COURT REPORTERS OFFICE
COURT OF COMMON PLEAS SUMMIT COUNTY AKRON, OHIO 44308
May 25, 2000
Attn: RICHARD TOLLEY
I N V 0 I C E
----------------------------------------------
IN RE: JEANINE JACQUES
VS.
RICHARD TOLLEY
CASE NO. 2000-03-0989
TO:
Transcript of Proceedings commencing 3/3/00 before the Magistrate John Shoemaker
TOTAL DUE: LORI A. KLINGER $57.20
PAID IN FULL
PLEASE MAKE CHECK PAYABLE TO:
LORI ANN KLINGER Court Rptrs. - 3rd Floor Annex Summit County Courthouse 209 South High Street Akron, OH 44308 (330) 643-8572
THANK YOUI
OFFICIAL COURT REPORTER C.A.T.
IN'THE COURT OF COMMON PLEAS
COUNTY OF SUMMIT
JEANINE JACQUES, CASE NO. CV 2000-03-0989 Plaintiffs,
VS. TRANSCRIPT OF PROCEEDINGS CPO HEARING
RICHARD TOLLEY, Defendants.
APPEARANCES:
H. GILSON BLAIR, Attorney at Law,
On Behalf of the Plaintiff.
BE IT REMEMBERED that upon the hearing of the above-entitled matter in the Court of Common Pleas, Summit County, Ohio, before the Magistrate John Shoemaker Presiding, and commencing on Friday, March 3, 2000, the following proceedings were had, being a Transcript of
Proceedings: LORI A. KLINGER, RMR, CRR Official Court Reporter Summit County Courthouse Akron, Ohio 44308
OFFICIAL COURT REPORTER C.A.T. 2 ·
P R 0 C E E D I N G S 3
4 THE COURT: Okay. This is -- how 5 do you pronounce your client's name, Mr. 6 Blair?
7 MR. BLAIR: Jeanine Jacques.
8 THE COURT: Versus Richard Tolley, · CV 2000-03-0989. We're here for a petition 10 filed on March 2 for a civil protection 11 order, RC 2903.214. Is your client here this 12 morning?
13 MR. BLAIR: Yes, she is.
14 THE COURT: Is that the lady right 15 behind you?
16 MR. BLAIR: Yes.
17 THE COURT: Have a seat in the 18 witness chair. Please raise your right 19 hand.
20 JEANINE JACQUES 21 a witness herein, having been first duly 22 sworn as provided by law, was examined and 23 testified as follows:
24 THE COURT: Speak up. Pull the 25 microphone down. Tell us your name in full.
OFFICIAL COURT REPORTER - C.A.T. 3
1 THE WITNESS: Jeanine Patricia 2 Jacques.
3 THE COURT; And is it Ms. or Miss 4 Jacques?
5 THE WITNESS: miss.
6 THE COURT: All right. You are 7 the petitioner in this case; is that 8 correct?
9 THE WITNESS: Yes.
10 THE COURT: Okay. Do you want to 11 show her a copy of the petition, Mr. Blair?
12 MR. BLAIR: Sure.
13 THE COURT: Now, I've got a copy 14 of the document that states an address 2118, 15 14th Street, Cuyahoga Falls, Ohio, 44223; is 16 that correct?
17 THE WITNESS: Yes.
18 THE COURT: What's your Social 19 Security number?
20 THE WITNESS: 293-64-0699.
21 THE COURT: 06
22 THE WITNESS: 99.
23 THE COURT: Your date of birth?
24 THE WITNESS: 3-17-72.
25 THE COURT: Okay. Is it a house
OFFICIAL COURT REPORTER - C.A.T. 4
1 or an apartment?
2 THE WITNESS: House.
3 THE COURT.: Who do you live there 4 with?
5 THE WITNESS: Stephen Black.
6 THE COURT: And what relation is 7 Stephen Black to you?
8 THE WITNESS: Fiance.
9 THE COURT; That's a single family 10 house; is that correct?
11 THE WITNESS: Yes.
12 THE COURT: Richard S. Tolley 13 you've named as a respondent in this case. 14 You stated he lives at 134 East Johnson 15 Street, which is Apartment 205, in Madison 16 Wisconsin, 53703. He is the one you're 17 seeking relief from?
18 THE WITNESS: Yes.
19 THE COURT: Generally, what is his 20 former relationship to you?
21 THE WITNESS: I worked at a 22 restaurant in Madison, Wisconsin when I was 23 in college. He was a customer. That's it.
