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IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY
STATE OF
PENNA.
.." .I1I,C:If.ELR ,l?EARSON, ,u,.." ......, ,.. I
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Versus
SUSAN L. PEARSON
DECREE IN
DIVORCE
AND NOW,.. ).~.'R..........., 2q<n..,
it is ordered and
decreed that. . . . . . . . . " . . . .M.~~~~.~ .~~. .~~J?~~.~~.. .. . ., . . . . . . " plaintiff,
and. . . . . .. .. .. . . .. . . . . .. . . .1?Y~.~I'!. ~.'. .I?~?I-~.~<?~. . . . . . .. . .. . . '. 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 ente~e ;
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. . . . . . . . . . . . .. ............................... I
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Attest:
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Prothonolary
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IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
,
PENNSYLVANIA
MICHEL R. PEARSON,
Plaintiff
NO. ()/ - I/o}
C;vc'l I~
vs.
CIVIL ACTION - LAW
SUSAN L. PEARSON
Defendant
IN DIVORCE
NOTICE TO DEFEND AND CLAIM RIGHTS
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 of Divorce or annulment may be
entered against you by the Court. A judgment may also be entered against you for any
other relief requested in these papers by the Plaintiff. You may lose money or property or
other rights important to you.
When the grounds 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 Prothonotary at the Cumberland County Court House,
Carlisle, Pennsylvania 17013.
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 TillS 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 ASSISTANCE.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, P A 17013
Telephone: (717) 249-3166
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AVISO PARA DEFENDER Y RECLAMAR DERECHOS
USED HA SIDO DEMANDADO EN LA CORTE. Si desea defederse de las
quejuas expuestas en las paginas siquientes, debe tomar accion con prontitud. Se Ie avisa
que si not se defiende, el caso puede proceder sin usted y decreto de divorcio 0
anulamiento puede ser emitido en su contra por la Corte. Una decision puede tambien ser
emitida en su contra por cualquier otra queja 0 compensacion reclamados por el
demandante. Usted puede perder dinero, 0 propiedades y otros derechos importantes para
usted.
Cuando la base para el divorcio es indignidades 0 rompimiento irreparable del
matrimonio, usted puede solicitar consejo matrimonial. Una lista de consejeros
matrimoniales esta disponible en la oficina del Prothonotary, en la Cumberland County
Court House, Carlisle, Pennsylvania 17013.
SI USTED NO RECLAMA PENSION ALIMENTIClA, PROPIEDAD
MARITAL, HONORARlOS DE ABOGADO Y OTROS GASTOS ANTES DE QUE EL
DECRETO FlNAL DE DIVORCIO 0 ANULAMIENTO SEA EMITIDO, USED
PUEDE PERDER EL DERECHO A RECLAMAR CUALQUIERA DE ELLOS.
USTED DEBE LLEVAR ESTE PAPEL A UN ABOGADO DE lNMEDIATO. SI
NO TIENE 0 NO PUEDE PAGAR UN ABOGADO, VAYA 0 LLAME A LA OFIClNA
lNDICADA ABAJO PARA AVERlGUAR DONDE PUEDE OBTENER ASISTENCIA
LEGAL.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, PA 17013
Telefano: (717) 249-3166
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IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,
PENNSYLVANIA
NO. 0 I - '7 (. i rJ..,;J. ".t.v.-
MICHEL R. PEARSON,
Plaintiff
vs.
CIVIL ACTION - LAW
SUSAN L. PEARSON,
Defendant
IN DIVORCE
AFFIDAVIT OF MARRIAGE COUNSELING
Michel R. Pearson, 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 not request that the court require that 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. Section 4904, relating to unsworn falsification to authorities.
Date: February 5, 2001
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Michel R. Pearson
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IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,
PENNSYLVANIA
MICHEL R. PEARSON,
Plaintiff
NO. () /. 'J t. 'I &;;J. I.RP-
vs.
