HomeMy WebLinkAbout00-06327
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IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY
STATE OF
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LINDA WEISS HAGERICH,
No,
Plaintiff
VERSUS
'" DENNIS JOHN HAGERICH.
Defendant
PENNA.
2000
06377
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DECREE IN
DIVORCE
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AND NOW,
PLAINTIFF,
'71.
, 2001 , IT IS ORDERED AND
DECREED THAT
AND
DENNIS JOHN HAGERICH
, DEFENDANT,
ARE DIVORCED FROM THE BONDS OF MATRIMONY.
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THE COURT RETAtNs JURISDtCTION OF THE FOLLOWING CLAIMS WHICH HAVE
BEEN RAtSED OF RECORD IN THIS ACTION FOR WHICH A FtNAL ORDER HAS NOT
YET BEEN ENTERED;
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This Order incorporates and adopts the Marital Settlement Aqreement entered
into by the parties a copy of which is attached hereto and made a part hereof
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EXHIBIT "A"
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MARITAL SETTLEMENT AGREEMENT
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TIllS MARITAL SETTLEMENT AGREEMENT is made and entered into this 31 day
of December, 2000, by and between LINDA WEISS HAGERICH (hereinafter called "Wife") and
DENNIS JOHN HAGERICH (hereinafter called "Husband") (collectively "Parties" and singularly
"Party"):
WITNESSETH:
WHEREAS, the Parties hereto are Husband and Wife, having been lawfully married on
April 17, 1993, in Steelton, Dauphin County, Pennsylvania;
WHEREAS, there are 110 children born of the marriage;
WHEREAS, Wife is represented by her counsel, A. Mark Winter, Esquire; Husband has not
retained counsel.
WHEREAS, the Wife filed for divorce in the Cumberland County Court of Common Pleas
on September 15, 2000.
WHEREAS, the Parties desire to confirm their separation and make arrangements for the
settlement of their property rights and all other rights and obligations growing out of the marriage
relationship;
NOW, THEREFORE, for and in consideration of the above recitals and the following
covenants and promises mutually made and mutually to be kept, the Parties hereto, intending to be
legally bound for themselves, their heirs, successors and assigns, hereby covenant, promise and
agree as follows:
1. SEP ARAllON. It shall be lawful for Husband and Wife at all times hereafter to
live separately and apart from each other and to reside from time to time at such place or places as
they shall respectively deem fit, free from any authority, control, restraint or interference, direct or
indirect by each other.
2. NO INTERFERENCE. Neither Party will molest the other or attempt to endeavor
to molest the other, nor compel the other to cohabit with the other, nor in any way harass or malign
the other, nor in any way interfere with other's peaceful existence, separate and apart from the other.
3. WIFE'S DEBTS. Wife represents and warrants to Husband that since the separation
she has not, and in the future she will not, contract or incur any debt or liability for which Husband
or his estate might be responsible and shall indemnify and save Husband harmless from any and all
claims or demands made against him by reason of such debts or obligations incurred by her.
4. HUSBAND'S DEBTS. Husband represents and warrants to Wife that since the
separation he has not, and in the future he will not, contract or incur any debt or liability for which
Wife or her estate might be responsible and shall indemnify and save Wife harmless~ from any and
all claims or demands made against her by reason of such debts or obligations incurred by him.
2
5. MUTUAL RELEASE. Subject to the provisions of this Agreement, each Party has
released and discharged, and by this Agreement does for herself and himself and her or his heirs,
legal representatives, executors, administrators and assigns, release and discharge the other of and
from all causes of action, claims, rights, or demands whatsoever in law or equity, which either of the
Parties ever had or now or in the fu1:ure will have against the other, except any or all cause or causes
of action for divorce and except in any or all causes of action for breach of any provisions of this
Agreement.
