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HomeMy WebLinkAbout97-06006 . .;; J J I ~ : )!!I ]i ~i l & .. u n " " ~ ~ 8 ~ ~ ~ ~ ~I ~I ~ .- - --.'" ..: -:.-: "'.-.- ;: ,.a. ... .:M;. .:.It> .~,' -.~. '~..' ':'.' lil' . ) ~~ ~; '/ ~i ~! " ~I ~; 'I ~I , , ~: I ~ . , . J ~i , ) ~! 1.1 .\ ~ ~ 8 ~l 1.1 ~ ~ '" ., :.:. ':.:' .:<<, ':.:' .;tV '. .... l' ,.-- v . ._- ....18 I. i i, i, !~ , 8 * . * . * * * * ~ I- * * . I, i! , 8 8 8 . . . . . . . . . . e . . . .. '-"-" Iii :.: ,:or.' .:.:' 'lII:' '*, ... ... *' ,~. .:c. .:<<. .j&(- -:<<. -:.:. -:<<. .:.::. :<<. :.:. .:<<. :+;- :.:. :.: -:+:- :.: ..;. :-:.": :.: :. :.~, :.;. ~ ~ . ) ~ ~) ~! Mi .1 , ; ll; " ~. , , IN THE COURT OF COMMON PLEAS COUNTY OF CUMBERLAND STATE OF ~~~ \ .......~"...-.,. PENNA. JOAN H. LANDIS. Plaintiff ;'\ II. 97-6006 CIVIL. '!'~RM" \.('1'....0... CIVIL ACTION - LAW ALLEN W, LANDIS, IN DIVORCE Defendant AND NOW. . . . DECREE IN DIVORCE "....ll'-,...z-."I:, JOAN H. LANDIS . . . . . . . , . . . . '. 1996,..., it is ordered and decreed that ,'.., and.....,..... . . . . , . .. .. . . .. . .. plaintiff, , . . . . . . . . . , . . '. defendant, ALLEN W.. ,LANDIS. . , . ' 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 vet been entered; ,NONE, ......... .......... .... ..... .... 0, n v_ /{?C, 0;;; Iii- , ' AIA.'I:,~ 'R Y7' ~9t.: J. ~< _Vl .I-'. J:2h-, / rothonot.ary .:.;. -:.:. .:.:. .:+:. .:.:. ':+:- .:+:. .:+:. -:.:- -:.:- -:.:. .:.;. .;.;. .;.;. ~;JO.ff {}.,! 'W _ ,,.,,~;$ ;;r 7.(c;e;LI ~ JC fl Yl~ n<a-.&/ ~, d(I' " o . "') ('-: :' .. . ~ . . ..; ,.. , ~.1 . .. -. .. ~ ,. (: ~ '~'1: . . --/ ~ ~;" ,,-'3 ' L. ('~ (~ - ,;'I ;i I ~ I I . 19 ~ i ~ II ii' !dU . !2 . In ~B ~ I ~ !: In .... ... ~I 101= h '" ! ~ Iii " ~i If~ . I I a . I I, . ~I'l '1 I> . ~ 'i, - ,. - .. ~ . . . ..... "'. ..; ~. "" .... ~u..". ,.///.0 Ji~ &: ;.4~J , '" JOAN H. LANDIS, PlllintitT : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA v, ALLEN W. LANDIS, Defendant : CIVIL ACTION - LAW : 97-6006 CIVIL TERM : IN DIVORCE PRAECIPE TO TRANSMIT RECORD To the Prothonotary: Transmil the record, together with the following information, 10 the court for en\ly of a divorce ~: I. Ground for Divorce: irretrievable breakdown under Section 3301(c) of the Divorce Code, 2. Dale and manner of ser..-ice of complaint: A cenified copy of the Complainl in Divorce was sel\'ed upon the defendanl on November I, 1997, by cenified mail. addressed to him al S06 Crissell Drive, Boiling Springs, Pennsyl..-ania t 7007, with Return Receipl Number P 492 347 OS6. 3. Complete either paragraph (a) or (b), (3) Dale of execution of the affidavit of consent required by Section 330t(c) of the Divorce Code: by plaintiff: February 24. t998, by defendant: Febru31)' 24, 1998. (b)(l) Date of execution of the affidavit required by Section 3301(d) of the Divorce Code: (b)(2) Dale of filing and ser..-ice of the plainlifi's affidavil upon the defendant: Filed on . and served upon defendant's allomey v'ia certified mail on 4. Related claims pending: NONE. S. Complete either (a) or (b). (a) Date and manner of service of the notice of intention 10 Ille praecipe to uansmit record, a copy of which is anached: (b) Date plainlill's Waiver of Notice in Section 3301(c) Div'orce was filed "ith the Prothonotary: February 24, 1998. Date defendant's Waiver of Notice in Section 3301(c) Div February 24, 1998. /'--.... /-- -.,.. -J;. --y... " Q.. C:t 0'- t~ (J') -~ ~ 0} (2.1,) 0-- ,~ ~ " ~ w .~ B'o Q Q~ ( t:; 8 0j ,/) ~ ~ ~ \0~~ ~ .>J 0: ~C)d... c.J .... ;SB ... ~ .... ~Id ~~ 1.1~~ 1!::l ~~~ j"'...., . . f~s '" CII .......!j I ~ Ii ill .... .... ~ o u ~ ~~ 3=: =-~... ........0 1'l0=- :.i~ ..,.... ~ . ~ I ~~ Ir~~ . .... :5Mc::I ;~ ~~~ ~ I ti ei ~I I J ~ ... S OIU . 3~ro. II .. CII '1 i a .,'" I> ~"'o el via ~ " .' . ;, r .. . . . . tlt.~ or"lI:l'<l .x, r/' ' "/. . "",,,,.../z...A,,,,/If/,r. /.