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IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY
STATE OF
PENNA.
REBECCA L. SIMPSON
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No..""o.~."::",9.s.,,,
Versus
SCOTT A. SIMPSON
DECREE IN
D I V 0 R C E ;t 3',12.. ff1
AN D NOW" , .., .... J... .. . .. . .. .. . ".. 2001., it is ordered and
decreed that. , . , . ~~~. . ~~. !--:. ~.I~.S.O!,:. .. .. . ... . . .. .. . ... . .. . , " plaintiff,
SCOTT A. SIMPSON
and. . . . . , . . . . . . , . . . . . . . . , , . . . , . . . . , . . . . , . . . . . . . . . . . . . . . . . . . '. defendant,
are divorced from the bonds of matrimony.
The court retains jurisdiction of the following claims which have
been raised of record in this action for which a final order has not yet
been entered; The Marital Settlement Agreement, attached hereto and
made part hereof, shall be incorporated, but shall not merge, into the
Decree in Divorce.
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IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNA.
NO. 01 - 95
REBECCA L. SIMPSON
Plaintiff
SCOTT A. SIMPSON
Defendant
CIVIL ACTION - LAW
DIVORCE
PRAECIPE TO TRANSMIT RECORD
TO THE PROTHONOTARY:
Please transmit the Record, together with the following
information, to the Court for entry of a divorce decree:
1. Grounds for divorce: irretrievable breakdown under Section
(x) 3301(c) () 3301(d) of the Divorce Cqde.
2. Date and manner of service of the Complaint: On January 9,
2001; see attached Affidavit of Service.
3. Complete Paragraph (a) or (b):
(a) Date of execution of the Affidavit of Consent required by
Section 3301 (c) of the Divorce Code: by Plaintiff on 4/15/01;
by Defendant on 4/15/01.
(b) (1) Date of execution of Plaintiff's Affidavit required by
Section 330l(d) of the Divorce Code: ; (2) date of
service of Plaintiff's Affidavit upon the Defendant:
4. Related claims pending: None pursuant to Marital Settlement
Agreement dated January 10, 2001, incorporated but not
merged into Decree.
5. Date and manner of service of the Notice of Intention to
File Praecipe To Transmit Record, a copy of which is attached
if the decree is to be entered under section 3301 (d) (i) of the
Divorce Code:
6. Date and manner of service of Notice of. Intention to file
Praecipe To Transmit Record, a copy of which is attached, if
the decree is to be entered under section 3301 (c) of the
Divorce Code ; OR, date of execution of Waiver of
Notice of Intention 4/15/01; date of filing Waiver 4/19/01.
~~
DATE: 4/19/01
James W. Abraham, Esq.
Abraham Law Offices
513 North Second St.
Harrisburg, PA 17101
(717) 232-7825
Attorney for Plaintiff
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IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNA.
No.OI-qS- Civil
REBECCA L. SIMPSON
Plaintiff
SCOTT A. SIMPSON
Defendant
CIVIL ACTION - LAW
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 in 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, includig 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 Court Administrator, 4th Floor, Cumberland County
Courthouse, Carlisle, Pennsylvania, 17013.
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IF YOU DO NOT FILE A CLAIM FOR ALIMONY, DIVISION OF
PROPERTY, LAWYER'S FEES OR EXPENSES BEFORE A 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:
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Court Administrator
4th Floor
Cumberland County Courthouse
Carlisle, PA 17013
717.240.6200
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IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNA.
NO. /f)/- q 5' e;;;,; /.lM<L
REBECCA L. SIMPSON
Plaintiff
SCOTT A. SIMPSON
Defendant
CIVIL ACTION - LAW
DIVORCE
COMPLAINT
AND NOW, comes Plaintiff, Rebecca L. Simpson, by and
through her attorney, James W. Abraham, Esquire, Abraham Law
Offices, Harrisburg, Pennsylvania, and files the following:
COUNT I
DIVORCE PURSUANT TO SECTION 3301 (c)
OF THE DIVORCE CODE
1. Plaintiff, Rebecca L. Simpson, is an adult individual
who currently resides at 12 East Glenwood Drive, Camp Hill,
Cumberland County, Pennsylvania, 17011.
2. Defendant, Scott A. Simpson, is an adult individual
who currently resides at 12 East Glenwood Drive, Camp Hill,
Cumberland County, Pennsylvania, 17011.