CIVIL ACTION - LAW
SUSAN L. PEARSON
Defendant
IN DIVORCE
COMPLAINT IN DIVORCE
AND NOW, this 5th day of February, 2001, comes the Plaintiff, Michel R.
Pearson, by his attorney, G. Patrick O'Connor, Esquire, Office ofG. Patrick O'Connor,
Esquire, and files the following Complaint in Divorce whereof the following is a
statement:
1. The Plaintiff, Michel R. Pearson, is an adult individual who currently resides at
204 Bosler Avenue, LemoYne, Cumberland County, Pennsylvania 17043.
2. The Defendant, Susan L. Pearson, is an adult individual who currently resides at
411 Bridge Street, New Cumberland, Cumberland County, PA 17070.
3. The Plaintiff and Defendant were married on or about May 24,1984, and
separated on or about June 5, 2000.
4. The Defendant 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.
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5. There have been no prior actions of divorce or annulment between the parties.
6. The Plaintiff has been advised of the availability of counseling and the right to
request that the Court require the parties to participate in counseling.
7. Both the Plaintiff and Defendant are sui juris and are citizens of the United States.
8. The Plaintiff avers as the grounds upon which this action is based is that the
marriage between the parties hereto is irretrievably broken.
WHEREFORE, the Plaintiff request your Honorable Court to enter a decree
divorcing the Plaintiff and Defendant absolutely.
Respectfully submitted,
G. Patrick O'Connor, Esquire
3105 Old Gettysburg Road
CampHill,PA 17011
(717) 737-7760
ID No. 64720
Attorney for the Plaintiff
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VERIFICATION
I, MICHEL R. PEARSON, state that I am the PLAINTIFF in the above-captioned
case and that the facts set forth in the foregoing are true and correct to the best of my
knowledge, information, and belief. I realize that false statements herein are subject to
the penalties for unsworn falsification to authorities under 18 Pa.C.S. Sec. 4904.
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Michel R. Pearson
Date: February 5, 2001
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IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,
PENNSYLVANIA
MICHEL R PEARSON,
Plaintiff
NO. 01-768 Civil Term
VS.
CIVIL ACTION - LAW
SUSAN L. PEARSON,
Defendant
IN DIVORCE
AFFIDAVIT OF SERVICE BY MAIL PURSUANT TO
PA. R. CIv.P. 1920.4
G. Patrick O'Connor, Esquire, being duly sworn according to law, deposes and
says that he mailed a copy of the Complaint in Divorce filed in this matter by certified
mail, return receipt requested, addressee only, to the Defendant at 411 Bridge Street, New
Cumberland, Pennsylvania 17070. The return receipt signed by the Defendant is evidence
of delivery to her and is attached as Exhibit").;'.
I verify that the facts contained above are true and correct to the best of my
knowledge, information and belief I understand that the facts herein are verified subject
to the penalties for unsworn falsification to authorities under Crimes Code, Section 4904
(18 Pa.CS. 94904).
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. Patrick O'Connor, Esquire
I.D. No. 64720
3105 Old Gettysburg Road
Camp Hill, PA 17011
Phone 717-737-7760
Attorney for Plaintiff
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~~' if Restricted OeiJivery is desired.
. ~~our name and a~dre!;j,s on the reverse
sd* we can return the card to you-.
. ~ this card to the back of the mail piece,
or en the front if space permits.
1, Artidle Addressed to:
SU.sa..-v L. 4~s t7Y7
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D. Is delivery add different from item 1?
If YES, enter delivery address below:
~C. Type
, Certified Mail
, Registered
o Insured Mail
o Express Mail
o Return Receipt for~_
o C.O.D.
4. Restricted Delivery? (Extra Fee)
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IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,
PENNSYLVANIA
MICHEL R. PEARSON,
Plaintiff
NO. 01-768 Civil Term
vs.
CIVIL ACTION - LAW
SUSAN L PEARSON,
Defendant
IN DIVORCE
AFFIDAVIT OF CONSENT
1. A Complaint in Divorce under Section 3301(c) ofthe Divorce Code was filed on
February 8,2001 and service made on the Defendant on March 3,2001.
