HomeMy WebLinkAbout03-0456 SAIDIS
SHUFF, FLOWER
& LINDSAY
ATrORNEYSaATsLAW
26 W. High Street
Carlisle, PA
MEAGAN BERLIN,
ANDREW BERLIN,
Plaintiff
VS.
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
NO. 03 - '-/3"L, CIVIL TERM
Defendant IN DIVORCE
NOTICE
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 Plaintiff. You may lose money or property or other
rights important to you, including custody or visitation of your children.
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, Carlisle, Pennsylvania,
17013.
IF YOU DO NOT FILE A CLAIM FOR ALIMONY, DIVISION OF PROPERTY,
LAWYERS FEES OR EXPENSES BEFORE A DECREE OF DIVORCE OR ANNULMENT IS
GRANTED, YOU MAY 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.
CUMBERLAND COUNTY BAR ASSOCIATION
2 LIBERTY AVENUE
CARLISLE, PENNSYLVANIA 17013
(717) 249-3166
SAIDIS, SHUFF, FLOWER & LINDSAY
Attorneys for Plaintiff
By: '~/'
~;ar.,o'~. Lindsay, Es~cire
D# 4673
26 VV-~t High Street
Carlisle, PA 17013
(717) 243-6222
SAIDIS
SHUFF, FLOWER
& LINDSAY
ATrORNIIYS*AT*LAW
26W. High Street
Carlisle, PA
MEAGAN BERLIN,
ANDREW BERLIN,
Plaintiff
VS.
Defendant
· IN THE COURT OF COMMON PLEAS OF
· CUMBERLAND COUNTY, PENNSYLVANIA
· CIVIL ACTION - LAW
· NO. 03- ~31;. CIVIL TERM
· IN DIVORCE
COMPLAINT
MEAGAN BERLIN, Plaintiff, by her attorneys, SAIDIS, SHUFF, FLOWER &
LINDSAY, respectfully represents:
1. The Plaintiff is MEAGAN BERLIN, who currently resides at 131 Simmons
Road, Mechanicsburg, Cumberland County, Pennsylvania, where she has resided
since 2002.
2. The Defendant is ANDREW BERLIN, who currently resides at 6280 Carlisle
Pike, #304, Mechanicsburg, Cumberland County, Pennsylvania, where he has resided
since March, 1999.
3. The Plaintiff and Defendant both have been bona fide residents in the
Commonwealth of Pennsylvania for at least six months immediately prior to the filing of
this Complaint.
4. The Plaintiff and Defendant were married on June 5, 1999 in Mechanicsburg,
Cumberland County, Pennsylvania.
5. That there have been no prior actions of divorce or for annulment between
the parties in this or in any other jurisdiction.
6. The Plaintiff avers that she/he is entitled to a divorce on the ground that the
marriage is irretrievably broken and Plaintiff is proceeding under Sections 3301 (c)
and/or (d) of the Divorce Code.
SAIDIS
SHUFF, FLOWER
& LINDSAY
AITOP, I~YSoAT,LAW
26 W. High S~'eet
Carlisle, PA
7. Plaintiff has been advised of the availability of marriage counseling and of the
right to request that the Court require the parties to participate in marriage counseling,
and does not request counseling.
WHEREFORE, Plaintiff requests the Court to enter a decree of divorce.
Date:
SAIDIS, SHUFF, FLOWER & LINDSAY, P.C.
Attorneys for Plaintiff
By:
6a~r J'. L'TiiS~
ID # 44693
26 West ~
~treet
Carlisle, PA 17013
(717) 243-6222
SAIDIS
SHUFF, FLOWER
& LINDSAY
ATrORNEYS,ATeLAW
26 W. High Street
Carlisle, PA
VERIFICATION
I, the undersigned, hereby verify that the statements made herein are true and
correct. I understand that false statements herein are made subject to the penalties of
18 Pa. C.S. § 4904, relating to unsworn falsification to authorities.
Me~_~an Berlin
Date:
SAIDIS
SHUFF, FLOWER
& LINDSAY
ATTORNi/VS*AT*LAW
26 W. High Street
Carlisle, PA
MEAGAN BERLIN,
ANDREW BERLIN,
Plaintiff
VS.
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
NO. 03 - 456 CIVIL TERM
Defendant IN DIVORCE
AFFIDAVIT OF CONSENT
1. A Complaint in Divorce under § 3301(c) of the Divorce Code was filed on
January 30, 2003.