24 THE COURT: Did you have any 25 social relationship with him at that time in
OFFICIAL COURT REPORTER - C.A.T. 5
1 Wisconsin?
2 THE WITNESS: No.
3 THE,COURT:, So it's not a former 4 boyfriend or fiance or anything like this?
· THE WITNESS: No, no. ·
THE COURT: Okay. How did you 7 find out that his location is 134 East 8 Johnson Street in Madison?
9 THE WITNESS: Ever since he started 10 contacting me back in college, he wrote his 11 name, full address and phone number and 12 everything.
13 THE COURT: Okay. When did you 14 move back from Madison to Ohio?
15 THE WITNESS: 196.
16 THE COURT: What month?
17 THE WITNESS: The month, January.
18 THE COURT: -Okay. What's been the 19 nature of your contact with him in this year, 20 speaking of the year 2000, since January up 21 to now?
22 THE WITNESS: He --
23 THE COURT: Has he contacted you 24 or however?
25 THE WITNESS: He has sent letters
OFFICIAL COURT REPORTER - C.A.T. 6
1 and packages, and on Valentine's Day, he sent · roses. ·
THE COURT,: Okay. what do the 4 letters say in essence? Is he trying to get · you to be his girlfriend, his fiance? What's · the tenor of the letters? Is he in love with · you or thinks he is?
8 THE WITNESS: I guess he is. He · believes that we have been married in former 10 lives and have all kinds of kids. We are 11 King Arthur's children and so on and so forth 12 and he believes that I am his wife, that he 13 is my husband and I am supposed to be with 14 him.
15 THE COURT: Now, how many letters 16 has he sent you in this year, 2000, 17 approximately?
18 THE WITNESS: Two or three.
19 THE COURT: Okay. And has he sent 20 you any -- you got a computer or anything 21 like this at home?
22 THE WITNESS: Yes.
23 THE COURT: Has he sent you 24 anything on the computer on e-mail or 25 anything like this?
OFFICIAL COURT REPORTER - C.A.T. 7
1 THE WITNESS: No, no.
2 THE COURT: Has he called you up 3 at all?
4 THE WITNESS: No, but that's been
5 THE COURT: Speaking in the year 6 2000. So his contact this year for the year 7 2000 consist of approximately three letters 8 to you?
9 THE WITNESS: Three letters, two 10 certified mail packages and the roses.
11 THE COURT: What came in the 12 certified packages?
13 THE WITNESS: We don't know. We 14 never opened them.
15 THE COURT: You send them back or 16 what?
17 THE WITNESS: Yes. They wanted my 18 signature.
19 THE COURT: Let's say in the year 20 1999. let's go from July to December, how 21 many times did he attempt to contact you from 22 July of last year until the latter six months 23 of 1999, through December, how many times did 24 he contact you, letters or whatever?
25 THE WITNESS: He contacted me --
OFFICIAL COURT REPORTER - C.A.T.
1 probably was in July; the first letter that · came was in was about July. I got a couple · more letters after that and then he came to · Cuyahoga Falls in August and came to my · house.
6 THE COURT: Came to your house in 7 August.
8 THE WITNESS: After that, he --
9 THE COURT: What happened when he 10 came to your house in August of last year?
11 THE WITNESS: What happened?
12 THE COURT: Yes.
13 THE WITNESS: I was at work and I 14 was coming home when Steve called me on the 15 phone and told me not to go to the house.
16 THE COURT: Where do you work at?
17 THE WITNESS: Downtown Akron.
18 THE COURT: You work there at the 19 same spot now?
20 THE WITNESS: Yes.
21 THE COURT: Where is that?
22 THE WITNESS: 209 South Main, Wirtz
23 Integrated Marketing.
24 THE COURT: What is the name of 25 the business again?
OFFICIAL COURT REPORTER - C.A.T. 9
1 THE WITNESS: Wirtz, W-I-R-T-Z, 2 Integrated Marketing.
3 THE@COURT: What do you do there?
4 THE WITNESS: I'm an account 5 executive.
6 THE COURT: So he calls you up and 7 says this guy is at your house?
8 THE WITNESS: Yes.
9 THE COURT: What happened?
10 THE WITNESS: I didn't go home. I 11 went and called my mom and then Steve and my 12 mom proceeded to the house with Steve and 13 called the police. So they were all at the 14 house and then I called him again and he told 15 me it's okay. You can come back. By the 16 time I got back there, Richard was gone.
