HomeMy WebLinkAbout00-04818
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IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY
STATE OF
PENNA.
MELINDA SUE DANKOWSKY,
I
PLAINTIFF
NO. 2000-04818
VERSUS
PAUL DAVID DANKOWSKY,
DEFENDANT
DECREE IN
DIVORCE
AND NOW,
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~ , IT IS ORDERED AND
DECREED THAT
MELINDA SUE DANKOWSKY
, PLAINTIFF,
AND
PAUL DAVID DANKOWSKY
, DEFENDANT,
ARE DIVORCED FROM THE BONDS OF MATRIMONY.
THE COURT RETAINS JURISDICTION OF THE FOLLOWING CLAIMS WHICH HAVE
BEEN RAISED OF RECORD IN THIS ACTION FOR WHICH A FINAL ORDER HAS NOT
YET BEEN ENTERED;
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By
ATTEST:
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PROT NOTARY
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LINDA SUE DANKOWSKY, : IN THE COURT OF COMMON PLEAS
Plaintiff : OF CUMBERLAND COUNTY, PENNA.
:
Vs. : NO. 2000-04818
AUL DAVID DANKOWSKY, CIVIL ACTION - LAW
Defendant : IN DIVORCE
MARRIAGE SETTLEMENT AGREEMENT
THIS AGREEMENT made this B ~
day of ~~ , 2000, by
nd between Melinda Sue Dankowsky, of 1553 Thompson Lane,
lechanicsburg, PA 17055, County of Cumberland, Commonwealth of
ennsylva.nia (hereinafter referred to as "WIFE") and Paul David
ankowsky, of 9 Wiltshire West, Carlisle, PA 17013, County of
umberland, Commonwealth of Pennsylvania (hereinafter referred to
s "HUSBAND").
WITNESSETH: WHEREAS, HUSBAND and WIFE were lawfully married
n September 17, 1988 at Washington, Pennsylvania. Wife
.nstituted an action in divorce to number 2000-04818 in the Court
f Common Pleas of Cumberland County, Pennsylvania on July 7,
000. The pleadings in the case requested dissolution of the
arriage between the two parties and for such further relief that
_he Court may deem equitable and just; and
WHEREAS, The parties have reached an agreement as to the
ettling of all matters relating to the divorce.
NOW, THEREFORE, in consideration of the promises and the
utual promises, covenants and undertakings hereinafter set forth
nd for other good and valuable consideration, receipt of which
's hereby acknowledged by each of the parties hereto, HUSBAND and
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IFE, each intending to be legally bound, hereby covenant and
gree as follows:
1. The parties intend to maintain separate and permanent
omiciles and to live apart from each other. It is the intent
nd purpose of this Agreement to set forth the respective rights
nd duties of the parties while they continue to live apart from
ac.h other.
2. The terms of this Agreement and their effect have been
ully explained to both of the parties by, Jane M. Alexander,
squire. HUSBAND has been advised that he may seek independent
egal counsel. The parties aCknowledge that they have received
.ndependent legal advise from counsel of their choice and have
een fully informed as to their legal rights and obligations or
ave fully chosen not to do so. The parties understand the facts
nd acknowledge and accept this Agreement as fair and equitable.
3. The parties have attempted to divide their matrimonial
roperty in a manner which conforms to a just and right standard,
ith due regard to the rights of each party. It is the intent of
he parties that such division shall be final and shall forever
etermine their respective rights. The division of existing
property is not intended by the parties to constitute in
a sale or exchange of assets, and the division is being
without the introduction of outside funds or other
roperty not constituting a part of the marital estate.
4. Further, the parties agree to continue living separately and
part from the other at any place or places that he or she may
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Neither party shall molest, harass, annoy, injure,
or interfere with the other party in any matter
hatsoever. Each party may carryon and engage in any
profession, business or other activity as he or she
ay deem advisable for his or her sole use and benefit. Neither
arty shall interfere with the uses, ownership, enjoyment or
isposition of any property now owned and not specified herein or
roperty hereafter acquired by the other.
