Opposing party · Case 26-102221-PP

03a PPO Pet Reponse To Motion To Terminate Pt 1

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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Filing text (searchable excerpt)

~S'lCHIATR y THE PSYCHIATRY AND PSYCHOLOGY CENTER

  ~
                   650 G1m,-wow ST, NORTHVILLt:, Ml 48167
                   PHONF. (248) 912-0080
                   rA.'C   (248) 912-02os

PsYCHOLQG'{

      December 111 , 2025

      RE: Adrienne Rockenhaus
      DOB: 08/16/1979

      To the Honorable United States District Court,

      I am Dr. Robert Garcia, MD, a board-certified psychiatrist practicing in Northville, Michigan I am
      currently the treating psychiatrist for Adrienne Rockenhaus. who is under my ongoing care at The
      Psychiatry & Psychology Center.

      Adrienne has a longstanding history of anxiety and trauma-related symptoms, which have been
      further intensified by recent traumatic experiences. She currently exhibits PTSD-like symptoms
      including:

          •   Severe stress responses during conflict or procedural demands
          •   Difficulty maintaining emotional regulation under pressure
          •   Episodes of overwhelming anxiety that interfere with her ability to communicate or
              advocate for herself effectively

      These symptoms are chronic, and they are notably exacerbated in high-stakes or adversarial
      environments such as legal proceedings. Based on my clinical assessment. it is my professional
      opinion that Adrienne is not able to safely represent herself in a federal civil matter. The stress and
      demands of self-representation would likely result in significant deterioration of her mental health
      and could worsen her symptoms.

      For these reasons. I recommend that Adrienne be appointed legal counsel to ensure her ability to
      participate in legal proceedings without undue risk to her mental health.

      Sincerely,

         ~Lu-vv
      Robert Garcia, MD
      Diplomate of the American Board of Psychiatry & Neurology
      Fellow of the American Psychiatric Association
      An affiliate of Henry Ford/Ascension Health Medical Staff

                                                                                                                00002
To the Honorable Judge:

The attached screenshots document the Respondent's recent and ongoing campaign of
cyberstalking and psychological terror, conducted from inside a federal prison facility.
Because the Respondent cannot physically reach me, he is weaponizing the Bureau of
Prisons' "CorrLinks" email system to bypass my "no-contact" boundaries and infiltrate
my private business network.

1. The "Sev Bivens" Harassment (February 14, 2026) On Valentine's Day (Feb 14, 2026),
the Respondent sent an email invite to my private business domain
(sevbivens@cannabytes.net).

   • The Threat: "Bivens" is a direct, mocking reference to a federal Bivens Civil
     Rights Lawsuit I recently filed against a federal officer who sexually harassed me
     and assaulted my home.
   • The Retaliation: The Respondent was permitted to use the government email
     system to send this stalking taunt just 48 hours after I fonnally notified his federal
     defense attorney that I was a victim of his sexual coercion and that J was filing for
     this exact Personal Protection Order. Instead of his communication privileges
     being locked down to protect a victim, he was allowed to use the prison system to
     retaliate against my request for safety.
   • The Intent: By creating the alias "Sev Bivens," the Respondent is intentionally
     mocking my sexual assault trauma and signaling that he finds my victimization
     amusing. This was a calculated act of sadism designed to cause severe emotional
     distress.

2. The "Bre Newman" Harassment (February 12, 2026) Two days prior, the Respondent
sent a similar invite to brenewmang@cannabytes.net.

    •   The Threat: He purposefully routed a message meant for an ex-partner from
        twenty years ago through my private business server's "'catch-all" email system.
    •   The Intent: This was a digital "signal flare" intended to punish m

Excerpt of 39571 characters. Download the full PDF for complete text.

About this filing

03a PPO Pet Reponse To Motion To Terminate Pt 1: opposing-party filing by Adrienne Rockenhaus (aka Adrienne Blair aka Adrienne Hein (@adezero)) 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
03a_ppo_pet_reponse_to_motion_to_terminate_pt_1.pdf
Case number
26-102221-PP
Category
Opposing party
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/opposing/03a_ppo_pet_reponse_to_motion_to_terminate_pt_1.pdf