3. Plaintiff and Defendant have been bona fide residents
of the Commonwealth of Pennsylvania for at least six (6) months
immediately prior to the filing of this Complaint.
4. Plaintiff and Defendant were married on April 6, 1985
in Mechanicsburg, Cumberland County, Pennsylvania.
5. There have been no prior actions of divorce or for
annulment between the parties.
6. The marriage is irretrievably broken.
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7. Plaintiff has been advised that counseling is
available and that pefendant may have the right to request that the
Court require the parties to participate in counseling.
8. Plaintiff and Defendant are not members of the Armed
Forces of the United States.
WHEREFORE, Plaintiff requests Your Honorable Court to
enter a decree in divorce dissolving the marriage.
COUNT II - INDIGNITIES
9. Defendant has caused such indignities against
Plaintiff which has made life burdensome and intolerable for
Plaintiff, the innocent and injured spouse.
WHEREFORE, Plaintiff requests Your Honorable Court to
enter a decree in divorce dissolving the marriage.
Respectfully submitted:
James W. Abraham, Esq.
Abraham Law Offices
513 North Second St.
Harrisburg, PA 17101
(717) 232-7825
Attorney for Plaintiff
DATE: 1/5/01
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VERIFICATION
I, )f['f. S-e Ua.. 1..-, 5'ilMf-H-"" , th~ut1dersigned, hereby
verify and confirm that I have reviewed the foregoing document and
the statements therein are true and correct to the best of my
knowledge, information and belief. I further understand that any
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false statements made herein are subject to the penalties of 18
Pa.C.S.A. Section 4904, relating to unsworn falsification to
authorities.
DATE:
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CERTIFICATE OF SERVICE
I, James W. Abraham, Esquire, the undersigned, do hereby
certify that I have served a true and correct copy of the foregoing
document, by certified mail, on the date indicated below, to the
following person(s) :
Scott A. Simpson
12 East Glenwood Drive
Camp Hill, PA 17011
DATE: 1/5/01
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REBECCA L. SIMPSON
Plaintiff
v.
SCOTT A. SIMPSON
Defendant
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNA.
NO. 01 - 95
CIVIL ACTION - LAW
DIVORCE
AFFIDVIT OF SERVICE
I, James W. Abraham, Esquire, the undersigned, attorney
for Plaintiff in the above-captioned action, Rebecca L. Simpson,
hereby swear and affirm that the Complaint in Divorce in the above-
captioned action was served upon the Defendant hereto by certified
mail, return receipt requested, on January 9, 2001, as verified by
the green return card from the U.S. Post Office, which_~s attached
hereto:
-.. Complet~'items 1', 2, and 3. Also complete
item 4 if Restricted Delivery is desired.
. Print your name and addres.s on the reverse
'- ,so that we can return the card to YOl!o . .
. Attach this card to the back of the maJlpiece,
or on the front if space permits.
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o Agent
Addressee
DYes
ONo
o. Is delivelY address different fro Item 1?
If YES, Elnter delivery address below:
3. Se~Type
l1r""Certified Mail 0 Express Mail
o Regi3tered 0 Return Receipt for Merchandise
o Insured Mail 0 C.O.D.
4. Restricted Delivery? (Extra Fee) 0 'Yes
2. Article Number (Copy from service label)
'1 CD 0 tI r,,1JOf) O;z 7. g 7 /(,:,i? t,/:::L-
PS form' 3811, July 1999 . Domestic "Return :Re6eJpt
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1o:$95.0'O-M-0952
DATE:
4/18/01
James W. Abraham, Esquire
v.
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNA.
NO. 01 - 95
REBECCA L. SIMPSON
Plaintiff
SCOTT A. SIMPSON
Defendant
CIVIL ACTION - LAW
DIVORCE
AFFIDAVIT OF CONSENT
1. A Complaint in Divorce under Section 330l(c) of the
Divorce Code was filed on January 5, 2001.
2. The marriage of Plaintiff and Defendant is
irretrievably broken and ninety (90) days have elapsed from the
date of service and filing of the Complaint.
3. I consent to the entry of a Final Decree of Divorce
after service of notice of intention to request entry of the
Decree.
I verify that the statements made in the Affidavit are
true and correct. I understand that false statements herein are
made subject to the penalties 0:1; 18 Pa.C.S.A. Section ."4904,
relating to unsworn falsification to authorities.