6. REAL ESTATJE. Wife and Husband are presently owners as tenants-by-the-entirety
of certain residential real property (herein called the "Home") located at 550 Appalachian Avenue,
Mechanicsburg, Cumberland County, Pennsylvania, 17055. The parties agree that, as soon as may
conveniently be done, the Home shall be sold and the following disposition shall be made of the
proceeds, net of all transfer taxes, legal fees and other costs associated with the sale:
a. First, any outstanding mortgages or liens against the property will be satisfied in
full;
b. Second, from the remaining proceeds, the first Twenty Thousand and No/I00
($20,000.00) Dollars shall be given to Wife.
c. Third, Wife and Husband shall equally divide any and all remaining net
proceeds from the sale.
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7. HUSBAND'S SMITH BARNEY ACCOUNT. Wife for herself, her successors and
assigns does hereby release, remise, discharge and quit claim forever any and all claim or right she
may have now or in the future to the approximately Thirty-Five Thousand and No/lOO ($35,000.00)
Dollars currently held in a Smith Barney account in the Husband's name. Wife releases her interest
in recognition of the fact that these funds were inherited by her Husband from the estate of his late
brother.
8. DIVISION OF PERSONAL PROPERTY. The Parties acknowledge that they have
divided their personal property and furnishings amicably between them.
9. MOTOR VEHICLES. Wife retains the Pontiac Grandam which is in her name.
Husband retains the Oldsmobile Bravada which is in his name.
10. LIFE INSURANCE. Each Party agrees to waive any interest she or he may have in
the other's life insurance policies.
11. RETIREMENT/PROFIT-SHARING PLANS/PENSION PLANS. Upon finalization
of the divorce and Court approval of this Marital Settlement Agreement, each of the Parties hereto
generally and specifically mutually releases the other from any interest he or she may have in the
other's retirement, pension and/or profit-sharing plans of any nature and kind whatsoever.
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12. FINANCIAL ACCOUNTS. Any financial account, such as credit unions, checking
accounts, savings accounts, etc., in the name of Wife will remain Wife's sole and separate property.
Any such accounts in the name of Husband will remain Husband's sole and separate property.
13. AF'fER-ACOUIRED PROPERTY. Each of the Parties shall hereafter own and
enjoy, independently of any claim or right of the other, all items of property, be they real, personal
or mixed, tangible or intangible which are acquired by her or him after execution of this Agreement,
with full power in her or him to dispose of the same as fully and effectively, in all respects and for
all purposes, as though she or he were unmarried.
14. ATTORNEYS' FEES. The Parties agree that they will equally divide the cost of
attorney's fees with regard to this Agreement and in conjunction with the divorce action presently
pending.
15. DIVORCE ACTION. The Parties hereto acknowledge that Wife has brought an
action in divorce against Husband, which is docketed at No. 00-6327 in the Court of Common Pleas
of Cumberland County, Pennsylvania, and that this action shall proceed pursuant to ~3301(c) of the
Divorce Code. Wife hereby agrees to proceed with such action and Husband agrees to execute any
and all affidavits or other documents necessary for such proceeding.
16. COURT-ORDERED DETERMINATION. Wife and Husband both voluntarily and
knowingly relinquish any right to seek a Court-ordered determination and distribution of marital
property or award of alimony; alimony oendente lite; and counsel fees, costs and expenses and each
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forever waives whatever right, if any, either has to equitable distribution of marital property or
alimony; alimony pendente lite; and counsel fees, costs and expenses, but nothing herein contained
shall constitute a waiver by either Party of any rights to seek the relief of any Court for the purpose
of enforcing the provisions of this Agreement.
17. WAIVERS OF CLAIMS AGAINST ESTATES. Except as herein otherwise
provided, each Party may dispose of her or his property in any way, and each Party hereby waives
and relinquishes any and all rights she or he may now have or hereafter acquire, under the present or
future laws of any jurisdiction, to share in the property or the estate of the other as a result of the
marital relationship, including, without limitation, dower, curtesy, statutory allowance, widow's
allowance, right to take in intestacy, right to take against the Will of the other and right to act as
administrator or executor of the other's estate, and each will, at the request of the other, execute,
acknowledge and deliver any and all instruments which may be necessary or advisable to carry into
effect this mutual waiver and relinquishment of all such interests, rights, and claims.
