Loading...
HomeMy WebLinkAbout98-02641 9'r9.~.~ W. C2)ocJI Ai~~ 6 qf1~ /, 1~.yg 1t~ ,mJ/~. I, H' I\;! i' " [ I i I I i ! , , , I . . , 5, E!lIllHE OBLIQATIONS. The partIes agree that any and <111 obligations Incurred subsequent to the date of this Agreement, shaLl. be the sole Cine! separate liability and responsibility of the party incurring the obligation and each party agrees that he/she will not incur or attempt to incur any obligatIons for or on behalf of the other party and wi11 indemnify and hold harmless the other party of and from any and all liability ariSing from such future obligation. 6. RELEASE O~ RIGHTS UNDER D~VORCE ~. Except only as specifically provided to the contrary hereinabove in this Agreement, each party hereby waives and forever releases the other party of and from any and all claims which either may have against the other by reason of and pursuant to the Pennsylvania Divorce Code land the divorce law of any other juriSdiction) inClUding, but not limited to, alimony, alimony pendente lite, equitable distribution of marital property, counsel fees, costs and expenses, except that the performance of any obligations created hereunder may be enforced by any remedies under the Pennsylvania Divorce Code. 7. INDIVIDUAL PROPERTY, Except only as may be provided LAW OFflICt9 SNEl.DAKER. SRENNEMAN 8: SPARE specifically to the contrary hereinabove, each party shall retain all property, real, personaJ and otherwise, which is presently titled in his or her name and ownership~ whether or "'5- duress or undue influence. The parties acknowledqe that they have been furnished with all information relating to the financial affairs of the other to the extent same has been requested by each of them. 12. EllTIRE AGREr:M8NT. This Post-NuptIal Agreement contains the entire understanding of the parties and there are no represental:i.ons, warranties, COvenants or undertakings other than those expressly set forth herein. Th~ parties acknowledge and agree that the provisions of this Agreement with respect to the distribution and division of marital and separate property are fair, equitable and satisfactory to them based on the length of their marriage and other relevant factors which have been taken into consideration by the parties. Both parties hereby accept the provisions of this Agreement with respect to the division of property in lieu of and in fuil and final settlement and satisfaction of all claims and demands that they may now have or hereafter have against the other for equitable distribution of their property by any COUrt of competent juriSdiction pursuant to the Pennsylvania Divorce Code or any amendments thereto. Each party voluntarily and intelligently waives and relinquishes any right to seek a court ordered L"W OI"FICCfl SNF.LDAKtR, BRENNE:MAN 8! SPARE determination and distribution of marital property, .but nothing herein contained shall constitute a waiver by either party of -8- SCOTT R. ANDERSON, Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUN'I'V, PENNSVLVANIA v. NO. 98- j(,"I( CIVIL ACTION - LAW CIVIL TERM KIMBERLV M. ANDERSON, Defendant IN DIVORCE AF'FIDAVIT SCOTT R. ANDERSON, 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 Office of the Prothonotary, which list is available to me upon request. 3. Being so advised, I do HQT request that the court require my sPOUse and I participate in counseling prior to a divorce decree being handed down by the court. I understand that false statements herein are made subject to the penalties of 18 Pa. C.S. S 4904 relating to unsworn falsification to authorities. lAW OFFICf,5 SNElfJ^~ER, BR!!NNE:MAN 6- SPARE J4Ie.~-Md. Scot R. Anderson (Plaintiff) Date: rL.y ~( 11'9> - ... 1,I\W Oi'Ftc~;t'I SNnOAKER, BRENNEMAN Be SPARE SCOTT R. ANDERSON, Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA v. NO. 98-2641 CIVIl, ACTION - LAW CIVIL TERM RIMBERLY M. ANDERSON, Defendant IN DIVORCE Mj':ruAY.l'r~Q];BILm COMMONWEALTH OF PENNSYLVANIA) COUNTY SS. OF CUMBERLAND) Philip H. Spare, Esquire, being duly sworn aooording to law deposes and says: that he is a prinoipal in the law firm of Snelbaker, Brenneman & Spare, P. C., being the attorneys for Soott R. Anderson, Plaintiff in the above oaptioned action in divoroe; that on May 8, 1998, he did send to Defendant Kimberly M. Anderson by certified mail, return receipt requested, restricted delivery, a duly oertified copy of the Complaint in Divoroe which was filed in the above oaptioned action as evidenoed by the attaohed oover letter of the same date and Reoeipt for Certified Mail No. P 206 994 400; that said Complaint and oover letter were duly received by Kimberly M. Anderson, Defendant herein, as evldenoed by the return receipt oard for sald certified mail dated May 12, 1998; that a copy of the aforementioned cover letter dated May 8, 1998, is attacheq hereto and inoorporated by referenoe herein as "Exhibit A" and that the original Receipt for Certified Mail and the Domestic Return Reoeipt are attached hereto and inoorporateq by reference , , I , I , I , ; .~ -., , il - ~. l. i'l ii I~ ~ " in (~0 '.1'11 iT'''' ..; h..., C(j -;1 ;-"'-; ';)) .h o ''1'1 ."~f .. fl )J r~ "'I -,c' .1/- -j f.~) 'i:U 't'j ("11