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HomeMy WebLinkAbout96-04637 ~.~..~**~*.~.~~***~.~.~.~*.~..~.~~***.~*.~**~ ~;-----~.__.~_._-_.~_. _.~,_., -- ~-~- ~.- ~~-,-,......, .--..',.~~.-~.."'~'- . -,.~. ,~" ~-~~,".'-' '" '~, ~ ~I' ~ '.'( ;i; "'I ~i ~~ ':'1 ~I .( ~~ ., ~I "'l ~I IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY "!t. STATE OF ;~~~~ PENNA. \. '-'4J!i1:',;~~T ~ ROBERT MALLON, ;'\(). 4637 CIVIL II) 96 ~ ~! Plaintiff \'4'1';-;[1;; ~ KAREN W. MALLON, ~ Defendant ~I "1 ~ .. ~ ':'1 ~I ~) ") DECREE IN DIVORCE AND NOW,. .~. !.C,........ 19'Jl.., it is ordered and decreed that, " , . .' RPpert. MaUpn,. ,. , . , ". . ... "... ..". ", plaintiff, and....,.... !<,ar~~. 'fi, .~a,llon,.....,..,.,.,...,..,.....,..., defendant, are divorced from the bonds of motrimony. ~ ~.' ,', ~ ,', ~ ~ ~ ~ ~ The court retoins jurisdiction of the following claims which have ~ been raised of record in this action for which a final order has not yet ~ been entered; ~ . ,N9Ae, - . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . ~ ~ ~ ,.' ~ .:.:- -:.;. .:..;. -:~:- .:.;. -:.;. .:+:. -:t;. .:.;. .:.:- '" :,' ~ \ -'., Alle,t. .~..: ~J / ,Jf. .c.-/i --h' ...",-.. , . '~(./C:-l-t:/t-fc{'\ r . ......}.i'~t'.,/.--!'C'~~;WJ.,-~_r:-< .. /). c.' / 9' ~ 7 ';<'_t-:~ ."?;, //. '?:.L'C't::'" . . ~ (' , Prothonotary ~ ~ ;(, ~ ~ r! ~ ._--- ^-....---- . - .. .-......... ..... ..- ~--******~****~***~.* ~ ~ ~ ~ ~ ~ ~ ~ ~ ',' $ ~ S ~ ~ S i., ~ ~ S 1~ .... ~ M .' s I~ " I~ i~ I." ,~ /. )~ / ~ , . '~ / )~ ~*' :~ ~ '#: $ ~ . . ROBERT MALLON, IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA Plaintiff CIVIL ACTION - LA W v. : NO. 96-4637 KAREN W. MALLON, Defendant : IN DIVORCE PRAECIPE TO TRANSMIT RECORD TO THE PROTHONOTARY: Transmit the record, together with the following infonnation, to the court for entry of a divorce decree: 1. Ground for divorce: irretrievable breakdown under recti on 3301(d) of the Divorce Code. 2. Date and manner of service of the complaint: by publication on April 4, 1997 (see attached proof of publication), which was authorized by Order of Court dated October 7, 1996. 3. Date of execution of the plaintiffs affidavit required by Section 3301(d) of the Divorce Code: August 3, 1996. Date of service of plaintiffs affidavit upon the defendant: by publication on April 4, J 997 (see attached proof of publication), which was authorized by Order of Court dated October 7, J 996. 4. Related claims pending: None. \ . '1;" . . 5. Date and manner of service of the notice of intention to file praecipe to transmit record: by publication on April 4, 1997 (see attached proofofpublication), which was authorized by Order of Court dated October 7, 1996. Cindy E. Attorney . No. 40327 P. O. Box 267 Enola, PA 17025 (717) 732-7971 Attorney for Plaintiff, Robert Mallon Date: April 15, 1997 2 , AFFIDA VIT OF PUBLICATION NO. 4637 CIVIL 1996 MALLON 16 ARIZONA BUSINESS GAZETTE i I I Clvn Actton. Law No.46:17QVIII"' In the Court of Common Pleas of Cumberland County,PennSYlVanla ROaERT MALLON, PlaIn_ tiff v. KAREN MAL.LON; Defendant ' . IN DIVORCE' NOTICE TO DEFEND AND CLAIM RIGHTS To: KAREN W.MALLON . You .1tre nollned that the plaIntiff, Robert Mallon, has commenced en action In divorce under section 3301 (dl at the Pennsvlvanla Divorce Code eQelnst YOU. entered as ~637 CIVIL 1996 In the Court of Common 'Pleas of. Cumberland County, Pennsylvania, which YOU are reQuired to defend. - 11 YOU wish to defend, you must enler II written ap- pearance penona\IV or by attorney find file your 'ie- tenses or oblectlons In wrlt- Ina wllh ttle court. You are warned that II YOU rail to do so the case may proceed without you and.. decree of divorce may be entered ~~st ro~ rr:~hO~ll~~rt~~ <luested by the PlelntUf. You may IO$C money or ProP- ertv"Or other rIghts ImPOr- tentto,you, YOU SHOULD TAKE, THIS NOTICE TO YOUR' LAWYER AT ONCE. IF YOU 00 NOT HAVE'A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OF- FICE SET FORTH BELOW TO FIND- OUT WHERE YOU CAN GeT LEGAL HELP. Court Admlnls'relor Cum- berlend Courthouse. Car. lisle. PA 11013 1717) 2.(9-6200 .. Cindy E. Sheaffer, Esquire 8O~_~~!!!Y.lI!~d P. O. Box 267 Enole. PA 17025 M~rAfl~2-7971 AMornev tor hb~l'ltn11007 PO BOX 194 Phoenix, Arizona 8500/-0/94 (602)271-7300 '} STATE OF ARIZONA COUNTY OF MARICOPA ss. TOM BIANCO, being first duly sworn, upon oath deposes and says: That he is the legal advertising manager of the Arizona Business Gazette, a newspaper of general circulation in the county of Maricopa, State of Arizona, published at Phoenix, Arizona, and that the copy hereto attached is a true copy of the advertisement published in the said paper on the dates indicated, 4/3/97 ~~ '- .....