:', The consideration for this contract and agreement is the
ut:ual benefits to be obtained by both of the parties hereto and
covenants and agreements of each of the parties to the other.
adequacy of the consideration for all agreements herein
ontained is stipulated, confessed, and admitted by the parties,
nd the parties intend to be legally bound hereby.
6 . Debts of the Parties:
It is further mutually agreed and understood by and between
he parties that all joint debts have been paid including open
ccounts, credit cards, and bank liabilities except as
ereinafter set forth:
6.1) The HUSBAND shall assume all liability for and pay
nd indemnify the WIFE against all debts and bills in his name
lone, particularly those incurred since date of filing Complaint
n Divorce.
6.2) The WIFE shall assume all liability for and pay and
ondemnify the HUSBAND against liability for all debts and bills
'n her name alone, particularly those incurred since date of
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eparation.
6.3) HUSBAND shall assume all liability for the balance
ue on the following accounts:
Office Max Account #: 601161721213135243
National City Account # : 4489709850310440
MBNA Account #: 5329016572102696
Discover Account #: 6011002610149791
Bank of America Account #: 4336009099012211
Kamiski & Hawbaker
HUSBAND agrees to save WIFE harmless from any and all claims maid
in re the said accounts.
6.4) WIFE shall assume all liability for the accounts of
the following:
Citibank
Account #: 4128002760361621
Account #: 4450009836688
Account #: 378535417991006
Sears
American Express
WIFE agrees to save HUSBAND harmless from any and all claims maid
in re the said accounts.
7, Personal Property.
As to all items of personal property which the parties have
divided to their mutual satisfaction, henceforth, each of the
parties shall own, have and enjoy independently of any claim or
right of the other party, all items of personal property of every
kind, nature and description and wherever situated, which are now
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ame as fully and effectually, in all respects and for all
urposes as if he or she were not married.
7. 2 ) Vehicles:
(a) HUSBAND shall retain ownership of the 2000
hevrolet Monte Carlo, VIN NO. 2GIWW12E2Y9179918, and shall be
esponsible for any debt thereon, if any.
(b) WIFE shall retain ownership of the 1987
itsubishi Eclipse, VIN NO. 4A3AK35GOVE039105, and shall be
esponsible for any debt thereon, if any.
7.2) Bank Accounts:
Each party will open or has opened their own bank
account;
(a) The parties agree that all funds in the bank
ccount numbered 33383448 at the Allfirst Bank are the sole
roperty of HUSBAND, and WIFE waives any and all future claims
against those funds.
(b) The parties agree that all funds in the bank
account numbered 5002098382 at the PNC Bank are the sole property
f WIFE, and HUSBAND waives any and all future claims to those
funds.
7 . 3) Pensions:
Both parties agree to release any interest they
ay have in the pension plans, 401(k), profit sharing or IRA
of the other, if any exist, and agree to execute any
ocuments that may be required to confirm said release.
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8. REAL ESTATE:
Payments on the mortgage with Homeside Lending, account no.
1-696-2722 on the marital residence located at 9 Wiltshire West,
Carlisle, PA 17013 will be divided as follows until date of sale
of real estate: HUSBAND is responsible for three-fourths of the
onthly mortgage payment or the payment due September 1, 2000 and
for the next five months including the payment due .February 1,
2001 and WIFE is responsible for one-fourth of the monthly
ortgage payments through that six month period. Beginning with
the March 1, 2001 payment HUSBAND will be responsible for the
total mortgage payment until property is sold.
HUSBAND shall also assume fifty percent of the association
fee for the marital residence. WIFE shall also assume fifty
percent of the association fee for the marital residence.
At date of sale the net proceeds will be equally divided
between the parties after deduction of all expenses, taxes, and
balance due on the mortgage.
However, if property is not sold within one year of date of
this agreement HUSBAND shall be responsible for refinancing the
mortgage to remove wife as obligor thereon.
9. Spousal Support/Alimony:
Neither party will make a claim, now, or in the future for
spousal support and/or alimony.