17 THE COURT: Did you ever see him 18 at all at that time?
19 THE WITNESS: No.
20 THE COURT: Did he ever come back, 21 or was it -- the local area after that 22 episode in August?
23 THE WITNESS: As far as we know, no.
24 THE COURT: Did he have any 25 conversation with Stephen about anything? OFFICIAL COURT REPORTER C.A.T. 1 0
1 THE WITNESS: Did Richard? 2 THE COURT: Yes. 3 THE,WITNESS: He did leave a message 4 on his answering machine that night, but I · don't think they spoke directly, but he did · try to contact him.
7 THE COURT: Any other contact, 8 personal contact in the latter six months of · 1 9 9 9 ?
10 THE WITNESS: Yeah, there were 11 several letters and packages since then.
12 THE COURT: You sent the packages 13 back?
14 THE WITNESS: No, those we kept 15 because we were trying to build a case.
16 THE COURT: Do you know what was 17 in the packages?
18 THE WITNESS: CDs, pictures.
19 THE COURT: What kind of CDs?
20 THE WITNESS: I don't remember what 21 all of them were now.
22 THE COURT: You're talking about 23 CD, music song type of CDs?
24 THE WITNESS: Yes.
25 THE COURT: Pictures of what?
OFFICIAL COURT REPORTER - C.A.T.
1 THE WITNESS: Pictures of him, · pictures of things he was scanning on to his 3 web site,'pictures of album covers and things 4 like that. ·
THE COURT: Okay. Now, the 6 letters you received, they were along the 7 same tenor as we talked about earlier?
8 THE WITNESS: Yes. ·
THE COURT: How about the first 10 six months of 1999, did you have contact with 11 him then?
12 THE WITNESS: No.
13 THE COURT: Okay. How about going 14 back to 1998, was there any contact between 15 you and him in 1998?
16 THE WITNESS: Him and I, no.
17 THE COURT: How about 197?
18 THE WITNESS: He contacted my father 19 in 197.
20 THE COURT: How many times, once 21 or twice?
22 THE WITNESS: One time.
23 THE COURT: Okay. He contacted 24 your dad one time in 1997. So you had no 25 contact in 1998. Then you have this contact
OFFICIAL COURT REPORTER - C.A.T. 1 2
1 in 1999, all which occurred in the latter 2 part of 1999?
3 THE,WITNE$S: Right.
4 THE COURT: Do you have any 5 documents in regard to these matters that you 6 want to present to me?
7 MR. BLAIR: Yes, we do, Your 8 Honor.
9 THE COURT: Give them to her and 10 have her look those over and make sure she's 11 in agreement that those are her documents and 12 you can hand them to me.
13 MR. BLAIR: Ms. Jacques, handing 14 you what's been marked Plaintiff's Exhibits A 15 through F. And I guess I will ask you a 16 brief question. When you were in Wisconsin, 17 you had prior problems with Mr. Tolley, 18 correct?
19 THE WITNESS: Yes.
20 MR. BLAIR: And, in fact, you had 21 to go to the authorities and get restraining 22 orders put in place?
23 THE WITNESS: Yes.
24 MR. BLAIR: And, in fact, he 25 violated those restraining orders?
OFFICIAL COURT REPORTER - C.A.T. 1 3
1 THE WITNESS: Yes, he did.
2 THE COURT: Now, you have provided 3 me with various,police records that you 4 obtained through Dane County, Wisconsin. Are · those exhibits accurate reflections of what · you received in response to your request for · documentation in prior cases?
8 THE WITNESS: Yeah, it is. Yes. ·
THE COURT: Okay. And it's 10 reflected in Plaintiffls Exhibit A and you 11 were told by police authorities that Mr. 12 Tolley had had a prior incident where he had 13 stalked a woman, in fact, and raped the 14 woman.
15 THE WITNESS: Yes.
16 THE COURT: And in Plaintiff's 17 Exhibit B, it's reflected that he believed 18 that the Shroud of Turin up on his wall spoke 19 to him and said that you and he were the 20 reincarnation of Mary and Joseph?
21 THE WITNESS: Yes. 22 THE COURT: And then the other 23 reports you provided me were issues relating 24 to his visit to Cuyahoga Falls, conversations 25 Cuyahoga Falls Police had with him at the
OFFICIAL COURT REPORTER - C.A.T. 1 4
1 Talley Hotel and things of that nature, 2 correct?
3 THE,WITNE$S: Yes.
4 THE COURT: Do you want to show me 5 those?
6 Plaintiff's Exhibit 3 is a Madison 7 Police Department report dated August 23, 8 1994, at least a photostatic copy of that. · Is this B or 3?
10 MR. BLAIR: It's B, Your Honor.
11 THE COURT: Okay. We got another 12 Madison police report, 12-30-93, again, 13 dealing with the respondent. It's apparently 14 a different victim. Disorderly conduct.