2. The marriage of Plaintiff and Defendant is irretrievably broken and ninety (90) days
have elapsed from the date of filing and service of the Complaint.
3. I consent to the entry of a final.decreeof divorce after service of notice of intention to
request entry of the decree.
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 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. Section 4904
relating to unsworn falsification to authorities.
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Michel R Pearson, Plaintiff
DATE: f'pl"?>>/ ($/
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IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,
PENNSYLVANIA
MICHEL R. PEARSON,
Plaintiff
NO. 01-768 Civil Term
vs.
CIVIL ACTION - LAW
SUSAN L. PEARSON,
Defendant
IN DIVORCE
WAIVER OF NOTICE OF INTENTION TO REQUEST
ENTRY OF A DIVORCE DECREE UNDER 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 the foregoing are true and correct I
understand that false statements herein are made subject to the penalties of 18 Pa. C. S.
Section 4904, relating to unsworn falsification to authorities.
DATE: bf30f d I
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Michel R Pearson, Plaintiff
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IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,
PENNSYLVANIA
MICHEL R. PEARSON,
Plaintiff
NO. 01-768 Civil Term
vs.
CIVIL ACTION - LAW
SUSAN L PEARSON,
Defendant
IN DIVORCE
AFFIDAVIT OF CONSENT
I. A Complaint in Divorce under Section 3301(c) of the Divorce Code was filed on
February 8, 2001 and service made on the Defendant on March 3,2001.
2. The marriage of Plaintiff and Defendant is irretrievably broken and ninety (90) days
have elapsed from the date of filing and service 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 this affidavit are true and correct I understand
that false statements herein are made subject to the penalties of 18 Pa. C S. Section 4904
relating to unsworn falsification to authorities.
DATE: IJ {, - ..j.S'- ,,/
seI~cYJf,~
..;.--/ Susan L Pearson, Defendant
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IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,
PENNSYLVANIA
MICHEL R. PEARSON,
Plaintiff
NO. 01-768 Civil Term
vs.
CIVIL ACTION - LAW
SUSAN L. PEARSON,
Defendant
IN DIVORCE
WAIVER OF NOTICE OF INTENTION TO REQUEST
ENTRY OF A DIVORCE DECREE UNDER 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! do not claim them before a divorce is granted.
3. 1 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 the foregoing are true and correct I
understand that false statements herein are made subject to the penalties of 18 Pa. C. S.
Section 4904, relating to unsworn falsification to authorities.
DATE: IJi -d'S-~~/
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Susan L. Pearson, Defen ant
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SEPARATION AND PROPERTY SETTLEMENT AGREEMENT
THIS AGREEMENT made and entered into this .!:::.- day of /'1,q I(, c Ii
2001, by and between MICHEL R. PEARSON, of Cumberland County, Pennsylvania,
party of the first part, hereinafter referred to as "Husband," and SUSAN L. PEARSON, of
Cumberland County, Pennsylvania, party of the second part, hereinafter referred to as
"Wife."
WITNESSETH:
WHEREAS, the parties hereto are husband and wife, having been married on May
24, 1984; and
WHEREAS, certain differences have arisen between the parties as a consequence
of which they intend to live separate and apart from each other during the rest oftheir
natural lives; and
WHEREAS, the husband has committed adultery by engaging in an extra-marital
relationship;
WHEREAS, the parties desire to confirm their separation and desire to enter into
an agreement for the final settlement of their property and affairs; and
WHEREAS, the parties for the reasons stated above intend to dissolve their
marital status by means of a divorce pursuant to Section 3301(c) of the Divorce Code of
Pennsylvania.
NOW, THEREFORE, in consideration of the foregoing and in further
consideration of the covenants and promises hereinafter mutually to be kept and
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performed by each party hereto, as well as for other good and valuable considerations, it
is agreed as follows:
1. SEPARATION. It shall be lawful for each party at all times hereafter to live
separate and apart from the other party, at such place or places as he or she from
time to time may choose or deem fit.