10. The property settlement as provided herein between the
parties shall be considered an equitable distribution of marital
property and both parties waive any and all rights or claims
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they may have been entitled to raise with respect to the
ssue of equitable distribution under the Provision so the
ennsy1vania Divorce Act.
12. The parties agree that simultaneously with the signing of
his Agreement they will sign the necessary affidavits of consent
nd affidavits aCknowledging notice of marriage counseling in
conclude the divorce action filed by WIFE under the
provisions of the Pennsylvania Divorce Act.
13. The waiver or unenforceability of any term, condition,
or provision of this Agreement shall in no way be deemed
r considered to be a waiver of or forfeiture of right to enforce
ny other term, condition, clause or provision of this Agreement.
14. This Agreement shall be construed and interpreted
ccording to the laws of the Commonwealth of Pennsylvania.
15. It is understood and agreed that the heirs,
executors and assigns of the parties hereto shall
e bound by all the terms, conditions, clauses and provisions of
his Agreement.
IN WITNESS WHEREOF, the parties hereto have set their hands
nd seals the day and year first above written, intending to be
legally bound.
(SEAL)
(SEAL)
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF YO~K
On this, the et'- day of ~b.be4, 2000, before me, the
: SSe
undersigned officer, a Notary Public, in and for said
Commonwealth and County, personally appeared Melinda Sue
Dankowsky and Paul David Dankowsky known to me (or satisfactorily
proven) to be the persons whose names are subscribed to the
foregoing Marriage Settlement Agreement and in due form
acknowledged that they executed the same for the purpose therein
contained and desired the same to be recorded as such.
WITNESS my hand and notarial seal the day and year
aforesaid.
N~~;,=~
My Commission Expire:
Notarial Seal
Halvard E. Alexander. Notary Public
Dlllsburg Bora. York County
My Commission Expires April 23, 2001
Member, Pennsylvania Association of Notaries
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MELINDA SUE DANKOWSKY, : IN THE COURT OF COMMON PLEAS
Plaintiff : OF CUMBERLAND COUNTY, PENNA.
:
VS. : NO. 2000-04818
:
PAUL DAVID DANKOWSKY, : CIVIL ACTION - LAW
Defendant .
.
PRAECIPE TO TRANSMIT RECORD
To the Prothonotary:
Transmit the record, together with the following
information, to the court for entry of a divorce decree:
1. Ground for divorce: irretrievable breakdown under
Section (3301(c)) ~XXBl~M~Xl~~ of the Divorce Code. (Strike out
inapplicable section.)
2. Date and manner of service of the complaint: sent certified mail
restricted delivery on July 10, 2000 with returned receipt requested.
3. (Complete either paragraph (a) or (b).)
(a) Date of
required by Section
October 9. 2000
October 12. 2000
execution of the affidavit of consent
3301(c) of the Divorce Code: by plaintiff
; by defendant
(b) (1) Date of execution of the plaintiff's affidavit
required by Section 3301(d) of the Divorce Code:
(2) Date of. service of the plaintiff's affidavit upon
the defendant;
4. Related claims pending: All claims are settled and
_~~ti~fiprl hy M~rriage settlement Aareement dated September 8, 2000
~iqnprl hy hpth parties.
5. Date and manner of service of the notice of intention to
file praecipe to transmit record, a copy of which is attached, if
the decree is to be entered under section 3301(d)(1)(i) of the
Divorce Code.
6. Date
file praecipe
the decree is
Code
of Notice of Intent
and manner of service of the notice of intention to
to transmit record, a copy of which is attached, if
to be entered under section 3301(c) of the Divorce
, or, date of execution of waiver
and date of filin
Plaintiff - October 13, 2000, Defe dant - October
of waiver
, 2000
n er
Plaintif~~
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MELINDA SUE DANKOWSKY,
Plaintiff
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PAo
NO. OO-"-/P,P C;u<(-T~
CIVIL ACTION - LAW
IN DIVORCE
vs.