~"/ J" . \ '/U'/"U' J JOAN n. LANDIS, Plaintiff : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA v, I : CIVIL ACTION. LAW : 97. t.. 006 CIVIL TERM : IN DIVORCE ALLEN W, LANDIS, Defendant NOTICE You have been sued in court. If you wish to defend against the claims sel forth in the following pages, you must take prompt action. You are warned thaI if you fail to do so, the case may proceed without you and a decree in 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 plaintiff. You may lose money or property or other rights important to you, including custody or visitation of your children. When the ground for 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, Cumberland County Counhouse, 1 Courthouse Square, Carlisle, Pennsylvania 17013. IF YOU DO NOT FILE A CLAIM FOR ALIMONY, DIVISION OF PROPERTY, LAWYER'S FEES OR EXPENSES BEFORE A DIVORCE OR ANNUUlENT IS GRANTED, YOU l\1A Y LOSE THE RIGHT TO CLAIM ANY OF THEM. 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. Court Administrator Cumberland County Courthouse Fourth Floor 1 Courthouse Square Carlble. Pennsylvania 17013 117-240.6200 AMERICANS WITH DISABILITIES ACT OF 1990 The Court of Common Pleas of Cumberland County is required by law to comply with the Americans ,vith Disabilities Act of 1990. For infonnation about accessible facilities and reasonable accommodatIons available to disabled individuals having business before the court. please contact our office. All arran8ement~ must be made at least 72 hours prior to any hearing or business before the court. You must attend the scheduled conference or hearing, JOAN H. LANDIS, Plaintiff : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA v. ALLEN W. LANDIS, Defendant : CIVIL ACTION - LAW : 97-l,006 CIVIL TERM : IN DIVORCE COMPLAINT IN DIVORCE PURSUANT TO SECTION 3301{c) and 3JOl{a)/6) OF THE DIVORCE CODE NOW comes the plaintiff, Joan H. Landis, by her attorneys, Irwin, McKnight & Hughes, Esquires, and files this complaint in divorce against the defendant, Allen W. Landis, representing as follows: 1. The plaintiff is Joan H. Landis, an adult individual residing at 26 Dogwood Lane, DilIsburg, York County, Pennsylvania 17019. 2, The defendant is Allen W, Landis, an adult individual residing at 506 Crisswell Drive, Boiling Springs, Cumberland County, Pennsylvania 17007, 3, The plaintiff has been a resident of the Commonwealth of Pennsylvania at least six months prior to the filing of this action in ilivorce. 4. The plaintiff and defendant were married on January 18, 1971, Mechanicsburg, Cumberland County, Pennsylvania. 5, There were two children bom of this marriage: Angela Landis, age 25, born June 24, 1972 and Penny Landis, age 20, born Jaunary 8, 1977. 6. Pursuant to the Divorce Code, Section 3301(c), the plaintiff avers as the grounds upon which this action is based that the marriage between the parties is irretrievably broken. 7. The plaintiff avers that she has been advised of the availability of counseling and that said party has the right to request that the court require the parties to participate in counseling, WHEREFORE, the plaintiff demands judgment: a, Dissolving the marriage between the two parties; b, Equitably distributing all property, both personal and real, owned by the parties; c, Attorney fees and costs; d. For such other relief as your Honorable Court may deem equitable and just. 6~ij ,;;(OMJ'~) AN II. LANDIS Plaintiff IRWIN, MeKNIGHT & HUGHES By: 60 West Pomfret Street Carlisle, Pennsylvania 17013 717-249-2353 Supreme Court 1.0. No. 25476 Date: October , 1997 Plalnt1lT : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA JOAN U, LANDIS, v, ALLEN W. LANDIS , Defendant : CIVIL ACTION - LAW : 97. CIVIL TERM : IN DIVORCE PLAINTIFF'S MARRIAGE COUNSELING AFFIDAVIT The plaintiff, being duly sworn according to law, deposes and says: 1. I have been advised of the availability of marriage counseling and understand that I may request that the court require that my spouse and I participate in counseling. 2. I understand that the court maintains a list of marriage counselors in the Prothonotary's Office, which list is available to me upon request. 3. Being so advised, I do not request that the court require that my spouse and I participate in counseling prior to a divorce decree being handed down. I verifY that the statements made in this affidavit are true and correct, I understand that false statements herein made are made subject to the penalties of 18 Pa, C, S. Section 4904 relating to unsworn falsification to authorities, ~~.x~ OAN H. LANDIS lalntilT Date: October ~ & , 1997 L' ,.~ ry, e (..... q.'.,,~ I .. , f.'" -, r' , ,~ I (. .. I;' "_,, L~ ',' ;:<. . ;<1 t, : '. i 1.. :. r-; --: .: u' ci " ~5 ! !