DATE:
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IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNA.
NO. Ol - 95
REBECCA L. SIMPSON
Plaintiff
SCOTT A. SIMPSON
Defendant
CIVIL ACTION - LAW
DIVORCE
WAIVER OF NOTICE OF INTENTION TO REQUEST
ENTRY OF A DIVOR~ DECREE UNDER SECTION
330l(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 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. I UNDERSTAND THAT FALSE STATEMENTS HEREIN ARE
MADE SUBJECT TO THE PENALTIES OF l8 Pa.C.S.A SECTION 4904 RELATING
TO UNSWORN FALSIFICATION TO AUTHORITIES.
DATE:
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IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNA.
NO. 01 - 95
REBECCA L. SIMPSON
Plaintiff
SCOTT A. SIMPSON
Defendant
CIVIL ACTION - LAW
DIVORCE
AFFIDAVIT OF CONSENT
1. A Complaint in Divorce under Section 330l(c) of the
Divorce Code was filed on January 5, 2001.
2. The marriage of Plaintiff and Defendant is
irretrievably broken and ninety (90) days have elapsed from the
date of service and filing of the Complaint.
3. I consent to the entry of a Final Decree of Divorce
after service of notice of intention to request entry of the
Decree.
I verify that the statements made in the Affidavit are
true and correct. I understand that false statements herein are
made subj ect to the penalties of 18 Pa. C. S.A. Section 4904,
relating to unsworn falsification to authorities.
DATE:
t/. /6- 0 I
JIMII f{. ~~4~
SCOTT A. SIMPSON
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IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNA.
NO. 01 - 95
REBECCA L. SIMPSON
Plaintiff
SCOTT A. SIMPSON
Defendant
CIVIL ACTION - LAW
DIVORCE
WAIVER OF NOTICE OF INTENTION TO REQUEST
ENTRY OF A DIVORCE DECREE UNlJER SECTION
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 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. I UNDERSTAND THAT FALSE STATEMENTS HEREIN ARE
MADE SUBJECT TO THE PENALTIES OF 18 Pa.C.S.A SECTION 4904 RELATING
TO UNSWORN FALSIFICATION TO AUTHORITIES.
DATE:
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SC TT A. SIMPSON
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REBECCA L. SIMPSON
Plaintif:l'
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNA.
v.
NO. 01-95
SCOTT A. SIMPSON
Defendant
CIVIL ACTION - LAW
: IN DIVORCE
MARITAL SETTLEMENT AGREEMENT
THIS AGREEMENT, made this /6 <#-
day of Q~_
2001, by and between REBECCA L. SIMPSON ("Wife"), of camp Hill,
Cumberland county, Pennsylvania and SCOTT A. SIMPSON ("Husband"),
of Camp Hill, Cumberland County, pennsylvania.
WITNESSETH
WHEREAS, the parties hereto are Husband and Wife, married
April 6, 1985 in Mechanicsburg, Cumberland County, pennsylvania.
The parties have two children:
Stephanie Paige Simpson, born
September 19, 1991 and Jacob Robert Simpson, born January 23,
1996.
WHEREAS, diverse, unhappy differences,
disputes and
difficulties have arisen between the parties and it is the
intention of Husband and Wife to live separate and apart for the
rest of their natural lives, and the parties hereto are desirous
of settling fully and finally their respective financial and
property rights and obligations as between each other including,
without limitation by specification: the settling of all matters
between them relating to the ownership and equitable distribution
of real and personal property, and the settling of any and all
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claims and possible claims
their respective estates, as
hereto.
by one against the other or against
well as any other matters related
NOW THEREFORE, in consideration of the mutual promises,
covenants and undertakings hereinafter set forth and for other
good and valuable consideration, receipt of which is hereby
acknowledged by each of the parties hereto, Husband and wife,
each intending to be legally bound hereby, covenant and agree as
follows:
1. AGREEMENT NOT A BAR TO DIVORCE PROCEEDINGS
This Agreement shall not be considered to affect or bar
the right of Husband and wife to an absolute divorce on lawful
grounds if such grounds now exist or shall hereafter exist or to
such defense as may be available to either party. This Agreement
is not intended to condone and shall not be deemed to be a
condonation on the part of either party hereto of any act or acts
on the part of the other party which have occasioned the disputes
or unhappy differences which may occur subsequent to the date
hereof. The parties intend to secure a mutual consent, no-fault
divorce pursuant to the terms of section 3301(c) of the Divorce
Code of 1980, as amended February 12, 1988.