PAUL DAVID DANKOWSKY,
Defendant
NOTICE TO DEFEND AND CLAIM RIGHTS
You have been sued in Court. If you wish to defend against the claims set forth in
the following pages, you must take prompt action, You are warned that if you fail to do so,
the case may proceed without you and a decree of divorce or annulment may be entered
against you by the Court. A Judgment may also be entered against you for any other claim
or relief requested in these papers by the Plaintiffo You may lose money or property or other
rights important to you, including custody or visitation of your childreno
When the ground for the divorce is indignities or irretrievable breakdown of the
marriage, you may request marriage counseling. A list of marriage counselors is available in
the office of the Prothonotary at the Cumberland County Court House, One Courthouse
Square, Carlisle, Pennsylvania 170130
IF YOU DO NOT FILE A CLAIM FOR ALIMONY, DIVISION OF PROPERTY,
LAWYER'S FEES OR EXPENSES BEFORE A DIVORCE OR ANNULMENT IS
GRANTED YOU MAY LOSE THE RIGHT TO CLAIM ANY OF THEMo
YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU
DO NOT HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE
THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL
HELP 0
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013
(717) 249-3166
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MELINDA SUE DANKOWSKY,
Plaintiff
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PA.
VSo
NO.
PAUL DAVID DANKOWSKY,
Defendant
CML ACTION - LAW
IN DIVORCE
NOTICIA
USTED HA SIDO DEMANDADO EN LA CORTE. Si desea defenderse de las
quejas expuestas en las paginas siguientes, debe tomar accion con prontitudo Se Ie avisa que
sii no se defiende, el caso puede proceder sin usted y decreto de divorcio 0 anulamiento puede
ser emitido en su contra por la Corteo Una decision puede tambien ser emitida en su contra
por cualquier otra queja 0 compensacion rec1amados par el demandant. Usted puede perder
dinero, 0 propiedades u otros derechos importantes para ustedo
Cuando la base para el divorcio es indignidades 0 rompimiento irreparable del
matrimonio, usted puede solicitar consejo matrimonial. Una lista de consejeros
matrimoniales esta disponible en la oficina del Prothonotry, en la Cumberland County
Courthouse, One Courthouse Square, Carlisle, Pennsylvania.
SI USTED NO RECLAMA PENSION ALIMENTICIA, PROPIEDAD MARITAL
HONORARIOS DE ABOGADO U OTROS GASTOS ANTES DE QUE EL DECRETO
FINAL DE DIVORCIO 0 ANULAMIENTO SEA EMITIDO, USTED PUEDE PERDER
EL DERECHO A RECLAMAR CUALQUlERA DE ELLOSo
USTED DEBE LLEV AR ESTE PAPEL A UN ABOGADO DE INMEDIATOo SI
NO TIENE 0 NO PUEDE PAGAR UN ABOGADO, VAYA 0 LLAME A LA OFICINA
INDICADA ABAJO PARA A VERIGUAR DONDE PUEDE OBTENER ASISTENCIA
LEGAL.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013
(717) 249-3166
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LINDA SUE DANKOWSKY,
Plaintiff
:
IN THE COURT OF COMMON PLEAS
OF CUMERLAND COUNTY, PENN.
NO. tJo- </9 Ii ~ 7~
:
:
VS.
:
:
AUL DAVID DANKOWSKY,
Defendant
: CIVIL ACTION - LAW
: IN DIVORCE
AND NOW, this
COMPLAINT UNDER SECTION 3301 (c) OF THE DIVORCE CODE
COUNT I
(; ftv day of Wi f 'f
Sue Dankowskl! by her
, 2000, comes the
laintiff, Melinda
attorney, Jane M.
lexander, Esquire, and files this Complaint upon a cause of
ction of which the following is a statement.
1. Plaintiff is Melinda Sue Dankowsky, 33 years of age, who
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burrently resides at 1553 Thompson Lane, Mechanicsburg,
I,
;Cumberland County, pennsylvania 17055.
2. Defendant is Paul David Dankowsky, 32 years of age, who
currently resides at 9 Wiltshire West, Carlisle, Cumberland
county, Pennsylvania 17013.
3. Plaintiff and Defendant have both resided in the
ommonwealth of Pennsylvania for at least six (6) months prior to
he filing of the Complaint in Divorce.