18. DOCUMENT EXECUTION. 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.
19. COUNSEL REVIEW. The provisions of this Agreement and their legal effect have
been fully explained to the Parties by their respective counsel, and each Party acknowledges that the
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Agreement is fair and equitable, that it is being entered into voluntarily, with full knowledge of the
assets of both Parties, and that it is not the result of any duress or undue influence.
20. ENTIRE AGREEMENT. This Agreement contains the entire understanding of the
Parties and there are no representations, covenants, warranties or understandings other than those
expressly set forth herein.
21. MODIFICATIONS IN WRITING. Any modification or waiver of any of the
provisions of this Agreement shall be effective only if made in writing and executed with the same
formality as this Agreement. The failure of either Party to insist upon strict performance of any of
the provisions of this Agreement shall not be construed as a waiver of any subsequent default of the
same or similar nature.
22. SITUS. The Agreement shall be construed under the laws of the Commonwealth of
Pennsylvania.
23. VOLUNTARY AGREEMENT. Each Party acknowledges that this Agreement is
fair and equitable, that it is being entered into voluntarily and that it is not the result of any duress or
undue influence.
24. BREACH. If either Party breaches any provision of this Agreement, the other party
shall have the right, at her or his election, to sue for damages for such breach, and the Party
breaching this Agreement shall be responsible for payment of all legal fees and costs incurred by the
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other in enforcing her or his rights under this Agreement, or seek such other remedies or relief as
may be available to her or to him.
25. LEGALL Y INVALID TERMS. If any term, condition, clause or provision of this
Agreement shall be determined or declared to be void or invalid in law or otherwise, then only that
term, condition, clause or provision shall be stricken from this Agreement and in all other respects
this Agreement shall be valid and continue in full force, effect and operation.
26. LA WFUL/UNLA WFUL CAUSES. Nothing herein contained shall be taken to be
an admission on the part of either Wife or Husband of the lawfulness or unlawfulness of the causes
leading to their living separate and apart from each other. Moreover, nothing herein contained shall
be deemed as giving rise to a cause of action between the Parties for divorce against the other.
Likewise, this Agreement shall not bar the right of either Party hereafter to seek and obtain an
absolute divorce from the bonds of matrimony upon valid grounds, but nothing contained herein
shall be deemed to be an admission or denial concerning the existence of such grounds for divorce.
Further, this Agreement shall not be impaired but shall continue in full force and effect, regardless
of whether any such suit in divorce is instituted or concluded.
27. EOUITABLE DISTRIBUTION OF MARITAL PROPERTY. ALIMONY AND
ALIMONY PENDENTE LITE. Wife and Husband have made a full and complete disclosure of all
of the realand personal property of whatever nature and wheresoever located belonging in any way
to each of them, of all debts and encumbrances incurred in any manner whatsoever by each of them,
of all sourceS and amounts of income received or receivable by each Party, and of every other fact
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relating in any way to the subject matter of this Agreement. Wife and Husband acknowledge and
agree that the provisions of this Agreement providing for the division of their marital property are
fair, adequate and satisfactory to them and that said division has been accomplished in a manner
which conforms to the criteria set forth in the Pennsylvania Divorce Code taking into account all
relevant considerations, including those set forth in Section 40 1 of the Pennsylvania Divorce Code.
Wife and Husband further agree to accept the provisions set forth in this Agreement in lieu of and in
full and final settlement and satisfaction of all claims and demands that either may now or hereafter
have against the other for equitable distribution of marital property, alimony and alimony oendente
lite. Each Party shall indemnify, defend and hold the other harmless against any further action for
equitable distribution of marital property, alimony or alimony pendente lite by or on behalf of the
other, such indemnity to include the actual counsel fees of the successful Party in any such future
action.
28. SURVN AL. This Agreement shall not be affected in any way by the Decree in
Divorce, it being understood that this Agreement shall survive and shall be merged into any Decree
in Divorce.
IN WITNESS WHEREOF, the Parties hereto have set their hands and seals the day and
year first above written.