~ ~ ~~ ~~~~ ~ I i I I~:h ... ... s ~Ul; ~ 1 ~~it1e: · ~ I" i II .. J tl ~I'l ~, I . i ~& ~.... !~ ! i ![ Ulll< ... ~ s ~ I i r ~i ~ ~~il'l! ~ I" . , ~~~U . ~ :a III ~ a -. ~ -II ... ~ loW nr,.ILl!l .%,~.,n. ..d.;;:':,/hl ((-~r;h;J .. . v, : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW JOAN H. LANDIS, Plaintiff 97-6006 CIVIL TERM ALLEN W. LANDIS, Defendant IN DIVORCE AFFIDA VIT OF CONSENT AND WAIVER OF NOTICE OF INTENTION TO REOUEST ENTRY OF A DIVORCE DECREE UNDER .SECTION 33011el OF THE DIVORCE CODE 1. A Complaint in Divorce under sections 3301(c) and 3301(a)(6) of the Divorce Code was filed on October 29, 1997. 2. The marriage of Plaintiff and Defendant is irretrievably broken and ninety days have elapsed from the date of filing of the Complaint. 3. I consent to the entry of a final Decree of Divorce without notice. 4. 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. 5. 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. I verifY that the statements made in this affidavit are true and correct. I understand that false statements herein made are subject to the penalties of 18 Pa. C. S. Sectiolt 4904 relating to unsworn falsification to authorities. L:: - *"f/.... Date: ~", ,1998 --d--- J.} ~<W1';' JOAN H, LANDIS Plain tifT '"I ,. ','I i ' C-.' . . ) t" . " '. t.', ... (.-3 ~i ! !1IoI ~ I ! ~i~~ ~~~9~ ... ... 5 .~~ · ~ I ! j II !II~! ~ i ~~iCl~ .. I' I ~ !~. .!I .. CaI ~I'l .~ .... ~ilae lIS'" ~& , 'lli I " .... ~ I ~!~ ~ !;:", ~~ ~Sia~~ . I I do. , , . i . ~ :. ~ 1:1I ~ ~ i. ~.., , I'l'" - (~ ~ . ...' - " -"" , .:.- I."'" O'-HCf"3 . X:~~". . e. ;;~~~,{~ l(' ~/;-;//~-, , " JOAN H, LANDIS, Plaintiff : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA v. CIVIL ACTION . LAW 97-6006 CIVIL TERM ALLEN W, LANDIS, Derendant IN DIVORCE AFFIDA VIT OF CONSENT AND WAIVER OF NOTICE OF INTENTION TO REOUEST ENTRY OF A DIVORCE DECREE UNDER SECTION 3JOI/c) OF THE DIVORCE CODE 1. A Complaint in Divorce under sections 3301(c) and 3301(1I)(6) of the Divorce Code was filed on October 29, 1997, 2, The marriage of Plaintiff and Defendant is irretrievably broken and ninety days have elapsed from the date of filing of the Complaint. 3. I consent to the entry of a final Decree of Divorce without notice. 4. I understand that I may lose rights concerning alimony, division of property, lawyer's fees or expenses if! do not claim them before a divorce is granted. 5. I understand that I will not be divorced until a divorce decree is entered by the Court and taat a copy of the decree will be sent to me immediately after it is filed with the Prothonotary, I verilY that the statements made in this affidavit are true and correct. I understand that false statements herein made are subject to the penalties of 18 Pa. C.S. Section 4904 relating to unsworn falsification to authorities. Date: ~';'l , ,1998 ~-4/~~ ALLEN'W, LANDIS Derendant , , ~ '-,..: I ' "." L. y' t,. 'n , , ~-, ~ . .:, ;~ ~ E!~I ... I II ~ I i I I~!~I ::l I ~ I i Hl .. ~ ~Ig~. .... en ~ . 'I ![ .... ~! . ~ III'" ! ~ I i e.~ .... ~ la ~ ~I~~~ . a i . , ~J ' i . I> :II 11\ 'I ! ~ ~ .., " . . - .' lAW i.H '".';. ~i . t,'u,o' 0 . !t(./!;,~:,;h/ ,(. '~~,p(;'j ., ~~ '1 "" . , . " i ~ .... ,; ',.f' , ; [' :;~ ... ~: l3 ~i .... ~ I I .... .... Di~1 .... .... ........... 0"'.... falia~ ... .. U .. .~ II j I' !u~1 ~ I ... , .. a~~ J Ul ... I' I 'I .... ... ~ . III~ ~c! :!1. ~ ~dl ! ~ Ii. &i ~Id~ ~ m . i a i , , , . :a ," III ~ ~ ' ~ , .., oj , , ' " " ...... . ...... .I 4 < ;- I lAW OFFlr.ES . ,'?~:-V~I' ./t. /i:;~~A/ ,( '-iZ;A;~ ... v. : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION. LAW JOAN U, LANDIS, Plaintiff 97-6006 CIVIL TERM ALLEN W. LANDIS, Defendant IN DIVORCE d..f'FIDA VIT OF SERVICE OF COMPLAINT Pl/RSf,fANT TO eA. R.CP, RULE NO. 1910.4(a)(}Jfi~ COMMONWEALTH OF PENNSYLVANIA : ss: COUNTY OF CUMBERLAND NOW, Marcus A. McKnight, III, Esquire, being duly sworn according to law, does dl:pose and state: 1. That he is a competent adult and attomey for the plaintiff in the captioned action in divorce. 2. That a certified copy of the complaint in divorce was served upon the defendant on November 1, 1997, by certified, restricted delivery mail, addressed to him at 506 Crisswell Drive Boiling Springs, Pennsylvania 17007, with Return Receipt Number P 492 347056. 