4. The Plaintiff and Defendant were married on September
17, 1988 by Minister in Washington County, Pennsylvania.
5. There were no children born to the parties.
Page 1 of 3
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6. There were no prior actions in divorce or annulment
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commenced by the parties.
7. The parties have not entered into a written agreement as
to alimony, counsel f~es, cost and property division.
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8. The Plaintiff has been advised of the availability of
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counseling and that t~e Plaintiff may have the right to request
that the Court requir, the parties to participate in counseling.
9. While the parties were domiciled within the Commonwealth
of Pennsylvania, and through no fault of Plaintiff, the innocent
and injured spouse, the Defendant, in violation of the marriage
ows and the laws of the Commonwealth, has offered such indigni-
ties to the person of the Plaintiff as to render his condition
intolerable and life burdensome.
WHEREFORE, the Plaintiff prays your Honorable Court to enter
a Decree of Divorce from the bonds of matrimony.
COUNT II
10. The allegations of Paragraph one (1) through nine (9)
;;are incorporated herein by reference and made a part hereof.
11. The marriage is irretrievably broken.
WHEREFORE, the Plaintiff prays your Honorable Court to enter
~ Decree of Divorce from the bonds of matrimony.
Page 2 of 3
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COUNT III
12. The allegations of Paragraph one (1) through nine (9)
and Paragraphs ten (10) and eleven (11) are incorporated herein
by reference and made a part hereof.
13. Plaintiff and Defendant have acquired property, both
real and personal during their marriage.
14. Plaintiff and Defendant have been unable to agree as to
an equitable division of said property.
WHEREFORE, Plaintiff requests your Honorable Court to
equitably divide all marital property of whatsoever kind and
wheresoever situate and for such further relief as the Court may
deem equitable and just.
Respectfully Submitted,
,
'I
e M. der, quire
torney fo the Plaintiff
ttorney I. D. #07355
148 S. Baltimore Street
Dillsburg, PA 17014
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Page 3 of 3
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\1ERIFICATION
I verify that the statements made in this COMPLAINT are true
nd correct. I understand that false statements herein are made
ubject to the penalties of 18 Pa. C.S. S4904 relating to unsworn
alsification to authorities.
ATE: 7 l#/ (f)
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OMMONWEALTH OF PENNSYLVANIA :
: S.S.
OUNTY OF CUMBERLAND
:
Before me, the undersigned officer, a Notary Public, in and
or the said Commonwealth and County, personally appeared
~elinda Sue Dankowsky, who affirmed according to law, deposes and
says that the facts and matters set forth in the foregoing
IIComplaint are truly and correct to the best of her knowledge,
information and belief.
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Isworn
befor
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Notarial Seal
Halvard E. Alexander, Notary Public
I Dlllsburg Boro, York County
My Commission Expires April 23. 2001
Member. Penl'lsvl\l':lr!:c1 A~socia.tinn of Nottlrips
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MELINDA SUE DANKOWSKY,
Plaintiff
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PA.
vs.
NO. 2000-04818
PAUL DAVID DANKOWSKY,
Defendant
CIVIL ACTION - LAW
IN DIVORCE
AFFIDAVIT OF CONSENT
1. A Complaint in Divorce under Section 3301(c) of the Divorce Code was filed on
July 7, 2000.
20 The marriage of Plaintiff and Defendant is irretrievably broken and ninety (90)
days have elapsed from date of filing and service of the Complaint.
3. I consent to the entry of a final decree of divorce after service of notice of
intention to request entry of the decreeo
I verify that the statements made in the Affidavit are true and correct. I understand
that false statements herein are made subject to the penalties of 18 Pao CoSo Section 4904
relating to unsworn falsification to authoritieso
Date: ID- q. Q)(b
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MEUNDA SUE DANKOWSKY,
Plaintiff
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PAo
VSo
NOo 2000-04818
PAUL DAVID DANKOWSKY,
Defendant
CML ACTION - LAW
IN DIVORCE
AFFIDA VIT OF CONSENT
1. A Complaint in Divorce under Section 3301(c) of the Divorce Code was filed on
July 7,2000,
2. The marriage of Plaintiff and Defendant is irretrievably broken and ninety (90)
days have elapsed from date of filing and service of the Complainto
30 I consent to the entry of a [mal decree of divorce after service of notice of
intention to request entry of the decreeo
I verify that the statements made in the Affidavit are true and correct. I understand
that false statements herein are made subject to the penalties of 18 Pao CoSo Section 4904
relating to unsworn falsification to authorities.