2. NONINTERFERENCE. Each party shall be free from interference,
authority and control, direct or indirect, by the other in all respects as fully as if he
or she were single and unmarried. Each may, for his or her separate use or benefit,
conduct, carry on and engage in any business, occupation, profession or
employment which to him or her may seem advisable. Neither party shall molest,
harass, disturb or malign the other or the family of said other, nor compel or
attempt to compel the other to cohabit or dwell with him or her.
3. MUTUAL RELEASES. Husband relinquishes his inchoate intestate right in
the estate of Wife, and Wife relinquishes her inchoate intestate right in the estate
of Husband, and each of the parties hereto by these presents, for himself or
herself, his or her heirs, executors, administrators or assigns, does remise, release,
quitclaim, and forever discharge the other party hereto, his or her heirs, executors,
administrators or assigns, or any of them, of and from any and all claims,
demands, damages, actions, causes of actions, or suits at law or in equity, of
whatsoever kind or nature, for or because of any matter or thing done, omitted, or
suffered to be done by said party prior to and including the date hereof; except
that his release shall in no way exonerate or discharge either party hereto from the
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obligations and promises made and iriiposed by reason of this Agreement, and
shall in no way affect any cause of action in absolute divorce which either party
may have against the other party.
4. MARITAL PROPERTY. The parties hereto acknowledge and agree that
they acquired various assets and debts during their marriage, whether the same
were held jointly or individually by the parties hereto, including but not
necessarily limited to:
(a) The family residence located at 204 Bosler Avenue, Lemoyne,
Pennsylvania, titled in both names and worth approximately $65,000.
Said residence was encumbered at the time of separation by a primary
mortgage of approximately $30,000 and a home equity loan of
approximately $15,000.
(b) Household goods, contents, furniture and furnishings previously
located in the family residence.
(c) Husband's 1997 Ford Escort, titled in the names of both Husband and
Wife, presently encumbered by a loan of approximately $5,000 from
Allfirst Bank.
(d) Wife's 1993 Ford Escort, titled in Wife's name, presently not
encumbered by any loans.
(e) Husband's life insurance policy with USAA, having a cash value of
approximately $800 at the time of separation.
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(f) A joint checking account at Members 1st Federal Credit Union
containing approximately $700 at the time of separation.
(g) Ajoint savings account at Members 1st Federal Credit Union
containing approximately $300 at the time of separation.
(h) Wife's savings and checking accounts at Members 1st Federal Credit
Union.
(i) Cash proceeds from a federal income tax refund, expected to be
approximately $2,600, that was due at the time of separation.
G) Husband's Thrift Savings Plan worth approximately $40,000 at the
time of separation.
(k) Husband's pension through the U.S. Navy, for which Husband was
vested at time of separation.
(1) Wife's IRA with Vanguard Investments worth approximately $20,000
at the time of separation.
(m) Wife's pension through Maryland Casualty Company, for which Wife
was vested at time of separation.
(n) Debts at the time of separation totaling approximately $10,000 owed
on a Visa card and Mastercard held in Husband's name, in addition to
the mortgage debts described in Paragraph 4(a), above, and
approximately $5,000 owed for the 1997 Ford Escort, described in
Paragraph 4( c), above.
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(0) Various items of personal property of a personal nature.
5. DISTRIBUTION OF MARITAL PROPERTY. The parties hereto covenant
and agree that the assets described in Paragraph 4, above, have been or are hereby
being divided and distributed between them as follows:
(a) Husband and Wife agree that the family residence located at 204
Bosler Avenue, Lemoyne, Pennsylvania, shall be sold at a mutually
agreeable time and price. The net proceeds from the sale shall be
equally divided between Husband and Wife at the time of settlement
for the real estate. Husband and Wife each covenants and agrees that
said share of proceeds from the sale ofthe family residence as
provided by this agreement shall be and remain the sole and separate
property of the other. Husband and Wife each relinquish and disclaim
any and all ownership, right, title and interest in and to the other's
share proceeds ofthe other from the sale of the family residence.