15 MR. BLAIR: Denise Vivas.
16 THE WITNESS: I was here in Ohio 17 when she received all those packages and 18 letters and she called the police herself on 19 behalf of me. And she testified in the last 20 court hearing we had.
21 THE COURT: Exhibit C is a 22 Cuyahoga Falls Municipal Police report dated 23 2-29 of the year 2000. Exhibit D is another 24 document from Cuyahoga Falls Police 25 Department dated 9-20 of 1999. Who redacted
OFFICIAL COURT REPORTER - C.A.T. 1 5
1 these matters, the Cuyahoga Falls Police 2 Department or you?
3 MR.,BLAIR,, Falls Police 4 Department apparently did. Those were · received by Detective Myletch over at the 6 sheriffs department. Your Honor, these were 7 the public documents. We also have some 8 additional materials to present.
9 THE COURT: Approximately how tall 10 is this person?
11 THE WITNESS: How tall?
12 THE COURT: Yes.
13 THE WITNESS: Five nine, five ten.
14 THE COURT: Approximately how much 15 does he weigh, last time you knew? Is he a
16 skinny guy, medium or --
17 THE WITNESS: Medium.
18 THE COURT: So what do you say?
19 THE WITNESS: He's 170, 180, 20 somewhere in there. His driver's license is 21 actually printed on one of the web pages, but 22 I don't know if we have that.
23 THE COURT: You got his photo? 24 You got his Social Security number 25 somewhere?
OFFICIAL COURT REPORTER - C.A.T. 1 6
1 MR. BLAIR: I don't know if I have 2 that in my packet somewhere.
3 THE'WITNESS: We would be able to 4 find it.
5 THE COURT: What color is his 6 hair?
7 THE WITNESS: Dark brown.
8 THE COURT: Eyes?
9 THE WITNESS: I'm going to say 10 brown, but I guess.
11 THE COURT: He's a white man; is 12 that correct?
13 THE WITNESS: Yes. 14 THE COURT: You filled out this 15 petition. You've got that in front of you; 16 is that correct?
17 THE WITNESS: Yes.
18 THE COURT: Okay. Is that your 19 typing on there, or that was filled out on 20 the front page?
21 THE WITNESS: No.
22 THE COURT: Who typed it up and 23 filled it out?
24 THE WITNESS: I don't know.
25 MR. BLAIR: Your Honor, our office
OFFICIAL COURT REPORTER - C.A.T. 1 7
1 prepared the petition. ·
THE COURT: Let's ask her that, 3 you reviewed this petition?
4 THE WITNESS: Yes. ·
THE COURT: Is all the information 6 that's provided in that petition, I'm talking 7 about the typed portions, like Stephen and a 8 couple checked boxes there and see attached, · that's all correct as you understand it and 10 the names?
11 THE WITNESS: Yes.
12 THE COURT: Okay. Go on to page 13 2. There's a number of boxes there that have 14 Xs in, you reviewed those boxes and that's 15 your understanding ad to what you want marked 16 in there; is that correct?
17 THE WITNESS: Yes.
18 THE COURT: Okay. And you got the 19 other information that's provided down there 20 at the various case numbers, that's the 21 information that you believe to be accurate 22 and truthful; is that correct?
23 THE WITNESS: Yes.
24 THE COURT: And that's your 25 signature notarized at the bottom of the
OFFICIAL COURT REPORTER - C.A.T. 1 8
1 page; is that correct?
2 THE WITNESS: Yes.
3 THE,COURT: And some more 4 information about your attorney on the next · page and some other information attached. · Here are all the parts for your petition that · you caused to be filed; is that correct?
8 THE WITNESS: Yes. Yes. · THE COURT: Exhibit E apparently
10 is a recording of various activities and 11 results in 1999 in regard to these matters. 12 It appears to be I guess what we call a rap 13 sheet, various offenses and what's been done 14 and charges, dispositions and courts and 15 dates and times, referring to criminal things 16 and both civil things. 17 And apparently, Exhibit F is some more 18 information about this individual 19 respondent. And here we've got his -- let's 20 see, a letter showing Social Security number 21 on Plaintiffls Exhibit F which is a Madison, 22 Wisconsin Police Department jacket activity 23 and it shows him with a Social Security 24 number of 389-46-7796. He's apparently been 25 a busy fellow with the Madison Wisconsin
OFFICIAL COURT REPORTER - C.A.T. 1 9 1 Police Department over a period of time.
· THE WITNESS: Those are the only 3 records that involve myself and he. There 4 might be some that don't involve me at all.