Date:
/0' /;) -(50
~ /JaW! Ul
Paul David Dankowsky
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MELINDA SUE DANKOWSKY,
Plaintiff
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PA.
VSo
NO. 2000-04818
PAUL DAVID DANKOWSKY,
Defendflt
CML ACTION - LAW
IN DIVORCE
I
W 4IVER OF NOTICE OF INTENTION
TO REQUEST ENTRY OF A DIVORCE DECREE
UNDER CODE SECTION 3301 (0 OF THE DIVORCE CODE
10 I consent to the entry of a final decree of divorce without noticeo
20 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.
3. I understand that I will not be divorced until a divorce decree is entered by the
Court and that a copy of the decree will be sent to me immediately after it is filed with the
Prothonotary 0
I verify that the statements made in this affidavit, are true and correct. I understand
that false statements herein are made subject to the penalties of 18 Pao CoSo Section 4904
relating to unsworn falsification to authoritieso
Date: 10 ~q -(/)(lJ
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MELINDA SUE DANKOWSKY,
Plaintiff
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PAo
vs.
NO. 2000-04818
PAUL DAVID DANKOWSKY,
Defendant
CIVIL ACTION - LAW
IN DIVORCE
WAIVER OF NOTICE OF INTENTION
TO REQUEST ENTRY OF A DIVORCE DECREE
UNDER CODE SECTION 3301(C) OF THE DIVORCE CODE
1. I consent to the entry of a final decree of divorce without notice.
20 I understand that I may lose rights concerning alimony, division of property,
II lawyer's fees or expenses if I do not claim them before a divorce is grantedo
3. I understand that I will not be divorced until a divorce decree is entered by the
Court and that a copy of the decree will be sent to me immediately after it is fIled with the
Prothonotary 0
I verify that the statements made in this affidavit, are true and correcto I understand
that false statements herein are made subject to the penalties of 18 Pao C.S. Section 4904
relating to unsworn falsification to authoritieso
/{j'/)CJ:j e
Paul David DankowskY
Date:
II
II
II
.
-
.
LINDA SUE J)ANKOWSKY, : IN THE COURT OF COMMON PLEAS
PLAINTIFF OF CUMBERLAND COUNTY, PENNA.
:
vs. : NO. 2000-04818
AUL DAVID DANKOWSKY, : CIVIL ACTION - LAW
DEFENDANT : IN DIVORCE ,
AFFIDAVIT OF SERVICE
.>>.ND NOW, this 4-Aay of
ppeared Jane M. Alexander, Esqu'
, 2000 personally
according to law,
hat a true and correct copy of a COMPLAINT IN DIVORCE was caused
o be served by certified mail with return receipt requested upon
he, said,
Paul David Dankowsky
9 Wiltshire West
Carlisle, PA 17013
n Julv 7, 2000 by leaving the same at the Dillsburg Post Office
ith postage pre-paid thereon as evidenced by the mailing receipt
nd return receipt hereto attached aid made a part hereof.
er, Esquire
ttorney I. #07355
48 S. Bal imore Street
illsburg, PA 17019
(717) 432-4514
subscribed before
tf~ day of
, 2000.
Notarial Seal
Halvard E. Alexander, Notary PUblic
Dillsbur9 Boro. York County
i ! My Commission Expires April 23. 2001
Member, Penn;:\lI\:"~"-- ''''~~ociation Of Notaries
INDA SUE DANKOWSKY.
PLAINTIFF
'Is.
AUL DAVID DANKOWSKY,
DEFENDANT
:
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PENNA.
.
.
:
NO.
