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HomeMy WebLinkAbout97-05318 ~ + ~ /"- r-. ~ 1S &:- " ..' Ir: <4 I." \ Q. 0} ~f' :'~ .' 8SLj l..1 0"' C. ~ ~ I.., B '. '-.1,\ I;, Cf n) i ..'i", ,,~ . ~ ~ ii"11 , '. ~ " '. ~ ' . t, , U. ..... - ."'- (j ,.,. .. o. . J U - - r:: - ~ i~ ~ > if ~ ,.J '" >- ~ ~ i~~ ~ ..l . i I::i r:: ~ ~~ == "'1iQ .... t" u _ ~ .. " , . , '. ,I" i.:" ,. ':1 ' CHARLES E, PETRIE A1'fOltMtY AT LAW 3528 BRISBAN STREET HARRISBURG. PENNSYLVANIA 17111 (.rtEP 3 0 1991 TYLER DREW POUST is presently in the custody of Wilson Belle and ~inda Belle, his wife; QUENTIN LEE POUST is presently in the custody of. Betty Poust. Since birth the children have resided with the followin~ persons and at the following addresses: from May 20, 1994, until February, 1996, Tyler lived with both parents at III Second Street, Apartment 3, West Fairviewr Pennsylvania; from February, 1996, until October, 1996, Tyler and Quentin lived with both parents at 206 Capital Hill Road, Dillsburg, Pennsylvania; from October, 1996, until November, 1996, both children resided with Mother in Steeltonr Pennsylvania; from November, 1996r until September, 1997, both children resided with Mother at various addresses in West Fairview, Pennsylvania; from September I, 1997, until the present, Tyler hos resided with Wilson and Linda Belle, his wife, at III Second Street, Apartment 4, West Fairview, Pennsylvania; Quentin has resided with Betty Poust at 333 Poplar . Street, Steel ton, Pennsylvania, since September I, 1997. The mother of the children is TEASHA MARIE POUST, who currently resides at an address currently unknown to Plaintiff. She is not married. The father of the children is WILLIAM C. ALBRIGHT, JR., who currently resides at 904 Chester Street, Enola, Pennsylvania. He is not married. 4. The relationship of the Plaintiff to the children is that of father. The Plaintiff currently resides with his father, WILLIAM c. ALBRIGHT, SR. 5. The relationship of the Defendant, TEASHA MARIE POUST, to the children is that of mother. Plaintiff is unaware of where she resides. The relationship of the Defendant, WILSON BELLE and LINDA BELLE, his wife, to the children is that of grandparents. The relationship of the Defendant, BETTY POUST, to the children is that of maternal great-aunt. 6. The Plaintiff has not participated as a party or witness, or in another capacity, in other litigation concerning the custody of the children in this or in another court. The Plaintiff has no information of a custody proceeding concerning the custody of the children in t~is or in another court. Plaintiff. does not know of a person not a party to these proceedings who has physical custody of the children or who claims to have cus~ody or visitation rights with respect to the children. 7. The best interest and permanent welfare of the children will be. served by confirming ri~hts of primary physical custody in Plaintiff.