2. The marriage of plaintiff and defendant is irretrievably broken and ninety
days have elapsed from the date of filing and service of the Complaint.
3. I consent to the entry of a final Decree in Divorce after service of notice of
intention to request entry of the Decree.
I verify that the statements made in this Affidavit are true and correct to the best
of my knowledge, information and belief. I understand that false statements herein are
made subject to the penalties of 18 Pa.C.S. 4904 relating to unsworn falsification to
authorities.
Plaintiff
SAIDIS
SHUFF, FLOWER
& LINDSAY
A'I'FORI~EY~sAT~LAW
26 W. High Street
Carlisle, PA
HAY 2 8 2003
MEAGAN BERLIN,
ANDREW BERLIN,
Plaintiff ·
VS.
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
NO. 03 - 456 CIVIL TERM
Defendant IN DIVORCE
AFFIDAVIT OF CONSENT
1. A Complaint in Divorce under .~ 3301(c) of the Divorce Code was filed on
January 30, 2003.
2. The marriage of plaintiff and defendant is irretrievably broken and ninety
days have elapsed from the date of filing and service of the Complaint.
3. I consent to the entry of a final Decree in Divorce after service of notice of
intention to request entry of the Decree.
I verify that the statements made in this Affidavit are true and correct to the best
of my knowledge, information and belief. I understand that false statements herein are
made subject to the penalties of 18 Pa.C.S. 4904. relating to unsworn falsification to
authorities.
Andrew Berlin, Defendant
Date:~.~
SAIDIS
SHUFF, FLOWER
& LINDSAY
ATrOP, I~YS*AT*LAW
26 W. High Street
Carlisle, PA
MEAGAN BERLIN,
ANDREW BERLIN,
Plaintiff
VS.
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
NO. 03 - 456 CIVIL TERM
IN DIVORCE
WAIVER OF NOTICE OF INTENTION TO REQUEST
ENTRY OF A DIVORCE DECREE UNDER
S3301(c) OF THE DIVORCE CODF
1. I consent to the entry of a final Decree of D~vorce without notice.
2. 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.
I verify that the statements made in this Affidavit are true and correct to the best
of my knowledge, information and belief. I understand that false statements herein are
made subject to the penalties of 18 Pa.C.S. 4904 relating to unsworn falsification to
authorities.
e~]~t~ E~edin, Plaintiff
Date:
SAIDIS
SHUFF, FLOWER
& LINDSAY
ATrORI~YS*AT*LAW
26 W. High Slreet
Carlisle, PA
MEAGAN BERLIN,
ANDREW BERLIN,
Plaintiff
VS.
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
· CIVIL ACTION - LAW
· NO. 03-456 CIVIL TERM
Defendant · IN DIVORCE
WAIVER OF NOTICE OF INTENTION TO REQUEST
ENTRY OF A DIVORCE DECREE UNDER
S3301(c) OF THE DIVORCE CODF
1. I consent to the entry of a final Decree of Divorce without notice.
2. 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.
I verify that the statements made in this Affidavit are true and correct to the best
of my knowledge, information and belief. I understand that false statements herein are
made subject to the penalties of 18 Pa.C.S. 4904 relating to unsworn falsification to
authorities.
/--~ndr(~w Berlin, Defendant
Date:
SAIDIS
SHUFF, FLOWER
& LINDSAY
26 W. Hish Slreet
Carlisle, PA
MEAGAN BERLIN,
ANDREW BERLIN,
Plaintiff
VS.
Defendant
: IN THE COURT OF COMMON PLEAS OF
: CUMBF'RLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
: NO. 03- 456 CIVIL TERM
: IN DIVORCE
PROPERTY SETTLEMENT
AND SEPARATION AGREEMENT
THIS AGREEMENT made this ,] 3 clay of . _ _ ' , 2003,
BETWEEN ANDREW BERLIN, of 6280 Carlisle Pike, #304, Mechanicsburg,
Cumberland County, Pennsylvania, hereinafter referred to as Husband, AND MEAGAN
BERLIN, of 131 Simmons Road, Mechanicsburg, Cumberland County, Pennsylvania,
hereinafter referred to as Wife.
