Filed by Conrad · Case 26-102221-PP

Supplemental Affidavit For Notary

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,
                                           Petitioner,
                                                 V.
                                    Conrad Alan Rockenhaus ,
                                          Respondent.

                                    Case No. 26-102221-PP
                                    Hon. Yvonna C. Abraham

      SUPPLEMENTAL 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. PURPOSE OF SUPPLEMENTAL AFFIDAVIT: I previously executed and notarized an
affidavit in this matter on April 24, 2026, in support of my Motion to Terminate the Personal
Protection Order (submitted as Exhibit 14 to the PPO Hearing Bundle) . I make this
Supplemental Affidavit to address three categories of evidence added to my evidentiary
submission after April 24, 2026, on which my personal-knowledge testimony is appropriately
of record. This Supplemental Affidavit incorporates by reference the Identity, Capacity, and
Basis of Knowledge paragraphs of my April 24, 2026 affidavit. Everything stated below is
based on my personal, firsthand knowledge except where stated on information and belief.

2. AUTHENTICATION OF MARCH 4, 2026 EMAIL TO ROB HEIN AND ANN HELGREN: On
March 4, 2026 at approximately 4:17 AM Eastern , I sent an email from my then-active
personal Gmail address, conradrockenhausa2@gmail.com, to two recipients on the TO line:
Rob    Hein   at      rob .hein@qolity.com   (Petitioner's   nephew)   and   Ann   Helgren   at
anniehelgren@gmail.com (a longstanding friend of both Petitioner and me). The complete and
unredacted text of this email, with original headers preserved, has been submitted to this
Court as Exhibit 18 to my evidentiary bundle, forwarded to me in original form by Ann Helgren
on April 25, 2026. I authored that email. Its complete content is what I sent. The purpose of
the email was to ask Rob Hein , the only family member then in communication with Petitioner,
to assist in recovering my March 2026 federal disability benefits and my personal property
held by Petitioner, and to disclose my concern for Petitioner's mental health condition . The
conradrockenhausa2@gmail.com address was , at the time of the March 4, 2026 email and at
the time of the federal court filing referenced below, my active address of record on multiple
federal court filings, including the Notice of Change of Address I filed in pro per in the U.S.
District Court for the Eastern District of Michigan , Rockenhaus v. Stylianos Agapiou , et al. ,
Case No. 2:25-cv-12716, ECF No. 28, on March 9, 2026 (included as Component 2 of Exhibit
18). The address was also my address of record on my VA.gov account during that period. I
have   since   retired   the   conradrockenhausa2@gmail.com         address   and    now    use
crockenhaus@icloud.com as my primary email. The conradrockenhausa2@gmail.com
address was not a "burner'' account; it was my then-active personal address of record with a
federal district court. The email was not a stalking communication ; it was a request for
third-party assistance in recovering my benefits and property addressed to a TO line
containing both Petitioner's nephew and Petitioner's longstanding friend , neither of whom is a
person I am barred from communicating with under any order.

3. MARCH 2026 VA DISABILITY PAYMENT: The U.S. Department of Veterans Affairs
disburses my monthly disability compensation on the first business day of the month for which
the benefit is owed, pursuant to 38 C.F.R. § 3.31. Where the first calendar day of a month falls

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About this filing

Supplemental Affidavit For Notary: 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
Supplemental_Affidavit_for_Notary.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/Supplemental_Affidavit_for_Notary.pdf