3. That the said receipt for certified mail is signed and attached hereto and made a part hereof. I verilY that the statements made in this affidavit are true and correct. I understand that false statements herein made are subject to the penalties of 18 Pa. C, S, Section 4904, relating to unsworn falsification to authorities Date: 1f6~'CJ ~t . '99' !; ... ~ '" u 00l ~ ... I'l P 1t"l2 347 OSb us Poslal S""'ICI Receipt for Certified Majl No Insurance Coverage Provided. 00 not use lor Inlemational Mail Sf1f1 reversB Senlto -.- MR ALLEN W LANDIS SIre" & Numbor 506 CRISSWELL DRIVE P~~'f (f'UH!l'ts PA 17007 Postage x S .55 CertJiedftte X \.~5 Spodal 0eIi....,.,. Fee edOoll~Foe X I ReturnRec~ Sho'Nr.gto - Whom & 0<1111 Oelh.red '!:.......""...~."!l" 4 D__I.w~I.lQ,)l"i,^ S TOTAL Postage'" Fee;c S :sJ: POlitmal1l ur Oat" S MAM/Landls, Joan ... :r ';.75 \. Ie C', S i .CGInjIM ~ 1 .-w1IOI a lor...... 1ef'o'IclM. .CampWe.....:t. 4a. n 4b. I .PtW yDlI rwnt'" IdlhN on fie,..... 01_ form 10 INt we OlIn rwNm ... -..you. ..Ahdl1tltI1orm to hlrlonl 01 thllNIiIp6IIce, Of' on ""..;r.... <10M not , .~~R<<>>ipf~.rontht~bIIowhartidl number. _The~..-n AIClMPt 'ldlhow to -.horn thllI1lde... ~ InlIlhe dill 1- 13' _k>: IlIIaowilhto.......tw IoIIowIng NMc:ee ("" III I"'" IH): 1, 0 --'. -- f (:m R~1d ~~ ConIuIl poIlmIIle, "" IIG, I 410, _ Number P 492 347 056 I 4b. SIMce Type o RIgla18~" ' ~ Cer1llled o Expreee.~. - 0 1- f o Altum w",,_.. 0 COO 7.0.'101,' SlY ~ , ! - -c I ~J HIl ALLEll W LANDIS 506 CRISSWELL DRIVE BOILING SPRINGS PA 17007 I . . , \ .' sturn . ) ;1 ~ I 119 ~ 'ilY . . ~i ~~ II> II> 1~1i Pi ... .... ;i ~t ~ II ~ ~ ~ i~ -I ~ !~I"rH i ' t:.~ '" ' i a i ~ , ~I'l I> '1 ~ 'i b ;,- -. ~. . I",^-'_'" , I . !,'.;-, . JOAN H. LANDIS, Plaintiff : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA v, ALLEN W. LANDIS, Defendant : CIVIL ACTION - LAW : 97-6006 CIVIL TEAAl : IN DIVORCE PRAECIPE TO WITHDRAW COUNTS To Curtis R. Long, Prothontary: Please withdraw counts for attorney fees and equitable distribution in the above captioned divorce case as these matters have been settled. Respectfully submitted, IRWIN, McKN HT & HUGHES Date: March 6. 1998 . . , 'f/ MAY U 6 2004 ,/ JOAN II, LANDIS, PLAINTIIi.' : IN TH.; COURT 0(<' COMMON PLEAS 0(<' : CUMBERLAND COUNTY, P":NNSYL VANIA v. CIVIL ACTION. LAW NO. 97.6006 ALLEN W. LANDIS, DE.'ENDANT IN DIVORCE ORDER 01>' COURT AND NOW, Ihis 11L day of April, 2004, upon presentation and eonsideration of the allached Petilion for the Award of a Pension Through a Qualilied Domestic Relations Order. it is hereby Ordered and Directed Ihal il be cnlercd as an Order of Court as follows: I. The Plaintiff is Joan H, Landis, an adult individual residing at411 Soulh High Street. Mechanicsburg, Pcnnsylvania 17055, 2, The Defendant is Allcn W, Landis, an adult individual who rcsides at 506 Criswell Dri.ve, Boiling Springs, Pcnnsylvania 17007, ), The parties have resolved their divorcc action by reaching a Marriage Selllement Agrcement dated February 24,1998, and were divorced on June 29,1998, 4, The Agreement provides that Ihe Plaintiff, Joan H, Landis, shall reccive 50% of lhe current balance of thc Ccntral Pennsylvania Tcamster's Plan of Allen W, Landis. 5, The information rcgarding the beneliciary, Joan H, Landis. is as follows: Name: Addrcss: Telephonc: DOB: SS#: Joan H, Landis 411 South High Slrect, Mechanicsburg, PA 17055 717-790-9717 December 25, 1950 194-42-9032 i' ,. ., ~ . 1 /. ;i:,., I -" [: lS (-~ -,.' ( , "-, - 6. The information regarding the beneficiary, Allen W, Landis, is as follows: Name: Address: Telephone: DOB: SSI#: Allen W. Landis 506 Criswell Drive, Boiling Springs, PA 17007 717-258-3886 June 10, 1946 193-38-2537 7, The Central Pennsylvania Retirement Income Plan 1987 is hereby directed to pay 50% of said plan 10 Joan H. Landis immediately or upon lhe earliest time of distribution and 50% of the Plan balance of any other Teamslers Plan on June 29, 1998, By the Court, // Judge ~~o~ 06#\ 2 JOAN H. LANDIS, PLAINTlFI' : IN THE COURT m' COMMON PLEAS 0..' : CUMBERLAND COUNTY, PENNSYLVANIA v. CIVIL ACTION. LAW NO. 97.6006 ALLEN W. LANDIS, DEFENDANT IN DIVORCE STIPULATION AND NOW, this J() day of April. 