RECITALS:
R.I: The parties hereto are husband and ~Nife, having been joined in marriage
on June 5, 1999 in Mechanicsburg, Pennsylvania; atnd
R.2: A Complaint for Divome has been filed in the Court of Common Pleas of
Cumberland County, Commonwealth of Pennsylvania, on January 30, 2003 to Number
03-456 Civil Term; and
R.3: The parties hereto desire to settle fully and finally their respective financial
and property rights and obligations including, but not limited, of all matters between
SAIDIS
SHUFF, FLOWER
& LINDSAY
26W. High Street
Carlisle, PA
them relating to the ownership of real and personal property, claims for spousal support,
alimony, alimony pendente lite.
NOW THEREFORE, in consideration of the covenants and promises hereinafter
to be mutually kept and performed by each party, as well as for other good and valuable
consideration and intending to be legally bound, it ils agreed as follows:
(1) SEPARATION: It shall be lawful for each party at all times hereafter
to live separate and apart from the other party at such place or places as he or she from
time to time may choose or deem fit, free from any control, restraint or interference from
the other. Neither party will molest the other or endeavor to compel the other to cohabit
or dwell with him or her by any legal or other proceeding. Each party shall be free of the
interference, authority or contact by the other as if he or she was single and unmarried
except as maybe necessary to carry out the terms of this agreement.
(2) DIVORCE: The parties acknowledge that the marriage is irretrievably
broken and that they will secure a mutual consent no-fault divorce decree in the above-
captioned divorce action, and will execute and file the necessary documents to finalize
the divorce after the expiration of ninety (90) days of the service of the Complaint, and
after the execution of the Property Settlement a~r~d Separation Agreement, and the
moving party shall move for the entry of the divorce decree at that time.
(3) DEBT:
A. MARITAL DEBT: Husband and Wife acknowledge and agree that there
are no other outstanding debts and obligations which are marital or for which the other
2
SAIDIS
SHUFF, FLOWER
& LINDSAY
26 W. High Street
Carlisle, PA
might be liable incurred prior to the signing of this Agreement, except as follows:
Joint car loan to M & T Bank for the 1999 Ford Escort.
Cimuit City Credit Car
American General obligation
Sears Credit Card
School loans through Sallie Mae
1: Husband shall pay the obligations to Circuit City, American General and
Sears by making timely monthly payments in at least the minimum amount required by
the creditors until paid in full.
2: Wife shall pay the obligations to M & T Bank by making timely monthly
payments in at least the minimum amount require,d by the creditors until paid in full. In
addition to her obligation to M & T Bank, she will be solely responsible for her school
loans with Sallie Mae.
Each party shall pay the outstanding joint debts as set forth herein and
further agrees to indemnify and save harmless the other from any and all claims and
demands made against either of them by reason oF such debts or obligations.
B: Post Separation Debt: In the event that either party contracted or
incurred any debt since the date of separation on November 28, 2002, the party who
incurred said debt shall be responsible for the payment thereof regardless of the name
in which the debt may have been incurred.
3
SAIDIS
SHUFF, FLOWER
& LINDSAY
C: Future Debt: From the date of this agreement neither party shall
contract or incur any debt or liability for which the other party or his or her property or
estate might be responsible and shall indemnify and save the other party harmless from
any and all claims or demands made against him or her by reason of debts or
obligations incurred by the other party
(4) MOTOR VEHICLES: Each party rel~[nquishes any right, title and interest
he or she may have to any and all motor vehicles currently in possession of the other
party.
Husband will retain the mobile home which was his pre-marital property,
and his 1983 Ford truck.
Wife will retain the 1999 Ford Escort and she will be solely responsible for
the car loan at M & T Bank, and she will indemnify and hold Husband harmless on
account of any claim by M & T Bank. Additionally, Husband will execute, on the date of
this Agreement, a Power of Attorney providing to Wife the right to transfer the Ford
Escort into her name only upon payment in full of the lien.
The parties also own a 1983 Jeep Cherokee which they are placing for
sale at auction. Wife will receive the proceeds of the sale of the Jeep Cherokee.
Husband will retain his snow mobile.
(5) TANGIBLE PERSONAL PROPERTY': With the exception of those
items set out on Exhibit "A" attached hereto, the parties hereto mutually agree that they
have effected a satisfactory division of the furniture, household furnishings, appliances,
tools and other household personal property between them, and they mutually agree
4
SAIDIS
SHUFF, FLOWER
& LINDSAY
26 W. High Street
Carlisle, PA
that each party shall from and after the date hereof be the sole and separate owner of
all such property presently in his or her possession whether said property was
heretofore owned jointly or individually by the parties hereto. This agreement shall have
the effect of an assignment or bill of sale from each party to the other for such property
as may be in the individual possession of each of the parties hereto.
