HomeMy WebLinkAbout98-03224
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Joyce Detweiler ha~ two (2) children from fathers other than the
Defendant: Joseph D. Diffenderfer, II and Crystal M. Diffenderfer.
Joseph D. Diffenderfer, II is currently residing with Joyce
Detweiler.
Crystal Diffenderfer is currently residing at the MUtoll Hershey
School.
The mother of the child is Joyce Detweiler currently res:Lding at
8 East Hunter Road, Carl isle, Cumberland County, Pennsylvania. 17013.
She lEI married.
The father of the child is John Detweiler currently residing at
1007 Charles Street, Mechanicsburg, Curr~erland County, Pennsylvania,
17055.
He is married.
4. The relationship of Plaintiff to the child is that of
mother. The Plaintiff currently resides with the following persons I
~ Relationship
Joseph and Phyllis Diffenderfer parents
Joseph D. Diffenderfer, II son
5. The relationship of Defendant to the child is that of
father. The Defendant currently resides wi th the following persons:
~ Relationship
none
6. Plaintiff has not participated as a party or witness, or in
another capacity, on other litigation concerning the custody of the
child in this or another court. The court, term and number, and its
relationship to this action is: Not applicable.
the child pending in a court of this Commonwealth. The court, term
and number, and its relationship to this action is: Not applicable.
Plaintiff does not know of i\ person not a party to the
proceedings who has physical custody of the child or claims to have
custody or visitation rights with t'espect to the child. The name and
address of such person is: Not applicable.
7. The best interest and permanent welfare of the child will be
served by granting the relief requested because the child has lived
with Plaintiff all of her natural Hfe; Mother has been primary
caretaker of the child; it would be beneficial for child to romain
with her step-siblIngs; the home environment is better with
Plaintiff.
8. Each parent whose parental rights to the child have not been
terminated and the person who has physical custody of the child have
been named as parties to this action.
All other persons, named
below, who are known to have or claim a right to custody or
visitation of the child will be given notice of the pendency of this
action and the right to interver,e:
N2me
nla
Address
Basis of Claim
WHEREFORE, Plaintiff requests
the court to grant primary
---- '.
weiler, to Plaintiff.
physical custody of the child, I,aura
~. O~
~D. Moore , Esquire
26 West High Street
Carlisle, PA 17013
Attorney for Plaintiff