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DIANNE KETTERING BENDER,
Plaintiff
vs.
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY,
PENNSYLVANIA
NO. Civil 2000- ft;1./FS'
RAY EUGENE BENDER, SR.,
Defendant
CUSTODY
ORDER OF COURT
AND NOW, this
z ~ Day of ~ ,2000, upon presentation and
consideration of the within Agreement and Stipulation of the Parties, it is hereby
Ordered that said Agreement and Stipulation is made an Order of Court and is
incorporated herein and made apart hereof reference.
BY THE COURT:
Distribution:
Diane M. Rupich, Esquire, 1017 N. Front Street, Harrisburg, PA. 17102
Ray Eugene Bender, Sr., 12 E. Main Street, P.O. Box 670, New Kingston, PA.17072
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DIANNE KETTERING BENDER,
Plaintiff
vs.
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY,
PENNSYLVANIA
NO. Civil 2000-
RAY EUGENE BENDER, SR.,
Defendant
CUSTODY
AGREEMENT AND STIPULATION OF THE PARTIES
AND NOW, this / I Day of September, 2000, comes the parties
above named, and intending to be legally bound, do hereby agree as follows:
1. Plaintiff, Dianne Kettering Bender, is an adult individual, who as of September
14,2000 will be residing at 5604 Carissa Avenue, Holmes Beach, Florida 34217.
2. Defendant, Ray Eugene Bender, Sr., is an adult individual, who currently resides
at 12 E. Main Street, P.O. Box 670, New Kingston, Cumberland County,
Pennsylvania 17072.
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3. Plaintiff and Defendant were previously married and are currently divorced;
however, as a result of said marriage, two children were born; namely:
Brenton John Rhys Bender, having been born December 21, 1985; and
Shelby Dirae Bender, having been born December 10, 1987.
4. The children have resided with the Plaintiff and have had regular and continual
contact with their father, the Defendant, since the parties separated in approximately
1992.
5. Plaintiff has ajob opportunity which requires her to relocate to the State of Florida
as of September 14,2000.
6. The minor children are currently enrolled in Cumberland Valley School District,
which is the current school district of both Plaintiff and Defendant.
7. The parties hereto agree that the minor children shall reside with the Defendant,
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Ray Eugene Bender, Sr., from September 14,2000 until the last week of December,
2000.
8. The last week of December, 2000, the minor children will relocate with Plaintiff
in the State of Florida where they will remain until Spring Break, March 18, 2001, at
which time, the Plaintiff will be solely responsible for all costs for a round trip
airplane ticket for the children to return to the Defendant until March 24, 2001.
9. At the conclusion of the 2000-2001 school year, specifically June of200l, the
parties and the minor children will re-evaluate what is in the best interest of said
children, to determine where the children will spend the Summer of 200 1 and where
they will attend the 2001-2002 school year.
10. The Plaintiff will pay to Defendant support for the minor children commencing
September 14, 2000 until the last week of December, 2000, in an amount to be agreed
upon by the parties during that time.
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11. The parties hereto desire that this Agreement and Stipulation be made an Order
of Court through the Court of Common Pleas of Cumberland County, and both parties
understand that upon a change of circumstance, they may Petition said Court of
Common Pleas of Cumberland County to modify this Agreement.
12. Both Plaintiff and Defendant, by executing this Agreement and Stipulation,
hereby acknowledge that it is their intention to continue to be amicable as it pertains
to their children, and hereby acknowledge that they will continue to communicate
with each other in a fair and mature fashion.
IN WITNESS WHEREOF, the parties hereto have signed their hands and
seals first above written.
(SEAL)
Witness
SEAL)
Witness
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