-- Sworn to before me this 3RD day of APRIL A,D. 1997 .----....j. Of I ,:' ./. l ',~-/ll .; '"" MARY LEt 'JOOIIER 0:!. ,~~~.,..~:~i; f!,),lrj I':'.hlll;. ~,.:": n.T ,'\.!izC,II::-' ..-,.. ,"f\ 'j ""'1("\1'/ ""I'I'CY '...i(VI'. ,'1,1(',,\.. A" / ":':~'~~{:.' My ('.::1':1[,1 f.tpJ(;~ ',~,::,~lll1. 19'/1 ,-_._-_._-~--' i~- Notary Public ROBERT MALLON, IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY, PENNSYLVANIA Plaintiff : CIVIL ACTION" LAW v. NO. fr'{:. 4Cr3 7 (l.((IC~ IN DIVORCE KAREN W. MALLON, Defendant AFFIDA VIT liNDER SECTION 330lldl OF THE DIVORCE CODE I. The parties to this action separated on February 2, 1989, and have continued to live separate and apart for a period of at least two years. 2. The marriage is irretrievably broken. 3. I understand that I may lose rights concerning alimony, division of property, lawyer's fees or expenses if I do not claim them before a divorce is granted. I verify that the statements made in this affidavit are true and correct. I understand that . false statements hereir. arc made subject to the penalties of] 8 Pa. C.S. * 4904 relating to unsworn falsification to authorities. ~~?-- ROBERT MALLON Date: :seCt' ;it: .I , ~ en -::1 ~ , ,- ~Q (~ -) :-:-: /.. , -, c ,,- .;, , &:1' LL, ~: -;j 0'- " 0" .~~ 6' u.'~ - c2~~ . <.: :.J ~ _1... r I' \..J-' :,j () e., () ~ A, An inquiry was made by Plaintiff's attorney of the Fraternal Order of Eagles in Rose Garden Circle, Glen Rock, Arizona, Defendant's employer at the time of the parties' separation. The employer had no records of Defendant. 9, An inquiry was made by Plaintiff's attorney of directory assistance in the Phoenix/Glen Dale, Arizona, area. They have no current telephone listing for Defendant. 10. An inquiry was made by Plaintiff's attorney of the Glen Dale, Arizona, Post Office. They have no forwarding address for Defendant. 11. An inquiry was made by Plaintiff's attorney of the Voter Registration Office of Maricopa County, Arizona. They will not release any information they have on any person. I I I I , I . I 12. An inquiry was made by Plaintiff's attorney of the Glen Dale, Arizona, Tax Office, They will not release any information they have on any person. 13. An inquiry was made by Plaintiff's attorney of the Motor Vehicle Department in Phoenix, Arizona. They are not able I I j I I I I I I I ! i i I , 1 I ! .1 'I I I to locate information without an address, a Social Security number, or a date of birth, 14. Plaintiff has made a good faith effort to locate and serve Defendant, but has been unsuccessful. 15. Unless the Court allows service by way of publication, Plaintiff will be unable to maintain this action and injustice will result. 2 C") '>- ~- -". ~J~ I:,:)~ (~) <c 0.,.~ '...w ::~z c:';z 'S.I.:lLU :.;'~a... :3 (.) ,.... .~- ."'~,.....-', ........ .' ::~ .. '0 CT 0 7 199ffY ';." ..:. ~ . . ROBERT MALLON, IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA Plaintiff NO. 96.4637 v. CIVIL ACTION ' LAW KAREN W. MALLON, Defendant IN DIVORCE AFFIDAVIT IN SUPPORT OF PLAINTIFF'S MOTION FOR SPECIAL ORDER Robert Mallon, being duly sworn according to law, deposes and says the following: 1. I am the Plaintiff in the above action, 2. At my direction, an investigation was conducted into the whereabouts of the Defendant. The efforts to locate the Defendant included the following: a.' An inquiry was made by my attorney of the Fraternal Order of Eagles in Rose Garden Circle, Glen Rock, Arizona, Defendant's employer at the time of the parties' separation. The employer had no records of Defendant, b, An inquiry was made by my attorney of directory assistance in the Phoenix/Glen Dale, Arizona, area. They have no current telephone listing for Defendant. c. An inquiry was made by my attorney of the Glen Dale, Arizona, Post Office, They have no forwarding address for Defendant. d. An inquiry was made by my attorney of the Voter Registration Office of Maricopa County, Arizona, They will not release any information they have on any person. ,. -.... . \ ROBERT MALLON , In the Coort of Common Pleas of Cumberland County, Pennsylvania Plaintiff vs. No, 4637 Civil. 19 96 KAREN W. MALLON, Defendant IN DIVORCE PRAECIPE TO REINSTATE COMPLAINT TO THE PROTHONOTARY: Please reinstate the Complaint in the above-captioned case. To Prolhuno{;.lry February 26, 19 97 Cindy E. Sheaffer, Esquire Attorney I.D. No. 70327 P. O. Box 267 Enola, PA 17025 r A.Ald I G E. LL'~ll1 Auolncy for Plain f .J