2000-04818
:
:
CIVIL ACTION - LAW
IN DIVORCE
PROOF OF SERVICE
u.s. Postal Service
CERTIFIED MAIL RECEIPT
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MELINDA SUE DANKOWSKY,
Plaintiff
VS.
PAUL DAVID DANKOWSKY,
Defendant
,.<.k
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.
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PA
NOo 2000-04818
CIVIL ACTION - LAW
IN DIVORCE
AMENDED AFFIDAVIT OF SERVICE
AND NOW, this ~ay of
~
, 2000 personally
appeared Jane M, Alexander, Esquire who swears according to law, that a true and correct
copy of a COMPLAINT IN DIVORCE was caused to be served by certified mail with return
receipt requested upon the said,
Paul David Dankowsky
9 Wiltshire West
Carlisle, PA 17013
on July 10,2000 by leaving the same at the Dillsburg Post Office with postage pre-paid
thereon as evidenced by the mailing receipt and return receipt hereto attahced and made a
part hereof.
Sworn and subscribed before
me this ~ ":f- day of
e:>bI-obtA,. , 20000 .
~~c4j.jl,.--
, Notary Public
Notartal Seal
Halvard Eo Alexander, Notary Public
Dillsburg Boro, York County
My Commission Expires April 23. 2001
ember, Pennsvl\lania Associi'ltion of NotarIes
I,
o Alexander,
omey I.Do #073
1 8 S. Baltimore Street
illsburg, P A 17019-0421
17) 432-4514
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ELINDA SUE DANKOWSKY,
PLAIN'rIFF
'IS.
AUL DAVID DANKOWSKY,
OEFENDAN'l'
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IN 'l'lIE COVIn' OF COMMON PLEAS
OF CUMBERLAND COUNTY, P]'-:NNA.
NO.
2000-04!llU
:
CIVIL ACTION - LAW
IN DIVORCE
PROOF OF SERVICE
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SOCIAL SECURITY INFORMATION SI I 1-: I':"!"
PURSUANT TO 2J Pa.L'.S.I\. SECTION 4304,1 (al (3) ALl. 1>1\( )I{\I\ \ II '\ 1
INCLUDE TilE PARTIES SOCIAL SECl'RITY NUMllLR
PLEASE FILL IN TilE APPROPRIATE INFORMATION ANI> RFllll{NI() Till
PROTHONOTARY'S OFFICE
DATE: Q~~) -IE)~ --
DOCKET NUMBER: _ 2000-04818
PLAINTIFF/PE.FITIONER SS# 159-62-1956
NAME: Melinda Sue Dankowsky
DEFENDANT/RESPONDENT SS # 169-64-2977
NAME: Paul David Dankowskv
~."
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IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
:
MELINDA SUE DANKOWSKY .
,
.
,
Plaintiff .
,
.
,
v. .
,
:
PAUL DAVID DANKOWSKY :
:
Defendant :
NO. 2000-04818
CIVIL 2OJO
JlCTIm IN DIVORCE
NOTICE OF ELECTION TO RETAKE FORMER NAME
Notice is hereby given that tIle Plaintiff in the above matter,
having been granted a Final Decree in divorce from the bonds of
matrimony on the 25TH 'day of OCTOBER ,2000_, hereby
elects to retake and hereafter use her pr~vious name of
MELINDA SUE ANDERSON
( ~~~ - ~.~~I:J
41~J~l1a,:s~
( i~tw:e - to be cwo as l
COMMONWEALTH OF PENNSYLVANIA :
COUNTY OF €8iUu,.,lI.bMlB Yo/l.K :
ss.
On the J -Jj.. day of NOVEMBER
II> , 20~, before, a
Notary Public, personally appeared MELINDA SUE DANKOWSKY , known
to me to be the person'. whose name is subscribed to the within docu-
ment, and acknowledged that she executed the foregoing for the pur-
pose therein contained.
IN WITNESS WHEREOF,
Seal..
hand and Notarial
"
Notary Public
Notarial Seal
Halvard E, Alexander. Notary Public
Dillsburg Bora, York County
My Commission Expires April 23. 2001
Member, Pennsylvania Association of Notaries
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