(b) Husband and wife have divided the household goods, contents,
furniture and furnishings from the family residence to the satisfaction
of each party, and Husband and Wife each relinquish and disclaim any
and all ownership, right, title and interest in and to the household
goods, contents, furniture and furnishings presently in possession of
the other party.
( c) Wife relinquishes and disclaims any and all ownership, right, title and
interest in Husband's 1997 Ford Escort, and Wife agrees that Husband
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shall be and remain the sole and separate owner of same. Wife
covenants and agrees that the 1997 Ford Escort shall be and remain the
sole and separate property of Wife. Husband shall have responsibility
to pay all debt in regard to said automobile and all costs of maintaining
said vehicle.
(d) Husband relinquishes and disclaims any and all ownership, right, title
and interest in Wife's 1993 Ford Escort and Husband agrees that Wife
shall be and remain the sole and separate owner of same. Husband
covenants and agrees that said 1993 Ford Escort shall be and remain
the sole and separate property of Wife. Wife shall be responsible for
all costs of maintaining said vehicle.
(e) Wife relinquishes and disclaims any and all ownership, right, title and
interest in Husband's life insurance policy with USAA, including the
cash value of same. Wife covenants and agrees that said life insurance
policy shall be and remain the sole and separate property of Husband.
(f) Husband shall retain the proceeds from the joint checking account at
Members 1st Federal Credit Union. Wife relinquishes and disclaims
any and all ownership, right, title and interest in and to said proceeds.
Wife covenants and agrees that said proceeds from the Members 1 st
Federal Credit Union account shall be and remain the sole and separate
property of Husband.
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(g) Husband shall retain the proceeds from the joint savings account at
Members 1st Federal Credit Union. Wife relinquishes and disclaims
any and all ownership, right, title and interest in and to said proceeds.
Wife covenants and agrees that said proceeds from the Members 1st
Federal Credit Union account shall be and remain the sole and separate
property of Husband.
(h) Wife shall retain the proceeds from her savings and checking accounts
at Members 1st Federal Credit Union. Husband relinquishes and
disclaims any and all ownership, right, title and interest in and to said
proceeds. Husband covenants and agrees that said proceeds from
Wife's Members 1st Federal Credit Union accounts shall be and
remain the sole and separate property of Wife.
(i) Husband and Wife agree that cash proceeds from the anticipated
federal income tax refund shall be divided equally. Each party
covenants and agrees that the share of proceeds provided to the other
from the federal income tax refund shall be and remain the sole and
separate property of the other.
(j) Wife relinquishes and disclaims any and all ownership, right, title and
interest or entitlement in or to Husband's Thrift Savings Plan. Wife
covenants and agrees that Husband's Thrift Savings Plan shall be and
remain the sole and separate property of Husband.
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(k) Wife relinquishes and disclaims any and all ownership, right, title and
interest or entitlement in or to Husband's pension through the U.S.
Navy. Wife covenants and agrees that Husband's said pension shall be
and remain the sole and separate property of Husband.
(1) Husband relinquishes and disclaims any and all ownership, right, title
and interest or entitlement in or to Wife's IRA with Vanguard
Investments. Husband covenants and agrees that Wife's said IRA shall
be and remain the sole and separate property of Wife.
(m) Husband relinquishes and disclaims any and all ownership, right, title
and interest or entitlement in or to Wife's pension through Maryland
Casualty Company. Husband covenants and agrees that Wife's said
pension shall be and remain the sole and separate property of Wife.
(n) Husband agrees to pay the total debt that existed on his Visa card and
Mastercard at the time of separation. Husband covenants and agrees
that he shall not seek any reimbursement in consideration for payment
of the said marital debts. Husband and Wife shall each be responsible
for debts incurred by himself or herself after the date of separation.