2. EFFECT OF DIVORCE DECREE
The parties agree that unless otherwise specifically
provided herein, this Agreement shall continue in full force and
effect after such time as a final decree in divorce may be
entered with respect to the parties. The parties agree that in
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the event of absolute divorce between them, they shall
nonetheless continue to be bound by all the terms of this
Agreement.
3. DATE OF EXECUTION
The "date of execution" or "execution date" of this
Agreement shall be defined as the date of execution by the party
last executing this Agreement.
4. DISTRIBUTION DATE
The transfer of property, funds and/or documents provided
for herein shall only take place on the "distribution date"
which shall be defined as the date of execution of this
Agreement, unless otherwise specified herein.
5. CONSENT OF PARTIES!ADV1CE OF COUNSEL
Husband and Wife acknowledge that they fully understand
the facts as to their legal rights and obligations under this
Agreement, which has been explained to Wife by her attorney,
James W. Abraham, Esquire, and to Husband by his attorney,
Esquire. Husband and Wife acknowledge and
accept that this Agreement is, under the circumstances, fair and
equitable and that it is being entered into freely and
voluntarily, and that the execution of this Agreement is not the
result of any collusion or improper or illegal agreement or
agreements.
6. FINANCIAL DISCLOSURE
The parties confirm that each has relied on the
substantial accuracy of the financial disclosure of the other,
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except as set forth herein as an inducement to the execution of
this Agreement.
7. PERSONAL PROPERTY
Except as otherwise stated hereto, Husband and wife have
agreed that their personal property, including any and all motor
vehicles and bank accounts, have been divided to the parties'
mutual satisfaction and neither party will make any claims to
the property in the present possession of the other.
8. REAL PROPERTY:
Husband and Wife agree that the former marital residence,
located at 12 East Glenn Drive, camp Hill, Pennsylvania is
marital property and shall become the sole and separate property
of Wife pursuant to the following terms:
A. Wife shall refinance the existing mortgage on the
marital residence to remove Husband's name;
B. Husband shall sign a deed transferring sole title to
wife at the time of refinancing;
C. Upon transferring said title, Wife shall pay to
Husband the amount of $15,000 as Husband's equitable
share of the 'marital residence;
D. Upon payment of the aforesaid amount to Husband,
Husband agrees to immediately and permanently vacate
the former marital residence as of the day of receipt
of the aforesaid amount and hereby grants Wife
p~rmanent and exclusive possession of said residence
and forever waives any and all legal or equitable
right, title and interest in said residence and/or
property.
9. PENSION AND RETIREMENT BENEFITS
Husband and Wife agree to forever waive any past, present
or future legal or equitable interest and/or claim in any and all
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pension and/or retirement benefits of the other. Any and all
pension and retirement benefits of Husband shall become his sole
and separate property; and any and all pension and retirement
benefits of Wife shall become her sole and separate property.
10. CUSTODY AND CHILD SUPPORT
Husband and Wife agree that the parties shall share legal
custody of their children, Stephanie Paige Simpson, born
september 19, 1991; and Jacob Robert simpson, as to all decisions
regarding the children's health, education and welfare.
Husband and Wife further agree that Wife shall have
primary physical custody of said children and said children shall
reside with Wife. Husband shall have partial custody of said
children as agreed upon by the parties. If the parties cannot
agree on Husband's partial custody rights, each party reserves
the right to petition the Court of Common Pleas, Cumberland
county, PennsYlvania, for a modification of said custody.
Further, the children shall not be removed from the
Commonwealth of pennsvlvania without Wife's written oermission.
In the event the children are removed without said oermission.
Husband aqre~s that this Aareement. and soecificallv this
oaraqraoh. shall be enforceable bv anv state or federal authority
in any state or federal iurisdiction and/or venue.
Husband and wife specifically stipulate and agree that
the Commonwealth of Pennsylvania, in the Court of Common Pleas of
Cumberland County, shall retain exclusive jurisdiction and venue
of any and all child custody actions between the parties.
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The amount of monthly child support, as well as any
and all terms of child support, shall be agreed upon by the
parties. However, each party reserves the right to petition
Court of Common Pleas, Cumberland County, Pennsylvania, for child
support at any time hereafter.