2004, comes the parties and makes the following Petition for a Qualified Domeslic Relations Order of Coun in this case: 1. The Participant is Allen W. Landis, an adult individual who resides at 506 Criswell Drive, Boiling Springs. Cumberland Counly, Pennsylvania 17007, His social security number is 193-38-2537. 2, The Alternate Payee is JOim H. Landis. an adult individual who resides 411 South High Street, Mechanicsburg, Cumberland County. Pennsylvania 17055, Her social security number is 194-42-9032, 3, The parties were married on January 18, 1971, and the panies were divorced on June 29, 1998, The parties have f'.Iised claims of equitable distribution of marital propeny pursuant to the Pennsylvania Divorce Code, 4. The Order applies to benefits under the Central Pennsylvania Teamsters Defined Benefit Plan, 3 5, The Alternate Payee, Joan H, Landis, shall receive the following: (a) Fifly Percent (50%) of the balance of the Central Pennsylvania Teamster's Plan or Plans of Allen W, Landis, 6, The information regarding Joan H, Landis, beneficiary, is as follows: Name: Address: Telephone: OOB: SS#: Joan H, Landis 411 South High Street, Mechanicsburg, PA 17055 717-790-9717 December 25, 1950 194-42-9032 7. The information regarding Allen W, Landis, beneficiary. is as follows: Name: Address: Telephone: DOB: SS#: Allen W, Landis 506 Criswell Drive, Boiling Springs. PA 17007 717-258-3886 June 10, 1946 193-33-2537 8, The Central Pennsylvania Retirement Income Plan of 1987 is hereby directed to pay 50% of said Plan to Joan H, Landis immediately or upon the earliest time of distribution and 50% of the Plan balance of any olher Teamster Plan on June 29, 1998, 9, This Stipulation will be made an Order in the form of a Qualified Domestic Relations Ordtf. 4 10, It is recognized that the parties may need to provide certain information to the Fund Offiee, If the Fund Office or the Alternate Payee so requests, the Participant will cooperate with the Alternate Payee in substanliating a claim or application to the Fund and shall provide any documental ion or :nformalion reasonably necessary to establish eligibility for benefits, 11. This Order is intended to constitute a qualified domeslic relations order within the meaning of section 41-tlpl of the Internal Revenue Code of 1986, as amended and section 206(d) of the Employee Retiremenl Income Security Act of 1974, as amended, and shall be interpreted in a manner consistent with such intention. 12. The Court shall relain jurisdiction to amend this Order to the extent necessary to establish or rnainlain its status as a qL'alilied domestic relalions order, AND NOW. intending to be legally bound hereby. the parties require that an Order be set forth as provided above and lhey enter their hands and seals the date set forth above, WITNESSETH: PLAN PARTICIPANT ,z/"J ~ '/ ~ (/f'~ /,/' ./ ALLEN w, L DIS (SEAL) , l/. ALTERNATE PAYEE v ~Mo. -\,\, '1o.y..(~ (SEAL) ~LANDIS \ GJ!I.l\kt'NkjlfTffA.'dllY i.lA'AILA....U15. XJANlSTlPl.:unON 5 - 0 --- ,.-, f; ('.~ c '- , , ~:) I , .., ,...:: _T '~1 ". " (j C) ,----:, .... , . ,- .', ., ) \. :....1 . fJi i'l 1 U 1005 JOAN H. LANDIS, PLAINTIFF : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION. LAW NO. 97-6006 v. ALLEN W. LANDIS, DEFENDANT IN DIVORCE ORDER OF COURT AND NOW, this ~ day of }Ja~, 2005, upon presentation and consideration of the attached Petition for the Award of a Pension Through a Qualified Domestic Relations Order, it is hereby Ordered and Directed that it be entered as an Order of Court as follows: I. The Plaintiff is Joan H, Landis, an adult individual residing at 411 South High Street, Apartment #3, Mechanicsburg, Pennsylvania 17055, 2, The Defendant is Allen W. Landis, an adult individual who resides at 506 Criswell Drive, Boiling Springs, Pennsylvania 17007, 3, The parties have resolved their divorce action by reaching a Marriage Settlement Agreement dated February 24, 1998, and were divorced on June 29, 1998. 4, The Marriage Settlement Agreement provided that the Plaintiff, Joan H, Landis, shall receive 50% of the Central Pennsylvania Retirement Income Plan 1987 (RIP 87") as of June 30, 1998 for a lump sum amount of $52,099,12 immediately or upon the earliest time of distribution and 50% of the Plan balance of the Central Pennsylvania Teamsters Defined Benefit Plan (the "DB Plan") as of June 30, 1998, for a total monthly amount of$160,OO and no more, 5, The information regarding the beneficiary, Joan H. Landis, is as follows: Name: Address: Telephone: DOB: SS#: Joan H. Landis 411 South High Street, Apartment #3, Mechanicsburg, PA 17055 717-697-1989 December 25, 1950 194-42-9032 ~ ~., fiLm]:::: O~ TH~ r ..., .... 