Filed by Conrad · Case 26-104594-DO

06a Supplement Motion Issuance Subpoenas 2026-05-11

Rockenhaus v. Rockenhaus (Divorce) · Wayne County Circuit Court (Third Judicial Circuit), Hon. Nicole N. Goodson · Filed 2026-05-11

Canonical record: rockenhaus.net. Disputed domains are indexed at /disputed-domains/ (not authoritative).

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STATE OF MICHIGAN

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

 ADRIENNE MARJORIE ROCKENHAUS,                                     Case No. 26-104594-DO
   Plaintiff,
                                                                   Hon. Nicole N. Goodson
 v.

 CONRAD ALAN ROCKENHAUS,
  Defendant.

                SUPPLEMENT TO MOTION FOR ISSUANCE OF SUBPOENAS
      (Adding Michigan Department of State, Google LLC, and Meta Platforms, Inc. as the Eleventh,
                                  Twelfth, and Thirteenth Subpoena Targets)

NOW COMES Defendant, Conrad Alan Rockenhaus, appearing pro se, and respectfully submits this
Supplement to the Motion for Issuance of Subpoenas filed in this matter on April 24, 2026, which remains
pending before this Court. In support thereof, Defendant states:

                                  I. RELATIONSHIP TO ORIGINAL MOTION
1. On April 24, 2026, Defendant filed his Motion for Issuance of Subpoenas (the "Original Motion") seeking
   judicial issuance of ten subpoenas duces tecum directed at financial-records custodians, federal-
   defender custodians, and one institutional records custodian, for use in discovery of marital assets,
   traced benefit payments, and counterclaim-relevant communications. The Original Motion remains
   pending before this Court.
2. On April 30, 2026, this matter was reassigned to Hon. Nicole N. Goodson by Order of Disqualification
   entered under MCR 2.003. All subsequent filings and chambers correspondence in this case are
   accordingly directed to Judge Goodson.
3. This Supplement adds three additional subpoena targets to those identified in the Original Motion:
   Michigan Department of State (Eleventh Target), Google LLC (Twelfth Target), and Meta Platforms,
   Inc. (Thirteenth Target). The factual predicate for all three arose between May 4, 2026 and May 9, 2026,
   after the Original Motion was filed, and therefore could not have been included in the Original Motion at
   the time of filing.
4. Defendant requests that this Supplement be considered together with the Original Motion at such time as
   the Court takes up motion practice in this matter, and that any order granting the Original Motion
   incorporate the relief sought in this Supplement.

                     II. FACTUAL BASIS FOR THE SUPPLEMENTAL SUBPOENAS
                         A. The May 9, 2026 Vacation of the Marital-Property Residence
5. The evidentiary predicate for the Eleventh Target is set out in detail in the Second Supplement to Part
   One of the Omnibus Three-Layer Motion (Evidence Preservation), filed concurrently with this
   Supplement on May 11, 2026, and is incorporated herein by reference.
 6. In summary: on Saturday, May 9, 2026, at approximately 9:30 PM EDT, Plaintiff Adrienne Marjorie
    Rockenhaus vacated the marital-property residence of record at 26695 Ross Drive, Redford, Michigan,
    transporting personal property from the residence in a white four-door Ford F-250 Super Duty pickup
    truck bearing Michigan license plate 7RBK87. The vehicle was operated by a single male individual
    whose identity is not known to Defendant.
 7. The vacation of the residence and the involvement of the third-party operator are documented by
    contemporaneous photographs and video taken by witness Ann Helgren, preserved in the record as
    Exhibits 2 and 3 to the Second Supplement to Part One of the Omnibus Three-Layer Motion.
 8. Plaintiff has not disclosed her current address, her forwarding address, the identity of the operator of
    plate 7RBK87, or the destination of the property removed from the residence. Plaintiff's counsel of record
    has made no such disclosure on her behalf.

                     B. The May 9, 2026 Email Harassment of Witness Ann Helgren
 9. On the same day as Plaintiff's vacation of the marital-property residence, Saturday, May 9, 2026, witness
   

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About this filing

06a Supplement Motion Issuance Subpoenas 2026-05-11: 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
06a_Supplement_Motion_Issuance_Subpoenas_2026-05-11.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/06a_Supplement_Motion_Issuance_Subpoenas_2026-05-11.pdf