(0) Husband and Wife have each taken possession of their respective
personal items. Each of the parties hereto relinquishes and disclaims
any and all ownership, right, title and interest in or to the personal
effects of the other.
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6. EQUITABLE PROPERTY. This Agreement constitutes an equitable division of
the parties' marital property. The parties have determined that the division of this
property conforms with regard to the rights of each party. The division of existing
marital property is not intended by the parties to constitute in any way a sale or
exchange of assets.
7. ALIMONY. Wife relinquishes and disclaims any and all claims to spousal
support and alimony from the Husband now and in the future. Husband
relinquishes and disclaims any and all claims to spousal support and alimony from
the Wife now and in the future.
8. CUSTODY AND VISITATION. It is agreed that Wife shall have primary
physical custody of the parties' minor child, Heather M. Pearson, born 11/29/85.
Husband shall have liberal visitation privileges as mutually agreed upon. Wife
shall not unreasonably withhold visitation.
9. TAX EXEMPTION. Husband agrees that Wife shall be entitled to claim their
daughter, Heather M. Pearson, as Wife's exemption on all future federal income
tax returns, as long as she has primary physical custody.
10. SUPPORT AND INSURANCE. Husband shall provide financial aid in support
of Heather to the extent that it is needed and mutually agreed upon by the parties.
Husband agrees to continue to carry daughter Heather on his health insurance
policy provided by the U.S. Navy as long as she remains a dependent.
11. INCOME TAX RETURN. In the event that any federal income tax is owed for
any years in which a joint federal income tax return was filed prior to the
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execution of this agreement, the parties hereby agree that each shall pay fifty
percent (50%) of the amount owed. In the event that any federal income tax
refund is due for any years in which a joint federal income tax return was filed
prior to the execution of this agreement, the parties hereby agree that each shall be
entitled to an amount equal to fifty percent (50%) ofthe total refund due.
12. INDEMNIFICATION FOR PAST DEBTS. Except as otherwise provided in
Paragraph 5, above, each ofthe parties hereto covenants and agrees to assume full
responsibility for and to pay all debts and obligations of whatsoever kind or nature
incurred individually by that party prior to the day and date of this Agreement, and
each of the parties hereto hereby covenants and agrees to indemnify the other
party and save him or her harmless from all liability or claim on account of said
debts and obligations from and after the date hereof.
13. FUTURE OWNERSHIP OF PROPERTY. Each of the parties hereto may
hereafter own and enjoy, independently of any claims or rights of the other, all
items of personal and real property, tangible or intangible, hereafter acquired by
him or her, with full power in him or her to dispose of the same as fully and
effectively in all respects and for all purposes as though he or she were unmarried.
14. MUTUAL RELEASES. The parties acknowledge that under prevailing
Pennsylvania law they each have certain possible fiscal rights, including but not
limited to the following: spousal support, alimony pendente lite in the event of a
divorce, permanent alimony subsequent to a divorce, recovery of counsel fees,
costs and expenses in the event of a divorce, and equitable distribution of marital
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property. It is the intention of the parties hereto that all of the foregoing rights and
remedies, with the exception of those otherwise provided in this Agreement, are
hereby waived and forever released and that this Agreement shall have the effect
of a final Order of Court relieving each party of the obligation to the other for any
and all of the foregoing possible rights and remedies. The parties have effected
an equitable distribution of their marital property and neither will seek further
distribution by any action at law or in equity.
15. EFFECT OF DIVORCE DECREE. The parties covenant and 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.
16. INDEMNIFICATION FOR FUTURE DEBTS. Each of the parties hereby
covenants and agrees with the other party not to make, incur or attempt to make or
incur any debt or obligation for or on behalf of the other party hereto, or for which
the other party may be held liable, from and after the date hereof, and each of the
parties hereto hereby covenants and agrees to indemnifY the other party and save
him or her harmless from all liability or claim on account of said debt or
obligations from and after the date hereof.