· THE COURT: Based upon what you 6 have observed about this person, apparently 7 he had a little activity with you after you 8 left and apparently sought to re-energize · that relationship likely; apparently you're 10 concerned if something is not done, you feel 11 that your safety and protection would be 12 aided by a civil protection order because he 13 presents what you believe to be immediate, 14 present danger to your person and he could 15 cause you serious physical harm or harm?
16 THE WITNESS: Yes.
17 THE COURT: Now, do you think he 18 would do that with your fiance who lives with 19 you?
20 THE WITNESS: Yes, I do.
21 THE COURT: Where does your fiance 22 work at?
23 THE WITNESS: Brookledge Golf 24 Course.
25 THE COURT: He apparently had the
OFFICIAL COURT REPORTER - C.A.T. 2 0 1 wherewithal to come here one time and I am · sure you're fully aware --
3 THE.WITNESS: Yes.
4 THE COURT: He did. A couple · things you've got to understand. One is, I · will make a decision in this matter. And the · decision is to issue the order; the judge · adopts my decision; the order would go into · effect. 10 However, if he comes here and causes 11 difficulties at 2:00 in the morning, you need 12 to think about calling the police department 13 rather than me, because I can't do too much 14 about that, whether or not he's in violation 15 of any civil protection. So if he makes any 16 attempt to contact you or bother you with 17 your home or your work or your fiance or his 18 supposed employment, the safest and best 19 thing probably to do is make a decision to 20 call the local police department. 21 You can't do anything by us getting 22 involved in this matter; us being the court 23 at 2:00 in the morning. That episode would 24 be difficult. You need to also bear in mind 25 that the -- depending on contact on further
OFFICIAL COURT REPORTER - C.A.T. 2 1 1 matters, which Mr. Blair has told you, keep · track of that in some kind of a log book, · when he called and what he did and the dates · and times of that. · Now, this court has got no real 6 authority to stop him from sending you mail 7 or sending things in e-mail or sending things 8 through mail at work. You can tell him not · to do that, but I don't have the authority to 10 reach up in the state of Wisconsin in Madison 11 from doing things. 12 If the order goes into effect, it 13 precludes him as much as we can from doing 14 those kinds of things where he physically 15 comes here to Ohio under this location and 16 intends to do something. That would probably 17 be the most effective portion of any order, 18 trying to cite him for contempt or getting 19 him in here with an anti-stalking order. 20 Because he continues to send you letters, I 21 don't know where we will go with that. 22 If he continues to do that, whether he 23 will get the message or not, we will have to 24 cross that when we come to it. He's living 25 in Wisconsin. How we deal with that stuff,
OFFICIAL COURT REPORTER - C.A.T. 2 2 1 we will have to wait and see. If he calls · you up on the phone, you've got to re-address · this on the federal business. But I am sure · Mr. Blair has gone over that with you. · Now, it appears to me from the 6 testimony presented in this matter that the 7 petitioner in this case has demonstrated that 8 she's properly brought before the court and · further that her safety and protection as 10 well as her fiance can be had -- need to be 11 had through the issuance of a temporary 12 protection order because the actions of the 13 defendant respondent, Mr. Richard S. Tolley, 14 clearly to me present immediate, present 15 danger and the safety or welfare of not only 16 the respondent but also to her fiance who 17 lives there with her and if an order isn't 18 issued, this would not be in the best 19 interest of those two. 20 Now, if we issue the order and copies 21 of the order gets served on Richayd S. 22 Tolley, we will probably serve that by 23 special delivery typed mail, I guess our 24 version of Fed Ex, but he will get a copy of 25 that and if he signs for it, he's got a right
OFFICIAL COURT REPORTER - C.A.T. 2 3 1 to come here at the full hearing on this. · This is a temporary hearing. If the 3 judge adopts this, the order would be in 4 effect until I make a decision at the · permanent hearing and the judge makes his · judgement to that decision. 7 He could come here and cross-examine 8 you because you're going to have to come back · here and testify, present some testimony at 10 the permanent hearing on this and ask if I 11 would consider imposing this up to and 12 including the maximum duration which is five 13 years. 14 If he comes here, he can come here with 15 an attorney or come here by himself. it 16 would be like you had or the attorney can 17 cross-examine you after you testify or any 18 other witnesses. You better think about 19 bringing your fiance and testify next time if 20 he's got information to corroborate what 21 you're talking about. 22 Now, once the hearing is concluded as 23 your presentation, he can take the stand and 24 testify and you can certainly cross-examine 25 him too. I don't know whether he's going to
OFFICIAL COURT REPORTER - C.A.T. 2 4 1 come. I don't know. I just wanted to advise · you so you know what the circumstances are. · It could be a confrontation here in the · courtroom. I assure you if we have him here, · he's going ask you questions, it will be · addressed along the proper lines and you can · ask those proper kinds of questions. 8 Now, based upon these matters, the · Cuyahoga Falls Police Department will be 10 notified of this because it's in their 11 jurisdiction. I would think that your 12 company or business should be served, that is 13 because he could come there. Make sure, Mr. 14 Blair, we have the correct address and all 15 that of the business and a copy of the civil 16 protection order will go there. 17 I assume -- is this Stephen Black here 18 in the back of the courtroom? Do you want to 19 raise your right hand?