On the first Saturday following the date on which Husband signs this
Agreement, Wife will pick up from his home the two items set out on Exhibit "A"
between the hours of 9:00 a.m. and 10:00 a.m. Husband will have those items ready to
go at the appointed time and place.
(6) INTANGIBLE PERSONAL PROPERTY: Each party hereby relinquishes
any right, title or interest he or she may have in or' to any intangible personal property
currently titled in the name of or in the possession of the other pa~y, including, but not
limited to, stocks, bonds, insurance, bank accouir~ts, individual retirement accounts,
employment benefits including retirement accounts, savings plans, pension plans, stock
plans, 401K plans and the like.
(7) WAIVER OF ALIMONY: The parties acknowledge that each has
income and assets satisfactory to his and her own reasonable needs. Each party
waives any claim he or she may have one against the other for alimony, spousal
support or alimony and alimony pendente lite.
(8) ADVICE OF COUNSEL: The parties hereto acknowledge that each has
been notified of his or her right to consult with counsel of his or her choice, and have
been provided a copy of this agreement with which to consult with counsel. Wife is
5
SAIDIS
SHUFF, FLOWER
& LINDSAY
represented by Carol J. Lindsay, Esquire, and Husband has been advised that he may
be represented by counsel of his choice. Each party acknowledges and accepts that
this agreement is, under the circumstances, fair' and equitable, and that it is being
entered into freely and voluntarily after having received such advice and with such
knowledge as each has sought from counsel, and the execution of this agreement is not
the result of any duress or undue influence, and that it is not the result of any improper
or illegal agreement or agreements. Each party shall pay his or her own attorney for all
legal services rendered or to be rendered on his or her behalf.
(9) ATTORNEYS FEES AND COSTS: The parties agree to equally split the
costs of the preparation of a Complaint in Divorce, the filing fee for the Complaint, the
preparation of the Property Settlement and Separation Agreement and the finalization
of the divorce. The costs for attorneys fees and costs is $790.50, of which each party
will pay $395.25 directly to Saidis, Shuff, Flower & Lindsay within 30 days of his or her
execution of the Agreement.
(10) ADDITIONAL INSTRUMENTS: Each of the parties shall from time to
time, at the request of the other, execute, acknowledge and deliver to the other party
any and all further instruments that may be reasonably required to give full force and
effect to the provisions of this Agreement.
(11) INCOME TAX: The parties have heretofore filed joint Federal and State
Tax returns. Both parties agree that in the event any deficiency in Federal, state or local
income tax is proposed, or assessment of any such tax is made against either of them,
each will indemnify and hold harmless the other from and against any loss or liability for
6
SAIDIS
SHUFF, FLOWER
& LINDSAY
26 W. High Street
Carlisle, PA
any such tax deficiency or assessment and any interest, penalty and expense incurred
in connection therewith. Such tax, interest, penalty or expense shall be paid solely and
entirely by the individual who is finally determined to be the cause of the
misrepresentations or failures to disclose the nature and extent of his or her separate
income on the aforesaid joint returns.
(12) BANKRUPTCY: The parties hereby agree that the provisions of this
Agreement shall not be dischargeable in Bankruptcy and expressly agree to reaffirm
any and all obligations contained herein. In the ewmt a party files such bankruptcy and
pursuant thereto obtains a discharge of any obligations assumed hereunder, the other
party shall have the right to declare this Agreement to be null and void and to terminate
this Agreement in which event the division of the parties' marital assets and all other
rights determined by this Agreement including alimony shall be subject to court
determination the same as if this Agreement had never been entered into.
(13) COMPLETE DISCLOSURE: The parties do hereby warrant,
represent, acknowledge and agree that each is full!/and completely informed of, and is
familiar with, the wealth, real and personal property, estate and assets, earnings and
income of the other and has made any inquiry he or she desires into the income or
estate of the other and received any such information requested. Each has made a full
and complete disclosure to the other of his and her entire assets, liabilities, income and
expenses and any further enumeration or statement thereof in this Agreement is
specifically waived.
7
SAIDIS
SHUFF, FLOWER
& LINDSAY
26 W. High Stree~
Carlisle, PA
(14) RIGHTS AND RESPONSIBILITIES: Husband and Wife acknowledge
that each of them has read and understand his and her rights and responsibilities under
this Agreement and that they have executed this Agreement under no compulsion to do
so but as a voluntary act.
