ATTENTION:
- Eric Rardin, Warden, FCI Milan
- Corinne Lambert, SAUSA (E.D. Mich.)
- Jerome Gorgon, AUSA (E.D. Mich)
- William M. Blier, Inspector General, U.S. Dept. of Justice
- General Counsel, Federal Bureau of Prisons
RE: MANDATORY PRESERVATION OF EVIDENCE Regarding Inmate: Conrad Rockenhaus (Reg. No. 39400-480)
Related Cases:
United States v. Rockenhaus (6th Cir. No. 25-1974);
Rockenhaus v. Pringle (2:25-cv-12913)
DATE: December 30, 2025
NOTICE: You are hereby placed on formal notice of pending and active litigation involving the life, safety, and civil rights of Conrad Rockenhaus. You have a legal duty to preserve all evidence, electronic or physical, that relates to the claims of medical neglect, retaliation, and staff misconduct.
SPECIFIC EVIDENCE TO BE PRESERVED: Failure to preserve the following items will be treated as Spoliation of Evidence in federal court:
- SHU Surveillance Footage (FCI Milan):
- All video footage of Conrad Rockenhaus’s cells, the Special Housing Unit (SHU) covering Mr. Rockenhaus’s cell, and common areas from September 4, 2025, to present.
- Specific footage capturing the placement of “Kill Tags” or “Snitch Tags” on his cell door or paperwork.
- Any footage depicting guards identified in sworn declarations (page2 – specifically those displaying Reichsadler/Nazi imagery).
- Medical & Psychology Data:
- All “Clinical Encounters,” “sick call” requests, and refusal forms.
- Any internal emails or memos regarding Mr. Rockenhaus’s TBI, seizures, or the September 4th grand mal seizure witnessed in Duty Court, following the recorded Sept 4. violent, illegal raid.
- TRULINCS & Communication Logs:
- Full metadata and content logs for Mr. Rockenhaus’s TRULINCS account, specifically regarding the extortion attempts and PIN compromise reported in the Ninth Supplemental Declaration.
- DO NOT purge these records under standard retention schedules.
- U.S. Marshals Raid Data (Sept 4, 2025):
- All body-cam footage, radio traffic, and “Tactical Breach” reports (Incident 25-13860) cited in your own FOIA releases.
- Warden Rardin’s device logs and location history during the dates of the reported medical emergencies.
WARNING: This evidence is material to active Sixth Circuit appeals and Bivens actions. Any destruction, alteration, or “loss” of these records will be viewed as a deliberate act to obstruct justice and conceal the liability of federal officers.
ADDITIONAL WARNING: Any movement of Mr. Rockenhaus to anywhere besides a local VA hospital, civilian ER, or his home will be viewed as a direct attempt to bury the deliberate indifference. It will be cited in litigation as medical torture and destruction of evidence while an expedited appeal is pending. If he dies, you will have murdered a federal witness.
If he is moved out of the jurisdiction of the Eastern District of Michigan (e.g., to an out-of-state BOP facility), it will be cited immediately in court filings as further proof of the very retaliation SAUSA Lambert denied existed.
Stabilize him locally today. Do not transfer him out of state.
GOVERN YOURSELVES ACCORDINGLY.
Adrienne Rockenhaus Next Friend of Conrad Rockenhaus