11. MARITAL DEBTS
Husband and Wife agree that the providian VISA and First
Consumer Mastercard are marital debts and each agree to pay
$1,300 representing one-half of the total amout due. Husband
and wife shall indemnify and hold each other harmless as to said
obligation.
12. AFTER ACOUIRED PROPERTY
Each of the parties shall hereafter own and enjoy,
independently of any claims or right of the other, all items of
personal property, tangible or intangible, and/or real property,
hereafter acquired by him or her, with full power in him or her
to dispose of the same as fully and effectively, in all respect
and for all purposes, as though he or she were unmarried.
13. WIFE'S DEBTS
Except as otherwise stated hereto, Wife represents and
warrants to Husband that since the date of final separation
hereto and since the date of this Agreement, she has not
contracted or incurred any debt or liability for which Husband or
his estate might be responsible and Wife further represents and
warrants to Husband that she will not contract or incur any debt
or liability after the execution of this Agreement for which
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Husband or his estate might be responsible. Wife shall
indemnify and save harmless Husband from any and all claims or
demands made against Husband by reason of debts or obligations
incurred by Wife.
14. HUSBAND'S DEBTS
Except as otherwise stated hereto, Husband represents and
warrants to Wife that since the date of final separation hereto
and since the date of this Agreement, he has not contracted or
incurred any debt or liability for which Wife or her estate might
be responsible and Husband further represents and warrants to
wife that he will not contract or incur any debt or liability
after the execution of this Agreement for which Wife or her
estate might be responsible. Husband shall indemnify and save
harmless Wife from any and all claims or demands against Wife by
reason of debts or obligations incurred by Husband.
15. WAIVER OF RIGHTS
The parties hereto fully understand their rights under
and pursuant to the Divorce Code, Act of 1980, No. 1980-26, as
Amended February 12, 1988, particularly the provisions for
alimony, alimony pendente lite, spousal support, equitable
dist~ibution of marital property, attorney fees and expenses.
Except as otherwise stated hereto, both parties agree
that this Agreement shall conclusively provide for the
dist~ibution of property under the said law and the parties
hereby waive, release and forever relinquish any further rights
they may respectively have against the other for alimony, alimony
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pendente lite, spousal support, eqUitable distribution of marital
property, attorney fees and expenses.
16. MUTUAL RELEASE
Except as otherwise stated hereto, Husband and Wife each
do hereby mutually remise, release, quitclaim and forever
discharge the other and the estate of each other, for all time to
corne, and for all purposes whatsoever, of and from any and all
rights, title and interests, or claims in or against the property
(including income and gain from property hereafter accruing) of
the other or against the estate of each other, of whatever nature
and wheresoever situate, which he or she now has or at any time
hereafter may have;or any rights which either party may have or
at any time hereafter have for past, present or future spousal
support or maintenance, alimony, alimony pendente lite, spousal
support, equitable distribution of marital property, attorney
fees, costs or expenses, whether arising as a result of the
marital relation or otherwise, except, and only except, all
rights and agreements and obligations of whatsoever nature
arising or which may arise under this Agreement or for the breach
of any provision thereof.
It is the intention of Husband and Wife to give to each
other by the execution of this Agreement a full, complete and
g~neral release with respect to any and all property of any kind
or nature, real, personal or mixed, which the other now owns or
may hereafter acquire, except and only except all rights and
agreements and obligations of whatsoever nature arising or which
8
may arise under this Agreement or for the breach of any provision
thereof.
17. WAIVER OR MODIFICATION TO BE IN WRITING
A modification or waiver of any of the terms of this
Agreement shall be effective only if in writing, signed by both
parties and executed with the same formality as this Agreement.
No waiver of any breach hereof or default hereunder shall be
deemed a waiver of any subsequent default of the same or similar
nature.
18. MUTUAL COOPERATION
Each party shall, at any time and from time to time
hereafter, take any and all steps and execute, acknowledge and
deliver to the other party, any and all future instruments and/or
documents that the other party may reasonably require for that
purpose of giving full force and effect to the provisions of this
Agreement.
19. INTEGRATION
This Agreement constitutes the entire understanding of
the parties and supersedes any and all prior agreements and
negotiations between them. There are no representations or
warranties other than those expressly set forth herein.
