensive Witness 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).

Loading document…

Filing text (searchable excerpt)

STATE OF MICHIGAN

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

 Adrienne Marjorie Rockenhaus, Plaintiff/Counter-                   **Case No. 26-104594-DO** Hon.
 Defendant, v. Conrad Alan Rockenhaus,                              Nicole N. Goodson
  Defendant/Counter-Plaintiff.

                    COMPREHENSIVE WITNESS AFFIDAVIT OF ANN HELGREN

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 and am contemporaneously executing
three additional witness affidavits in matters between Adrienne Marjorie Rockenhaus and Conrad Alan
Rockenhaus. The previously executed affidavit is a Witness Affidavit dated April 24, 2026 in the related
personal protection order matter (Case No. 26-102221-PP), addressing events of March 2 and 3, 2026 (the
"First Affidavit"). The three contemporaneously executed affidavits are: (i) a Supplemental Witness Affidavit
of Ann Helgren Regarding Events of May 4 through May 6, 2026, captioned in the related personal
protection order matter (Case No. 26-102221-PP) (the "May Supplemental"); (ii) a Documentary-Records
Affidavit of Ann Helgren Regarding the February 17, 2026 Google Family Group Notifications (the
"Documentary Records Affidavit"); and (iii) this Comprehensive Witness Affidavit. All three
contemporaneous affidavits are being executed by me on the same date. The First Affidavit, the May
Supplemental, and the Documentary Records Affidavit are each incorporated by reference. This
Comprehensive Witness Affidavit addresses additional matters of personal knowledge that were not within
the scope of any of those three affidavits, and does not modify or replace any of them.
2. PURPOSE AND BASIS OF KNOWLEDGE. I provide this Comprehensive Witness Affidavit based on my
personal, firsthand knowledge of the following categories of events, conversations, and records: (a) the
absence of any agency or harassing conduct by me toward Adrienne Marjorie Rockenhaus; (b) a
conversation with Adrienne at her residence on or about February 25 or 26, 2026 concerning the personal
protection order she had then recently obtained; (c) Adrienne's statements to me concerning her sources of
income, including frequent distributions from a trust; (d) Adrienne's statements to me concerning her refusal
to read correspondence from Counter-Plaintiff during his federal incarceration, and my personal observation
of Adrienne's February 14, 2026 Valentine's Day social media post concerning Counter-Plaintiff; (e) my
observations at two federal court proceedings in October 2025 concerning Counter-Plaintiff, where Adrienne
attended in the company of a man I had not previously met; (f) events in February or early March 2026
involving Adrienne's apparent unauthorized access to Counter-Plaintiff's Google account and to my own
Google account, and the origin of a handwritten note I wrote at that time; (g) text messages I received from
Adrienne on March 2, 2026; (h) Apple platform notifications I received on my personal Apple device
beginning on March 2, 2026 regarding an unknown AirTag detected as moving with me; (i) my custody of a
wallet belonging to Counter-Plaintiff from approximately March 12, 2026 through March 29, 2026; (j) an in-
person statement by Adrienne to me on or about March 4 or March 5, 2026; (k) an electronic communication
I received on March 7, 2026 that appeared on its face to have been sent from an account in Counter-
Plaintiff's name but that I recognized to have been authored by Adrienne; (l) handwritten signs Adrienne
posted at her residence on or about Mar

Excerpt of 25473 characters. Download the full PDF for complete text.

About this filing

37a Helgren Comprehensive Witness 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
37a_Helgren_Comprehensive_Witness_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/37a_Helgren_Comprehensive_Witness_Affidavit_FINAL_2026-05-14.pdf