Filed by Conrad · Case 26-102221-PP

12 Second Supplemental Motion Facebook Post 2026-05-06

Rockenhaus v. Rockenhaus (PPO) · Wayne County Circuit Court (Third Judicial Circuit) · Filed 2026-05-06

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, PERSONAL PROTECTION ORDER DOCKET

 ADRIENNE MARJORIE ROCKENHAUS,                                    Case No. 26-102221-PP
   Petitioner,
                                                                  Hon. PPO Docket
 v.                                                               (Assignment Pending)

 CONRAD ALAN ROCKENHAUS,
  Respondent.

         RESPONDENT'S SECOND SUPPLEMENTAL MOTION IN SUPPORT OF
      TERMINATION OF PERSONAL PROTECTION ORDER (FACEBOOK ACCOUNT
      COMPROMISE; PROPAGATION TO 1,700-MEMBER PUBLIC GROUP; DIRECT
           WITNESS HARASSMENT; REDFORD POLICE REPORT 26-7649)

NOW COMES Respondent, Conrad Alan Rockenhaus, appearing pro se, and respectfully submits this
Second Supplemental Motion in support of his pending Motion to Modify, Extend, or Terminate Personal
Protection Order, addressing newly arising events from May 4 through May 6, 2026, and in support thereof
states:

                                          I. INTRODUCTION
1. This Supplemental Motion is filed contemporaneously with Respondent's Motion to Compel Compliance
   with MCR 3.707(A)(2) and is incorporated into the evidentiary record of the pending Motion to Modify,
   Extend, or Terminate Personal Protection Order.
2. The events described in this Supplemental Motion further establish, and on independent grounds, that
   the Personal Protection Order entered February 20, 2026 is not serving its protective purpose, that
   Petitioner does not act consistent with a person in fear of Respondent, and that continued operation of
   the PPO is in fact being used as cover for conduct directed at third parties.
3. Specifically, on or about May 4, 2026, an unauthorized post was published to Respondent's Facebook
   account ("the Post") falsely declaring Respondent deceased and naming multiple identifiable third
   persons, including, without limitation, Ann Helgren and Pamela Jordan, both of Redford Township, as
   persons "responsible for my death." The Post included physical addresses and geolocation data for the
   named persons. Upon information and belief and the totality of the circumstances set forth below, the
   Post was authored and published by Petitioner using credentials and devices to which she retained
   access.
4. Within forty-eight hours after the Post, an additional Facebook account, displayed under the name
   "Demi-Jo Matthews" (the "Demi-Jo Matthews Account"), took two distinct actions: (i) it shared the Post
   into a 1,700-member public Facebook group titled "Michigan Missing Persons Alerts," repackaging the
   Post as a missing-person concern; and (ii) it posted a comment on Ms. Helgren's personal Facebook
   wall, on a photograph of Respondent and Ms. Helgren together, directly accusing Ms. Helgren of having
   killed Respondent. Both actions adopt and amplify the false predicate of the Post.
5. On May 5, 2026, in response to the Post and to additional concerning conduct at Petitioner's residence,
   Ms. Helgren and Ms. Jordan reported the matter to the Redford Police Department. Respondent
   provided a separate statement to Redford PD that same day. Redford PD opened the matter as Case
   Number 26-7649 and, at the request of Ms. Helgren, Ms. Jordan, and Respondent, conducted a welfare
   check at Petitioner's residence on Ross Drive.

                                 II. THE MAY 4, 2026 FACEBOOK POST

                                           A. Content of the Post
6. On or about May 4, 2026, a post was published to Respondent's Facebook account that:
a. Falsely declared Respondent deceased;
b. Was structured to appear as an automated or pre-scheduled "post-mortem" release, sometimes
colloquially referred to as a "dead-man's-switch" post;
c. Named multiple identifiable third persons as "responsible" for Respondent's purported death, including,
without limitation, Ann Helgren and Pamela Jor

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About this filing

12 Second Supplemental Motion Facebook Post 2026-05-06: 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
12_Second_Supplemental_Motion_Facebook_Post_2026-05-06.pdf
Filed date
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/12_Second_Supplemental_Motion_Facebook_Post_2026-05-06.pdf