20. AGREEMENT BINDING ON HEIRS
This Agreement shall be binding and shall inure to the
benefit of the parties hereto and their respective legatees,
devises, heirs, executors, administrators, successors and assigns
in the interest of the parties.
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21. OTHER DOCUMENTATION
wife and Husband covenant and agree that they will
forthwith and within thirty (30) days after demand or due date,
execute any and all written instruments, assignments, releases,
satisfactions, deeds, notes, stock certificates, or such other
writings as may be necessary or desirable for the proper
effectuation of this Agreement, and as their respective counsel
shall mutually agree, should be so executed in order to carry out
fully and effectively the terms of this Agreement.
22. NO WAIVER OF DEFAULT
This Agreement shall remain in full force and effect
unless and until terminated under and pursuant to the terms of
this Agreement. The failure of either party to insist upon
strict performance of any of the provisions of this Agreement
shall in no way affect the right of such party hereafter to
enforce the same, nor shall the waiver of any subsequent default
of the same or similar nature, nor shall it be construed as a
waiver of strict performance of any other obligations herein.
23. BREACH
If either party breaches any provision of this Agreement,
the other party shall have the right, at his or her election, to
sue in law or in equity to enforce any rights and remedies which
the party may have, and the party breaching this Agreement shall
be responsible for payment of attorney fees and all costs
incurred by the other in enforcing his or her rights under this
Agreement.
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24. SEVERABILITY
If any term, condition, clause or provisions 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. Likewise, the failure of any party
to meet his or her obligations under anyone or more of the
provisions herein, with the exception of the satisfaction of the
conditions precedent, shall in no way avoid or alter the
remaining obligations of the parties.
25. LAW OF PENNSYLVANIA APPLICABLE
This Agreement shall be construed in accordance with the
laws of the Commonwealth of pennsylvania.
26. HEADINGS NOT P~T OF AGREEMENT
Any headings preceding the text of the several
paragraphs/provisions and subparagraphs hereof, are inserted
solely for convenience of reference and shall not constitute a
part of this Agreement nor shall they affect its meaning,
construction or effect.
27. DIVORCE
The parties hereto agree that their marriage is
irretrievably broken and upon the filing of a Complaint in
Divorce, pursuant to section 3301(c) of the Divorce Code,
regarding No-Fault Divorce, and the expiration of the ninety (90)
day time period in accordance with said Section, the parties
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shall sign an Affidavit of Consent and Waiver, and hereby agree
to the entry of Divorce, which shall be incorporated, but shall
not merge, therein.
IN WITNESS WHEREOF, the parties hereto, have set their
hands and seals the day and year first above written.
witness:
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SCOTT A. SIMPS
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STATE OF PA
SS:
COUNTY OF DAUPHIN :
On this q-/L day of J Cl VI vet rt'- ' 2001, before me,
the subscriber, a Notary Public, in and fo said Commonwealth and
County, came the above-named person(s) Rebecca L. Sill\Pson ,
satisfactorily proven to me to be the person (s) whose name (s)
is/are subscribed to the within instrument (s), and acknowledged the
above instrument to be his/her/their act and deed, and desired the
same might be recorded as such.
WITNESS my hand and Notarial Seal
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NOTARY PUBLIC:
MY COMMISSION EXPIRES:
Notarial Seal
James W. Abraham, Notaq< Public
Hamsburg, Dabtpt!in COomtv
My Commission (",pires April '3(( 0001
t-'_':,r';".;':_,," Pe.'1f1<;0;:lb ,!\7;seri;,j"iDJI ~);;r;~"C, :': ~,
STATE OF PA
COUNTY OF f{UyJw~
On this /Ow.. day of ~ ' 2001, before me,
the subscriber, a Notary Public, in an for said Commonwealth and
County, came the above-named person(s) Scott A. Sill\Pson ,
satisfactorily proven to me to be the person(s) whose name(s)
is/are subscribed to the within instrument (s), and acknowledged the
abov instrument to be his/her/their act and deed, and desired the
same might be recorded as such.
ss:
hand and Notarial Seal
NO ARY PUBLIC:
MY COMMISSION EXPIRES:
Nolartal Seal
Diane M. Smith, Notary Public
Mechanicsbu'll Bora, Cumbertand County
My CommissIOn Expires Julie 22, 2004
-........
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