20 STEPHEN BLACK 21 a witness herein, having been first duly 22 sworn as provided by law, was examined and 23 testified as follows:
24 THE COURT: You are Stephen P. 2 5 Black?
OFFICIAL COURT REPORTER - C.A.T. 2 5
1 THE WITNESS: Yes.
2 THE COURT: Is this your fiance?
3 THE.WITNE$S: Yes.
4 THE COURT: And you likewise 5 reside there at 14th Street; is that 6 correct?
7 THE WITNESS: Yes.
8 THE COURT: You are familiar with 9 the set of circumstances?
10 THE WITNESS: Yes, I am.
11 THE COURT: You feel that there is 12 immediate, present danger if the court 13 doesn't issue this person not to come back 14 here and either harm you or your fiance or 15 your property?
16 THE WITNESS: Yes, I do.
17 THE COURT: Where do you work at?
18 THE WITNESS: Brookledge Golf Club 19 in Cuyahoga Falls.
20 THE COURT: Obviously, that would 21 be a need to serve the Brookledge Country 22 Club manager, whoever has that spot, with 23 this civil protection order which is what we 24 normally do, because if he's not real happy 25 with what she's doing. he's not going to
OFFICIAL COURT REPORTER - C.A.T. 2 6 1 think much of you interfering in what he · thinks is a relationship with her. He could · go out there and so they've got to know. 4 Do you have any objection of serving 5 them with a copy of the civil protection 6 order?
7 THE WITNESS: No.
8 THE COURT: Let's make sure we · know what the address is. The magistrate 10 finds that the court should issue a temporary 11 civil protection order to persons and 12 properties of the respondent and her fiance. 13 As to the evidence which is more sufficient 14 and credible and convincing in the form of 15 the testimony and the documents that Richard 16 S. Tolley does present an immediate, present 17 danger to the petitioner and her fiance, as 18 well as to her property. 19 Such a need for protection and support 20 should remain in full force and adopted by 21 this court until the rendering of a decision 22 of the court on a full hearing which we will 23 set here shortly. 24 Protected persons are the petitioner 25 and her fiance as set forth in the document.
OFFICIAL COURT REPORTER - C.A.T. 2 7 1 It would be the order of the magistrate · pursuant to RC 2903.214 upon adoption of the · court that the Despondent, Richard S. Tolley, · should not do anything of the following: · Abuse the petitioner and/or her fiance or any · guests at their home or at their work place, · including harming, attempting to harm, · threatening, molesting, following, stalking, · bothering or harassing, annoying, contacting 10 or forcing sexual relations upon them. 11 B, to refrain from entering, 12 approaching or contacting (including contact 13 by any media, writings, e-mail, fax 14 telephone, voice mail, and delivery service 15 in person or by any intermediary) the 16 residence, school, business, and place of 17 employment of the petitioner and her fiance, 18 and/or their guests and such contact being 19 described as direct or indirect. 20 Further, the respondent shall not come 21 upon the property of the petitioner where she 22 resides and that of her fiance and upon the 23 property of the petitioner's place of 24 employment or the fiance's place of 25 employment.
OFFICIAL COURT REPORTER - C.A.T. 2 8 1 And further that the respondent shall · not have any contact with the petitioner or · her fiance or be anywhere closer than 200 · feet of the petitioner and/or the fiance at · any place of public accommodation or any · public thoroughfare. if you would be up at · the shopping mall and you see him, he better · turn around and go the other way or he parks · next to you at the light, he better go the 10 other way. 11 Further, respondent, Richard S. Tolley, 12 should not possess any firearm or other 13 deadly weapons or dangerous ordinance at 14 least in the State of Ohio. I can't control 15 what happens in the State of Michigan -- 16 State of Wisconsin. If he's found to have 17 any on his person or possession or custody, 18 these items will be confiscated by the law 19 enforcement authorities and held until 20 further order of the court. 21 Further respondent, Richard S. Tolley, 22 shall not damage personal property of the 23 petitioner and/or the fiance. He should pay 24 all the costs of this matter up to and 25 including this hearing. We will accept all
OFFICIAL COURT REPORTER - C.A.T. 2 9 1 your exhibits into evidence and set this · matter down for a full hearing in front of me · 12:30 on March 9. That's a Thursday. You · will be available, Mr. Blair?