WITNESS:
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N~~'A {""l
DENNIS JO HAG' Husban
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LINDA WEISS HAGERICH,
550 Appalachian Avenue
Mechanicsburg, P A 17055
Plaintiff
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
v.
: NO. 00-6327
DENNIS JOHN HAGERICH,
550 Appalachian Avenue
Mechanicsburg, P A 17055
Defendant
: IN DIVORCE
PRAECIPE TO TRANSMIT RECORD
To the Prothonotary:
1. Grounds for divorce: irretrievable breakdown under ~330l(c) of the Divorce Code.
2, Date and manner of service of complaint: Dennis John Hagerich, Defendant,
personally accepted service of the complaint. On or about October 16, 2000, an Acceptance of
Service, signed by Dennis John Hagerich, was filed with the Cumberland County Prothonotary.
3. Date of execution of affidavit of consent required by ~330 1 ( c) of the Divorce Code:
by Plaintiff, December 31,2000; by Defendant, December 31,2000.
4. Related Claims Pending: None.
5. Date plaintiff's Waiver of Notice is ~330l(c) Divorce was filed with the prothonotary:
On or about January 22,2001.
6. Date defendant's Waiver of Notice in ~330l(c) Divorce was filed with the
prothonotary: On or about January 22,2001.
Respectfully Submitted,
Date ~4~4
Attorney for Plaintiff
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LINDA WEISS HAGERICH,
550 Appalachian Avenue
Mechanicsburg, PA 17055
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
CIVIL ACTION - LAW
v,
NO, 00- &.'6J.7
Ct~('-r~
DENN!S JOHN HAGERICH,
550 Appalachian Avenue
Mechanicsburg, PA 17055
IN DIVORCE
Defendant
NOTICE
YOU HAVE BEEN SUED IN COURT, If you wish to defend against
the claims set forth in the following pages, you must take action
within twenty (20) days after this Complaint and Notice are served
by entering a written appearance personally or by attorney and
filing in writing with the Court your defenses or objections to the
claims set forth against you, You are warned that if you fail to
do so the case may proceed without you and a judgment may be
entered against you by the Court without further notice for any
money claimed in the Complaint or for any other claim or relief
requested by the Plaintiff, You may lose money or property or
other rights important to you.
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.
Ceurt LamiBigtratsr
~t:a J?lggr, Cl:ilmgrla.RG CSliRty Ceurt IIuu,i:le
Carli~l~, Fa 19613
(717) :H.O-iJOO
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NOTICIA
LE HAN DEMANDADO A USTED EN LA CORTE, si usted quiere defenderse
de estas demandas expuestas en las paginas siguientes, usted tiene
viente (20) dias de plazo al partir de la fecha de la demanda y la
notificacion, Usted debe presentar una apariencia escrita 0 en
persona 0 por abogado y archivar en la corte en forma escrita sus
defensas 0 sus objeciones alas demandas en contra de su persona,
Sea avisado que si usted no se defiende, 1a corte tomara medidas y
puede entrar una orden contra usted sin previo aviso 0 notificacion
y por cualquier queja 0 alivio que es pedido en la peticion de
demanda, Usted puede perder dinero 0 sus propiedades 0 otros
derechos importantes para usted,
LLEVE ESTA DEMANDA A UN ABODAGO INMEDIATAMENTE. SI NO TIENE
ABOGADO 0 SI NO TIENE EL DINERO SUFICIENTE DE PAGAR TAL SERVICIO,
VAYA EN PERS,ONA 0 LLAME POR TELEFONO A LA OFICINA CUYA DIRECCION SE
ENCUENTRA ESCRITA ABAJO PARA AVERIGUAR DONDE SE PUEDE CONSEGUIR
ASISTENCIA LEGAL.
Court Administrator
4th Floor, Cumberland County Court House
Carlisle, Pa 17013
(717) 240-6200
II
LINDA WEISS HAGERICH,
550 Appalachian Avenue
Mechanicsburg, P A 17055
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
v.