'r~' ~v ~ \: i.:; ,,'.,; ',""\ ~ I ZOOS ~!OV 14 1\11 Il: 32 CLR..'.'.' , ,.: :. .~jl.;ry f,,, ." ". " 'l.1 j. ;j,,~,'d,.\ .. . 6, The infonnation regarding the beneficiary, Allen W, Landis, is as follows: Name: Address: Telephone: DOB: 88#: Allen W. Landis 506 Criswell Drive, Boiling Springs, PA 17007 717-258-3886 June 10, 1946 193-38-2537 7, The Central Pennsylvania Retirement Income Plan 1987 is hereby ordered and directed to pay 50% of the Central Pennsylvania Retirement Income Plan 1987 (RIP 87") as of Jlme 30, 1998 for a lump sum amount of $52,099,12 immediately or upon the earliest time of distribution to Plaintiff, Joan H, Landis and 50% of the Plan balance of the Central Pennsylvania Teamsters Defined Benefit Plan (the "DB Plan") as of June 30, 1998, for a total monthly amount of$160,oo payable to Joan H. Landis and no more, By the Court, Ai Judge u.:c9 \\0' 2 \ . 8, The Central Pennsylvania Retirement Income Plan 1987 is hereby ordered and directed to pay 50% of the Central Pennsylvania Retirement Income Plan 1987 (RIP 87") as of June 30, 1998 for a lump sum amount ofS52,099,12 immediately or upon the earliest time of distribution to Plaintiff, Joan H, Landis and 50% of the Plan balance of the Central Pennsylvania Teamsters Defined Benefit Plan (the "DB Plan") as of June 30, 1998, payable to Joan H, Landis for a total monthly amount ofSI60.00 and no more. 9. This Stipulation will be made an Order in the form of a Qualified Domestic Relations Order, 10. Il is recognized that the parties may need to provide certain information to the Fund Office, If the Fund Office or the Alternate Payee so requests, the Participant will cooperate with the Alternate Payee in substantiating a claim or application to the Fund and shall provide any documentation or information reasonably necessary to establish eligibility for benefits. 11. This Order is intended to constitute a qualified domestic relations order within the meaning of section 414(P) of the Internal Revenue Code of 1986, as amended and section 206(d) of the Employee Retirement Income Security Act of 1974, as amended, and shall be interpreted in a manner consistent with such intention. 5 \ 13, The Court shall retain jurisdiction to amend this Order to the extent necessary to establish or maintain its status as a qualified domestic relations order, AND NOW, intending to be legally bound hereby, the parties require that an Order be set forth as provided above and they enter their hands and seals the date set forth above. WITNESSETH: r~j ? f(il;~ (SEAL) ALTERNATE PAYEE ~1f.J.i;d< ;<l,~ (SEAL) o MMc:ItHIOKT.'.u.cn. Y LAW. LANDIS. IOAlWnt:PU1.A nON 6 I Yh1 r,; '" u c c '" -1 ~ c..J :7 \g ~ C'-t -f1 c Q ...c -Ei d: ~ oU u: 0- ~ ~ JOAN H. LANDIS, PLAINTIFF v. : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW NO. 97-6006 ALLEN W. LANDIS, DEFENDANT IN DIVORCE STIPULATION AND NOW, this ~ay Of~~\w.\, ' 2005, comes the parties and makes the following Petition for a Qualified Domestic Relations Order of Court in this case: L The Participant is Allen W. Landis, an adult individual who resides at 506 Criswell Drive, Boiling Springs, Cumberland County, Pennsylvania 17007. His social security number is 193-38-2537. 2. The Alternate Payee is Joan H. Landis, an adult individual who resides 411 South High Street, Apartment #3, Mechanicsburg, Cumberland County, Pennsylvania 17055. Her social security number is 194-42-9032. 3. The parties were married on January 18,1971, and the parties were divorced on June 29, 1998. The parties have raised claims of equitable distribution of marital property pursuant to the Pennsylvania Divorce Code. 3 4. The Order applies to benefits under the Central Pennsylvania Teamsters Retirement Income Plan 1987 (RIP 1987) and the Central Pennsylvania Teamsters Defined Benefit Plan (the "DB Plan"). 5. The Alternate Payee, Joan H. Landis, shall receive the following: (a) Fifty Percent (50%) of the balance of the Central Pennsylvania Teamster's Retirement Income Plan 1987 (RIP 87") as of June 30,1998, and the Central Pennsylvania Teamsters Defined Benefit Plan (the "DB Plan") as of June 30, 1998. 