Filed by Conrad · Case 26-102221-PP

Exhibit 01 Feb9 Email Berente

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 1
     February 9, 2026 Email, Petitioner to Federal Defender Kaycee
                                Berente

Description:
Email sent by Petitioner Adrienne Rockenhaus from adrienne@rockenhaus.com to Federal Defender
Kaycee Berente at Kaycee_Berente@fd.org on Monday, February 9, 2026 at 1:00 PM, with subject line
“LEGAL/LIABILITY NOTICE.” Petitioner explicitly announces her intent to seek a “Restraining Order”
against Respondent as the mechanism to “bar Conrad from coming to my residence or accessing
financial assets,” eleven days before the ex parte PPO petition was filed on February 20, 2026.

Relevance:
This email establishes that the Personal Protection Order was conceived and announced to a federal
attorney as a financial and access-control instrument, not as a response to a specific threat or incident
of domestic violence. Petitioner states the purpose of the restraining order in her own words: to create
“an absolute legal barrier” preventing Respondent from “accessing financial assets,” specifically the VA
disability benefits that had been flowing into accounts under her control. This contemporaneous written
statement by Petitioner, eleven days pre-filing, is determinative of motive under MCL 600.2950.

                    Submitted by Conrad Alan Rockenhaus, Respondent (pro se)
              In Support of Respondent's Motion to Terminate Personal Protection Order
Email from Adrienne Rockenhaus to Kaycee Berente — February 9, 2026 at 1:00 PM

From: Adrienne Rockenhaus 
Sent: Monday, February 9, 2026 1:00 PM
To: Kaycee Berente 
Subject: LEGAL/LIABILITY NOTICE

EXTERNAL SENDER

Kaycee, regarding your note that Conrad plans to 'go to a hotel':

You are relying on the 'plan' of a man the BOP has chemically restrained with Zyprexa and
Suboxone. He is not medically competent to determine his safety.

Releasing a patient with uncontrolled Grand Mal seizures to a hotel room alone is a death sentence.
There is no one to call 911 when he seizes. This is legally no different than releasing him to the
street.

The 'VA Social Workers' you mentioned cannot ethically or legally discharge a Care Level 4 patient to
a 'hotel' based on the ramblings of a brain damaged, over-medicated patient. I demand to see the
written discharge plan from these social workers. If the plan is 'homelessness,' the BOP retains full
liability for the result.

As documented in my previous filings, the joint SoFi account designated for his VA benefits was extra
judiciously closed on September 17, 2025, immediately following my Habeas filing. Conrad cannot
open a new FDIC-insured bank account from prison without access to two forms of ID and the
internet. If he believes he has a functional bank account, he is hallucinating or delusional due to the
Zyprexa (Olanzapine) and Suboxone regimen the BOP is administering.There is no destination for
those funds. He will be released with $0.00 accessible cash.

Conrad is legally indigent. He filed a motion with the court on August 21, 2025, declaring his
indigence due to lack of employment and income.

The BOP cannot release a Care Level 4 patient with uncontrolled seizures to a hotel he cannot pay
for.

Without a verified, funded placement, releasing him to a "hotel" is releasing him to the street. This
violates BOP Program Statement 7310.04 regarding safe release.

LEGAL NOTICE - Restraining Order Initiated:

Because you informed me that the BOP intends to release him without a medical 

Excerpt of 4887 characters. Download the full PDF for complete text.

About this filing

Exhibit 01 Feb9 Email Berente: 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_01_Feb9_Email_Berente.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_01_Feb9_Email_Berente.pdf