: CIVIL ACTION - LAW
n -.J -r,b-
: NO. ()()- (,3.;27 ~ I.f!-
DENNIS JOHN HAGERICH,
550 Appalachian Avenue
Mechanicsburg, PA 17055
; IN DIVORCE
Defendant
COMPLAINT UNDER SECTION 3301(c) OF THE DIVORCE CODE
1. Plaintiff is LINDA WEISS HAGERICH, who currently resides at 550 Appalachian
Avenue, Mechanicsburg, Cumberland County, Pennsylvania 17055.
2, Defendant is DENNIS JOHN HAGERICH, who currently resides at 550 Appalachian
Avenue, Mechanicsburg, Cumberland County, Pennsylvania 17055.
3. Although the Plaintiff and Defendant live in the same dwelling for economic reasons,
they have been living lives which are separate and apart for a period of at least two years prior to
the filing of this Complaint.
4. LINDA WEISS HAGERICH has been a bona fide resident of the Commonwealth of
Pennsylvania for at least six (6) months immediately previous to the filing of this Complaint.
5. The Plaintiff and Defendant were married on April 17, 1993, in Steelton, Dauphin
County, Pemlsylvania.
6. Plaintiff avers that there are no children born of this marriage.
7. There have been no prior actions of divorce or for annulment between the parties.
8. The marriage is irretrievably broken.
9. Plaintiff has been advised that counseling is available and that Plaintiff may have the
right to request that the Court requires the parties to participate in counseling.
10. Plaintiff nor the Defendant are in the military or naval services of the United States or
its allies, or are otherwise within the provisions of the Soldiers and Sailors Civil Relief Act of
Congress of 1940 and its amendments.
11. Plaintiff requests the Court to enter a decree of divorce.
-2-
WHEREFORE, Plaintiff respectfully requests the Court to enter a decree of divorce
pursuant to Section 3301 (c) of the Divorce Code.
Respectfully submitted,
0~ ~\:
A. Mark Winter, Esquire
310 W. Chocolate Avenue
Hershey,PA 17033
(717) 533-4868
ill #23178
Date: ~A<s~
Attorney for Plaintiff
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VERIFICATION
I, LINDA WEISS HAGERICH, hereby verify that the statements in
the foregoing Complaint in Divorce are true and correct to the best
of my information, knowledge and belief,
I understand that the
statements are made subject to the penalties of 18 PA,C,S, Section
4904, relating to the unsworn falsification to authorities,
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LINDA WEISS HAGERI H
Dated:
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LINDA WEISS HAGERICH,
550 Appalachian Avenue
Mechanicsburg, PA 17055
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
v.
: CIVIL ACTION - LAW
: NO. 00 - h3.2f} Gt/JI-ri~
DENNIS JOHN HAGERICH,
550 Appalachian Avenue
Mechanicsburg, P A 17055
: IN DIVORCE
Defendant
ACCEPTANCE OF SERVICE
I, DENNIS JOHN HAGERICH, accept service of the "COMPLAINT UNDER SECTION
3301(c) OF THE DIVORCE CODE" for the above captioned suit.
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LINDA WEISS HAG ERICH,
550 Appalachian Avenue
Mechanicsburg, PA 17055
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
: CIVIL ACTION - LAW
v.
: NO. 00-6327
DENNIS JOHN HAGERICH,
550 Appalachian Avenue
Mechanicsburg, P A 17055
: IN DIVORCE
Defendant
AFFIDAVIT OF CONSENT
1. A Complaint in divorce under Section 330l(c) of the Divorce Code was filed on June 16,
2000.
2. The marriage of Plaintiff and Defendant is irretrievably broken and ninety days have
elapsed from the date of filing the Complaint.
3. I consent to the entry of a final decree of divorce.
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.
I hereby verify that the statements in this affidavit are true and correct to the best of my
information, knowledge and belief. I understand that the statements are made subject to the
penalties of 18 PAC. S. Section 4904, relating to the unsworn falsification to authorities.
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A WEISS HAGERI PI81ntlff
Dated: /:)/::s;/t7t)
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LINDA WEISS HAGERICH,
550 Appalachian Avenue
Mechanicsburg, P A 17055
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
: CIVIL ACTION - LAW
v.