5 MR. BLAIR: Yes, I would, Your 6 Honor.
7 THE COURT: You're going to have 8 to have a hearing within ten days. The law · requires that there would be a hearing held 10 in ten days.
11 MS. JACQUES: We can --
12 MR. BLAIR: They're getting 13 married on Saturday, Your Honor. They would 14 be out of the country.
15 THE COURT: When are they coming 16 back?
17 MR. BLAIR: They would be back the 18 13th.
19 THE COURT: We're going to have it 20 on Monday, the 13th, when we come back. By 21 statute, you will have to -- what's your 22 pleasure? We've got to do something else, 23 but I don't have any authority to change the 24 statute. You'd be back Monday, the 13th?
25 MS. JACQUES: We're going to have
OFFICIAL COURT REPORTER - C.A.T. 3 0 1 to. We will have to be here. We will have · to be.
· THE'COURT; If we do anything 4 else -- if we don't have this within the · proper time and he doesn't like something, · then the whole thing is for not. We don't · want to have to be doing that. What's your · thought there?
9 MR. BLAIR: Yep. Monday, the 10 13th.
11 THE COURT: Let's say Monday, the 12 13th, at 1:00. How is that? Is that all 13 right? He may not show up and you don't want 14 to anticipate that he doesn't. 15 Mr. Blair, anything further on behalf 16 of your client in this matter that you wish 17 to present or have her present?
18 MR. BLAIR: I have nothing 19 further.
20 THE COURT: Okay. We will stand 21 in adjournment and we will see everyone on 22 the 13th of March at 1:00 in the afternoon. 23 (Thereupon, the proceedings 24 were concluded.) 25 - - - - -
OFFICIAL COURT REPORTER - C.A.T.
This whole thing appears to have been discussed beforehand.......this has been my experience.......the Court-Session and testimony does-NOT mean a thing.
Why? Are they worried about Property-Damage?
I sat on the love-seat for a few seconds, got-up, looked in the front picture-window, saw the Norwegian wood table wedged in-too-tight-to-sit, saw the pink rhododedrons planted in the front yard between the sidewalk and curb like a dog had dug-up the ground, the large gray-plastic garbage barrel, sat down on the love-seat again, my stomach grumbled, I got-up and walked to the neighbor's house to call a cab and go somewhere to eat.
I did-NOT even touch the property.
READ: BELOW: FOR THE COMPLETE WRITE-UP OF WHAT I SAW AND DID.

This is Not my favorite music either...but It makes me worry about Jeanine's Psychosexual Health.
"When I Saw Jeanine In Her Disco Monk Cut And This Jupiter/Mars Boyfriend and Former Son of Ours Sitting Out Front Of State Street Brats, I Thought I Had Pulled Her Out In Time..."
"But, At The Same Time, I Observed That She And Boyfriend Were Having Ferocious Sex In A Parallel Reality..."
"What Are Cupid's Arrows...Parallel Sex Somewhere We Know Nothing About???"
"I AM Of This Opinion."
"Then I Got The Thanksgiving Telephone Call With You Can't Hurry Love Playing In The Background..."
"Initially I Thought It Fit Together With Her Monk Cut, But I Heard My Louder Than Usual Thought Voice Say I Was Being Set Up."
"I Waited A While And Then Hung Up..."
"Apparently, Here, I Find Out That All My Chalk Writing, Was Not Valid To Her When She Told The Young Man, Following Behind Her To See It, That She Was Going To Kill Me."
"And On Top Of That I Find Out That She Went Home To Spend A Year As A Virgin Because She Was Too Afraid For Her Life And Did Not Want To Stay In Madison And Marry Boyfriend The Wealthy Owner Of State Street Brats."
"And That Is All Because God Told Me, "Now!!!!!!!!!!" In A Loud Thought Voice And I Lept To The Phone Because I Trusted His Thought Voice And Thought he Would Rescue Her."
"But NO HELP At All FROM god.
"Now I Find Out, She Started To Date And Disco In Ohio In 1997, Did Not Call Me, Was Not Working For A Newspaper, And Ran Into Cupid's Arrows Of Sexual Ecstasy From Another Jupiter/Mars Man."