(15) FULL SETTLEMENT: Except as herein otherwise provided, each party
hereby releases the other from any and all claims, or demands up to the date of
execution hereof. It is further specifically understood and agreed by and between the
parties hereto that each party accepts the provisions herein made in lieu of and in full
settlement and satisfaction of any and all of said party's rights against the other for past,
present and future claims on account of support, maintenance, alimony, alimony
pendente lite, counsel fees, costs and expenses, equitable distribution of marital
property and any other claims of the party, including all claims which have been raised
or may be raised in an action for divorce.
(16) RELEASE OF ALL CLAIMS: Except as may be otherwise specifically
provided in this Agreement, Husband and Wife, for themselves, their heirs,
representatives and assigns, each hereby forever releases, remises, discharges and
quitclaims the other, and such other's heirs, representatives, assigns and estate, from
and with respect to the following:
A. All liability, claims, causes of action, damages, costs, contributions
and expenses or demands whatsoever in law or in equity;
B. All rights, title, interest or claims in or to any property of the other,
whether real, personal or mixed and whether now owned or hereafter acquired;
8
SAIDIS
SHUFF, FLOWER
& LINDSAY
26 W. High Street
Carlisle, PA
C. All rights of courtesy and dower and all claims or rights in the
nature of courtesy and dower;
D. All widow or widower's rights;
E. All right, title, interest or claim in or to the other's estate, whether
now owned or hereafter acquired, including but not limited to all rights or claims:
and
(1) to take against the other's will;
(2) under the laws of intestacy;
(3) to a family exemption or similar allowance;
(4) all other rights or authority to participate or intervene in a
deceased spouse's estate in any way, whether arising under the laws of Pennsylvania
or any other country, territory, state or political subdivision.
F. All rights or claims to any accounting;
G. All dghts, claims, demands, liabilities and obligations arising out of
or in connection with the marital relationship or the joint ownership of property, whether
real, personal or mixed;
H. All rights, claims, demands, liabilities and obligations arising under
the provisions of the Pennsylvania Divorce Code, a~s the same may be amended from
time to time, and under the provisions of any similar statute enacted by any other
country, state, territory or political subdivision;
I. All rights, claims, demands, liabiliti~as and obligations each party now
has, or may hereafter have, against or with respect to the other.
9
SAIDIS
SHUFF, FLOWER
& LINDSAY
26 W. High Slreet
Carlisle, PA
(17) GOVERNING LAW: This Agreement shall be construed under the law of
the Commonwealth of Pennsylvania. If any provision of this Agreement is determined
to be invalid or unenforceable, all other provisions shall continue in full force and effect.
('18) INCORPORATION INTO DECREE: In the event that either of the parties
shall recover a final judgment or decree of absolute divorce against the other in a court
of competent jurisdiction, the provisions of this Agreement may be incorporated by
reference or in substance but shall not be merged into such judgment or decree and
this Agreement shall survive any such final judgment or decree of absolute divorce and
shall be entirely independent thereof.
('19) BREACH: In the event that either party breaches any provision of this
Agreement, he or she shall be responsible for any and all costs incurred to enforce the
Agreement, including, but not limited to, court cost and counsel fees of the other party.
In the event of breach, the other party shall have the right, at his or her election; to sue
for damages for such breach or to seek such other and additional remedies as may be
available to him or her.
(20) ENTIRE UNDERSTANDING: This; Agreement constitutes the entire
understanding between the parties and there are no covenants, conditions,
representations, or agreements, oral or written, of any nature whatsoever, other than
those herein contained.
(2~) AGREEMENT BINDING ON PAR'rlES AND HEIRS: This Agreement
shall bind the parties hereto, their respective heirs, executors and assigns.
l0
SAIDIS
SHUFF, FLOWER
& LINDSAY
26 W. High $~reet
Carlisle, PA
IN WITNESS WHEREOF, the parties hereto intending to be legally bound have
hereunto set their hands and seals the day and year first written above.
WITNESS:
IV~-~gan
Andrew Berlin
11
EXHIBIT "A "
PERSONAL PROPERTY TO 13E RETURNED
TO WIFE, MEAGAN BERLIN
1. Waterbed
2. Couch
SAIDIS
SHUFF, FLOWER
& LINDSAY
26 W. High Slteet
Carlisle, PA
BERLIN,
ANDREW BERLIN,
Plaintiff
VS,
Defendant
IN THE COURT Of COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
NO. 03- 456 CIVIL TERM
IN DIVOP, CE
ACCEPTANCE OF SERVICE
I accept service of the Complaint in Divorce in the above captioned matter.