: NO. 00-6327
DENNIS JOHN HAGERICH,
550 Appalachian Avenue
Mechanicsburg, PA 17055
: IN DIVORCE
Defendant
WAIVER OF NOTICE OF INTENTION TO REOUEST ENTRY OF A DIVORCE
DECREE UNDER S3301(c) OF THE DIVORCE CODE
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 in 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. I understand that
false statements herein are made subject to the penalties of 18 Pa.C.S. ~4904 relating to unsworn
falsification to authorities.
cV~~~~
LINDA WEISS HAGERICH, Plaintiff
Dated:
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LINDA WEISS HAGERICH,
550 Appalachian Avenue
Mechanicsburg, P A 17055
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
: CIVIL ACTION - LAW
v.
: NO. 00-6327
DENNIS JOHN HAG ERICH,
550 Appalachian Avenue
Mechanicsburg, P A 17055
: IN DIVORCE
Defendant
AFFIDAVIT OF CONSENT
1. A Complaint in divorce under Section 3301(c) of the Divorce Code was filed on June 16,
2000.
2. The marriage of Plaintiff and Defendant is irretrievably broken and ninety days have
elapsed from the date of filing the Complaint.
3. I consent to the entry of a final decree of divorce.
4. I understand that I may lose rights concerning alimony, division of property, lawyer's
fees or expenses ifI do not claim them before a divorce is granted.
I hereby verifY that the statements in this affidavit are true and correct to the best of my
informatioIl, knowledge and belief. I understand that the statements are made subject to the
penalties of 18 P AC.S. Section 4904, relating to the unsworn falsification to authorities.
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DENNIS JO GERIC Defendant
Dated: /~f/{?O
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LINDA WEISS HAGERICH,
550 Appalachian Avenue
Mechanicsburg, P A 17055
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
Plaintiff
: CIVIL ACTION - LAW
v.
: NO. 00-6327
DENNIS JOHN HAGERICH,
550 Appalachian Avenue
Mechanicsburg, P A 17055
: IN DIVORCE
Defendant
WAIVER OF NOTICE OF INTENTION TO REOUEST ENTRY OF A DNORCE
DECREE UNDER ~3301(c) OF THE DIVORCE CODE
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 in 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. I understand that
false statements herein are made subject to the penalties of 18 Pa.C.S. ~4904 relating to unsworn
falsification to authorities.
Dated: I~/
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LINDA WEISS HAG ERICH,
SSO Appalachian Avenue
Mechanicsburg, P A 170SS
Plaintiff
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
v.
: NO. 00-6327
DENNIS JOHN HAG ERICH,
SSO Appalachian Avenue
Mechanicsburg, P A 17055
Defendant
: IN DIVORCE
NOTICE OF INTENTION TO RESUME PRIOR NAME
Notice is hereby given, that Linda Weiss Hagerich, the Plaintiff in the above entitled
action, having been granted a Final Decree in Divorce on the 31st day of January 2001, by the
Honorable George E. Hoffer, hereby elects to resume her prior surname of Linda Lucille Weiss,
and gives this written notice pursuant to the provisions of 54 Pa.C.S.A. g704.
In witness whereof Linda Weiss Hagerich has hereunto set her hand and seal this 9th day
of February, 2001.
,~~~~~
mda Weiss Hagerich
To be know as:
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rl' a Lucille eiss
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COMMONWEALTH OF PENNSYLVANIA
SS
COUNTY OF DAUPIDN
On this, the 9th day of February, 2001, before me a Notary Public, the undersigned officer,
personally appeared Linda Weiss Hagerich, known to me (or satisfactorily proven) to be the person
whose name is subscribed to the within Instrument and acknowledged that she executed the same
for the purposes therein contained.
IN WITNESS WHEREOF, I have hereunto set my hand and official seal.
& ~~rfln fJ -::t ~,S
Notary Public
My Commission Expires:
NOTARIAL SEAL
DIANE D. FRITZ, Notary Public
Hershey, PA Dauphin County
My Commission Ex ires Nov. 8 2003
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