"Then, I Give Her My Opera, With The Pearl Jam Ten Album And The Central Song Black With The Title Flag Songs For My Virgin Queen, But She Would Rather Marry It."
"Then I Get This Song By What Is Coming To Me Was My Former Son Chris Cornell {Welsh??? Cornish;Then Welsh!!} Which Says The Sex Organ Made Her Mad."
"And I AM Still Not Sure If Her Body Has Self-Consciousness And She Is Not A Zombie..."
"Are We To Have Faith In This God???"
"And I AM Not The Anti-Christ...Christ Appears For Me In The Spirit And Motivates Me To Bring Him To Light!!!"
"But, Of Course, Holmes..."
"Your Children And Your Wife Are 'Nuts'!!!?!"
"And Apparently Your God Is 'Nuts'"
"And...If She Does Really Need Larger Objects Up Her Vagina, I Really Can't Help Her With The Equipment I Come With..."

"She Is That Hungry???"
"But, Of Course, Holmes..."
"Zombies."
"I Called Her At 3:30 AM And We Exchanged Hellos Twice, Then She Got Angry And I Said, "What Are You Doing Up At 3:30 In The Morning."
"I Presume She Called Boyfriend, Mariah Carey's Man And Her Son With Me."
"And That Song Better Man Off The Vitaology Album By Pearl Jam And My Former Brother Eddie Vedder Came Out November 1994 When Denice Vivas Was Living With Jeanine!!!!"
Lyrics: "Waiting...Watchin' The Clock-It's Four O'Clock, It's Got To Stop."
"Tell Him...Take No More-She Practices Her Speech As He Opens The Door..."
"She Rolls Over-Pretends To Sleep As He Looks Her Overrr..."
"After God Said, "Now!!!" I Called Her And Gave Her Two Choices, "I Would Either Kill Her Now Or, At The End Of Her Present Life, She Would No Longer Be Existent."
"What Did Denise Vivas Do About Me???"
"What About The Red-Head Boyfriend Who Owned State Street Brats, Holmes???"
"Did She Think I Was Satan And Magic???"
"She Is Probably Also A Zombie, Holmes..."
"In All Probability, Watson."
"Her Whole Group Of Friends Was Exposed To That Song Continually For A Whole Year On The Radio Station They Listened To Here In Madison 92.1 FM Mad City's Best Rock."
"Are They All Daff, Holmes???"
"Or Sub-Human, Watson..."
"Or Black."
"Are These Responsible Adults Here, Holmes???"
"Absolutely Not, Watson."
Lyrics: "Memories Black When She Was Told...Waiting For The World To Come Along-Swears She Knew It, Now She Swears He's Goooooonnnnee..."
"She Lies And Says She's In Love With Him, Can't Find A Better Maaaannnn!!!"
"No Other Conclusions Can Be Drawn About These Individuals, Watson."
"How Ghastly, Holmes."
"For Their Parents, Maybe, Watson."
"Holmes."
"These Are Adults???"

"PROSECUTED AND 'HARASSED' BY.......'LAWLESS-ROBOTIC-SHIT-women'."
"I.............THINK WE ARE YELLING-AT: 'THE ALIENS AND THE INCORPOREAL': HERE."


"THIS THING YOU DID TO MEEEE.HEEEEEEEEEEEEEE!!!!&&&##$$###!!!"
SONG TITLE: Blurry
everyone showed you where to turn
told you when to runaway
nobody told you where to hide
nobody told you what to say
everyone showed you where to turn
showed you when to runaway
"CAN YA' TAKE IT ALL AWAAAAAAYYYYYYYYYYY!!!!!!?!!"

"I...........AM SURROUNDED-BY-KIN: WES SCANTLIN: LEAD SINGER AND WRITER FOR Puddle Of Mudd WAS Duanne Allman AND Jewel's SON: AND MARRIED RACHEL HUNTER: Gregg Allman AND Lee Ann Rimes' DAUGHTER: IN Lord Of The Rings: THEY WERE MY NIECE AND NEPHEW: AND VIGGO MORTENSEN AND LIV TYLER'S COUSINS."

"RACHEL WAS FORMERLY MARRIED TO ROD STEWART: I SAW HIS AND HIS FORMER GREEK FATHER WILLIE NELSON'S GIRL ON THE BUS GOING SOUTH ON THE SAME-RIDE: THEY WERE BOTH OLDER: URANIA AND ADONIS HAD WILLIE AND WILLIE'S-GIRL FOR A SON AND DAUGHTER!!!!!!"