Andrew Berlin, Defendant
SAIDIS
SHUFF, FLOWER
& LINDSAY
26 W. High Street
Carlisle, PA
SAIDIS
SHUFF, FLOWER
& LINDSAY
26 W. High Street
Carlisle, PA
MEAGAN BERLIN,
ANDREW BERLIN,
Plaintiff
VS.
Defendant
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
:
: CIVIL AC'rlON - LAW
: NO. 03- 456 ClVlL TERM
:
: IN DIVORCE
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) .~o,~/.,~/~
of the Divorce Code. (Strike out inapplicable section).
2. Date and manner of service of the complaint: Defendant was served via
Acceptance of Service signed by Defendant, on February 13, 2003. A copy of which is
enclosed.
3.
(Complete either paragraph (a) or (b)).
(a) Date of execution of the Affidavit of Consent required by Section
3301(c) of the Divorce Code: by the Plaintiff May 21, 2003; by
the Defendant May 25, 2003. Date of filing of Plaintiff's and
the Defendant's Affidavits of Consent: May 30, 2003.
Related claims pending: None. The Property Settlement and Separation
Aqreement dated February 13, :-~003 shall be incorporated, but not
merqed, into the Decree in Divorce.
Complete either (a) or (b).
(a) Date and manner of service of ~lhe notice of intention to file
praecipe to transmit record, a copy of which is attached:
(b) Date Plaintiff's Waiver of Notice in 3301(c) Divorce was
executed: May 21, 2003; Date Plaintiff's Waiver of Notice in
3301(c) Divorce was filed with the Prothonotary: May 30, 2003.
Date Defendant's Waiver of Notice in 3301(c) Divorce was executed:
May 25, 2003. Date Defendant's Waiver of Notice in 3301(c) Divorce
was filed with the Prothonotary: May 30, 2003.
C a r o i '0. "L i"n c~'a y ,'~L~'q'u i re -'~
Saidis, ShufC;-~wer & Lindsay
26 West High Street
Carlisle PA 17013
Phone: 717.243.6222
Attorney for Plaintiff
IN THE COURT OF COMNION PLEAS
OFCUMBERLAND COUNTY
STATE OF PENNA.
Meagan Berlin
03-456
NO.
Plaintiff
VeRsUS
Andrew Berlin
Defendant
DECREE IN
DIVORCE
AND NOW,
Meagan Berlin
DECREED THAT
Andrew Berlin
AND
, ~:~ , IT IS ORDERED AND
, PLAINTIFF,
, DEFENDANT,
ARE DIVORCED FROM THE BONDS OF MATRIMONY.
THE COURT RETAINS JURISDICTION OF THE FOLLOWING CIAIMS WHICH HAVE
BEEN RAISED OF RECORD IN THIS ACTION FOR WHICH A F]NAL ORDER HAS NOT
YET BEEN ENTERED;
None: The terms of the Property Settlement and Separation Agreement of
February 13, 2003 are incorporated but not merged into the Decree in DiYurce,
BY THE COURT: , /
PROTHONOTARY
~++++ ++++++++++++++++++++ +++++~ ++++++++ + ++++
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,
PENNSYLVANIA
Plaintiff :
Vs :
;
Defendant :
File No. ,~ - '~%'~
IN DIVORCE
NOTICE TO RESUME PRIOR SURNAME.
Notice is hereby given that the Plaintiff/defendant in the above matter,
[select one l~y marking '~x"]
. prior to the entry of a Final Decree in Divorce,
or ~q after the entry of a Final Decree in Divorce datedX)_~c
hereby elects to resume the prior surname of ~.~, ~.a.~)~ ~, and gives this
written notice avowing his/her intention pursuan/},/~e pro~9~.~o~ ~___54 P.S. 704.
S~e of napl~ being resumed
COm~ONW~OFPSN~X~V~ ) k,
coum'¥ o~ d
On the o' ., be£ore me, the ?rothonot or the
notary public, personally appeared the above affiant known to me to be the person whose
name is subscribed to the within document and acknowledged that he / she executed the
foregoing for the purpose therein contained.
In Wimess Whereof, I have hereunto set my hand hereunto set my hand and official
_ NOTARIAL SEAL '1
CLAUDIA A BR[WBAKER, NOTARY PUBLIC
Ca tiste Boro, Cumberland County
My Commission Expires Apri 4, 2005
Notary Public