6. The information regarding Joan H. Landis, beneficiary, is as follows: Name: Address: Telephone: DOB: SS#: Joan H. Landis 41 South High Street, Apartment #3, Mechanicsburg, P A 17055 717-697-1989 December 25, 1950 194-42-9032 7. The information regarding Allen W. Landis, beneficiary, is as follows: Name: Address: Telephone: DOB: SS#: Allen W. Landis 506 Criswell Drive, Boiling Springs, P A 17007 717-258-3886 June 10, 1946 193-38-2537 4 . 8. The Central Pennsylvania Retirement Income Plan 1987 is hereby ordered and directed to pay 50% of the Central Pennsylvania Retirement Income Plan 1987 (RIP 87") as of June 30, 1998 for a lump sum amount of $52,099.12 immediately or upon the earliest time of distribution to Plaintiff, Joan H. Landis and 50% of the Plan balance of the Central Pennsylvania Teamsters Defined Benefit Plan (the "DB Plan") as of June 30, 1998, payable to Joan H. Landis for a total monthly amount of$160.00 and no more. 9. This Stipulation will be made an Order in the form of a Qualified Domestic Relations Order. 10. It is recognized that the parties may need to provide certain information to the Fund Office. If the Fund Office or the Alternate Payee so requests, the Participant will cooperate with the Alternate Payee in substantiating a claim or application to the Fund and shall provide any documentation or information reasonably necessary to establish eligibility for benefits. II. This Order is intended to constitute a qualified domestic relations order within the meaning of section 4l4(P) of the Internal Revenue Code of 1986, as amended and section 206( d) of the Employee Retirement Income Security Act of 1974, as amended, and shall be interpreted in a manner consistent with such intention. 5 13. The Court shall retain jurisdiction to amend this Order to the extent necessary to establish or maintain its status as a qualified domestic relations order. AND NOW, intending to be legally bound hereby, the parties require that an Order be set forth as provided above and they enter their hands and seals the date set forth above. WITNESSETH: 2~ ? IJtIf+ PLAN P RT~<:/T . y t/ ALLEN W. ANDIS (SEAL) ALTERNATE PAYEE ~;r~~w1';' (SEAL) G:lMMcKNTGHTIFAMIL Y LAW/LANDIS, JOAN/STIPULATION 6 ------- -,,"\ , ,----' ~o .---- ?- ~) S:--~ :-r o <:." -'...,) ~^- '- ...c. ,^, ~ ." C\ ), \-Y' I ~~ " - . > JOAN H. LANDIS, PLAINTIFF NllV 1 0 lOilS I lEi'i :M"/ : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA v. CIVIL ACTION - LAW NO. 97-6006 ALLEN W. LANDIS, DEFENDANT IN DIVORCE ORDER OF COURT AND NOW, this ~ day of Mrv<-kV, 2005, upon presentation and consideration of the attached Petition for the A ward of a Pension Through a Qualified Domestic Relations Order, it is hereby Ordered and Directed that it be entered as an Order of Court as follows: L The Plaintiff is Joan H. Landis, an adult individual residing at 411 South High Street, Apartment #3, Mechanicsburg, Pennsylvania 17055. 2. The Defendant is Allen W. Landis, an adult individual who resides at 506 Criswell Drive, Boiling Springs, Pennsylvania 17007. 3. The parties have resolved their divorce action by reaching a Marriage Settlement Agreement dated February 24, 1998, and were divorced on June 29, 1998. 4. The Marriage Settlement Agreement provided that the Plaintiff, Joan H. Landis, shall receive 50% of the Central Pennsylvania Retirement Income Plan 1987 (RIP 87") as of June 30, 1998 for a lump sum amount of $52,099.12 immediately or upon the earliest time of distribution and 50% ofthe Plan balance of the Central Pennsylvania Teamsters Defined Benefit Plan (the "DB Plan") as of June 30, 1998, for a total monthly amount of $160.00 and no more. 5. The information regarding the beneficiary, Joan H. Landis, is as follows: Name: Address: Telephone: DOB: SS#: Joan H. Landis 411 South High Street, Apartment #3, Mechanicsburg, P A 17055 717-697-1989 December 25,1950 194-42-9032 I J \ AJJ.jf'\'-:'- -'-:'-~:::i\!ir:~) Z S :8 H~ tll AON SOOZ Ad\ilo;',L!~<LCHd 3Hl :l0 38-1:.:L:'C."\l3l1:1 . . . 6. The information regarding the beneficiary, Allen W. Landis, is as follows: Name: Address: Telephone: DOB: SS#: Allen W. Landis 506 Criswell Drive, Boiling Springs, P A 17007 717-258-3886 June 10, 1946 193-38-2537 7. The Central Pennsylvania Retirement Income Plan 1987 is hereby ordered and directed to pay 50% of the Central Pennsylvania Retirement Income Plan 1987 (RIP 87") as of June 30, 1998 for a lump sum amount of $52,099.12 immediately or upon the earliest time of distribution to Plaintiff, Joan H. Landis and 50% ofthe Plan balance of the Central Pennsylvania Teamsters Defined Benefit Plan (the "DB Plan") as of June 30, 1998, for a total monthly amount of$160.00 payable to Joan H. Landis and no more. By the Court, 1711 Judge o t '\,W \\\ 2 , JOAN H. LANDIS, PLAINTIFF : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA v. CIVIL ACTION - LAW NO. 97-6006 ALLEN W. LANDIS, DEFENDANT IN DIVORCE STIPULATION AND NOW, this ~ay of~I\.l!w\,~.iJ-\, ' 2005, comes the parties and makes the following Petition for a Qualified Domestic Relations Order of Court in this case: L The Participant is Allen W. Landis, an adult individual who resides at 506 Criswell Drive, Boiling Springs, Cumberland County, Pennsylvania 17007. His social security number is 193-38-2537. 2. The Alternate Payee is Joan H. Landis, an adult individual who resides 411 South High Street, Apartment #3, Mechanicsburg, Cumberland County, Pennsylvania 17055. Her social security number is 194-42-9032. 3. The parties were married on January 18, 1971, and the parties were divorced on June 29, 1998. The parties have raised claims of equitable distribution of marital property pursuant to the Pennsylvania Divorce Code. 3 ~ 4. The Order applies to benefits under the Central Pennsylvania Teamsters Retirement Income Plan 1987 (RIP 1987) and the Central Pennsylvania Teamsters Defined Benefit Plan (the "DB Plan"). 5. The Altemate Payee, Joan H. Landis, shall receive the following: (a) Fifty Percent (50%) of the balance of the Central Pennsylvania Teamster's Retirement Income Plan 1987 (RIP 87") as of June 30, 1998, and the Central Pennsylvania Teamsters Defined Benefit Plan (the "DB Plan") as of June 30, 1998. 6. The information regarding Joan H. Landis, beneficiary, is as follows: Name: Address: Telephone: DOB: SS#: Joan H. Landis 41 South High Street, Apartment #3, Mechanicsburg, P A 17055 717-697-1989 December 25, 1950 194-42-9032 7. The information regarding Allen W. Landis, beneficiary, is as follows: Name: Address: Telephone: DOB: SS#: Allen W. Landis 506 Criswell Drive, Boiling Springs, P A 17007 717-258-3886 June 10, 1946 193-38-2537 " . . 8. The Central Pennsylvania Retirement Income Plan 1987 is hereby ordered and directed to pay 50% of the Central Pennsylvania Retirement Income Plan 1987 (RIP 87") as of June 30, 1998 for a lump sum amount of $52,099.12 immediately or upon the earliest time of distribution to Plaintiff, Joan H. Landis and 50% of the Plan balance of the Central Pennsylvania Teamsters Defined Benefit Plan (the "DB Plan") as of June 30, 1998, payable to Joan H. Landis for a total monthly amount of$160.00 and no more. 9. This Stipulation will be made an Order in the form of a Qualified Domestic Relations Order. 10. It is recognized that the parties may need to provide certain information to the Fund Office. If the Fund Office or the Alternate Payee so requests, the Participant will cooperate with the Alternate Payee in substantiating a claim or application to the Fund and shall provide any documentation or information reasonably necessary to establish eligibility for benefits. 11. This Order is intended to constitute a qualified domestic relations order within the meaning of section 4l4(P) of the Internal Revenue Code of 1986, as amended and section 206( d) of the Employee Retirement Income Security Act of 1974, as amended, and shall be interpreted in a manner consistent with such intention. 5 \ . 13. The Court shall retain jurisdiction to amend this Order to the extent necessary to establish or maintain its status as a qualified domestic relations order. AND NOW, intending to be legally bound hereby, the parties require that an Order be set forth as provided above and they enter their hands and seals the date set forth above. WITNESSETH: ~ ? If#;f+ (SEAL) ALTERNATE PAYEE (SEAL) G:/MMcKNlGHTiFAMIL Y LA W/LANDIS, JOAN/STIPULATION 6 C: D <.::. -C) L"' ;:=J '.3 ~ -::f\ ru , ;;;.- -0 ~ D ,:r--' :5 D ? ~ L ? , , Ifr " '" 7 ~.~ (l ()