17. OTHER DOCUMENTS. Each of the parties hereto shall, from time to time, at
the request of the other party, execute, acknowledge and deliver unto said other
party any and all further documents or instruments which may be reasonably
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required to give full force and effect to the terms and provisions of this
Agreement.
18. DIVORCE. This Agreement shall not be construed to affect or bar the right of
either Husband or Wife to an absolute divorce on legal and truthful grounds if
they now exist or may hereafter arise. 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 occurred prior to or which
may occur subsequent to the date hereof. It is understood, however, that Husband
will pursue an action in divorce pursuant to Section 3301(c) of the Divorce Code
of Pennsylvania, on the grounds that the marriage is irretrievably broken, and that
both parties agree to execute and file the appropriate affidavits of consent
necessary to complete said action in divorce on the basis of mutual consent.
19. SEVERABILITY. The waiver of any term, condition, clause or provision of this
Agreement shall in no way be deemed or considered a waiver of any other term,
condition, clause or provision of this Agreement, and if any provision of this
Agreement is held to be invalid or unenforceable by a court of competent
jurisdiction, all other provisions shall nevertheless continue to be in full force and
effect.
20. LAW OF PENNSYLVANIA APPLICABLE. Both parties covenant and agree
that they have had ample and sufficient time to carefully and fully review the
terms and provisions of this Agreement and to seek and obtain the advice and
counsel of an attorney with respect to the same. Husband has engaged the
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services ofG. Patrick O'Connor, Esquire. Wife has had the opportunity to consult
with the attorney of her choosing. Each party has carefully reviewed the terms
and conditions of this Agreement. Both parties covenant and agree that they fully
understand the facts upon which this Agreement is premised and based, that they
believe this Agreement to be fair and equitable, that said Agreement is being
entered into freely and voluntarily by each of them, and that the execution of this
Agreement is not the result of any duress or undue influence and that it is not the
result of any collusion or improper or illegal agreement or agreements.
21. INTEGRATION. This Agreement constitutes the entire understanding between
the parties and supersedes any and all prior agreements and negotiations between
them. Both parties further agree that there are no covenants, conditions,
representations or agreements, oral or written, of any nature whatsoever, other
than those contained herein.
22. AGREEMENT BINDING UPON HEIRS. This Agreement shall be binding
upon the parties hereto and their respective heirs, executors, administrators and
assigns.
IN WITNESS WHEREOF, the parties hereto, intending to be legally bound
hereby, have hereunto set their hands and seals the day and year first above written.
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. Michel R. Pearson
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COUNTY OF CUMBERLAND )
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On this, the 10 day of 11f!f<<;ff .,200 I ,
2001, before me, a Notary Public in and for the state 'and county aforesaid, the
undersigned officer, personally appeared MICHEL R. PEARSON, known to
me (or satisfactorily proven) to be the person described in the foregoing instrument,
and acknowledged that he executed the same for the purposes therein contained.
IN WITNESS WHEREOF, I hereunto set my hand and official seal.
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NOTARIAL SEAL
JANE K. HAVNAER, Notary Public
Camp Hill 80ro, Cumberland County '
My Commission Expires June 24, 2002
COMMONWEALTH OF PENNSYLVANIA)
: SS.
COUNTY OF CUMBERLAND )
On this, the / D r!:- day of ;n~, ,.;{ e 0 I
2001, before me, a Notary Public in and for the state and county aforesaid, the
undersigned officer, personally appeared SUSAN L. PEARSON, known
to me (or satisfactorily proven) to be the person described in the foregoing instrument,
and acknowledged that she executed the same for the purposes therein contained.
IN WITNESS WHEREOF, I hereunto set my hand and official seal.
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NOTARIAL SEAL
JANE K. HAVNAER, Notary PUb!1c ,,~"
Camp HIli 8Dro. Cumberland County ~.
My CommISSIon Exp!res June 24, 2002 \l'A-'
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IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,
PENNSYLVANIA
MICHEL R. PEARSON,
Plaintiff
NO. 01-768 Civil Term
vs.
CIVIL ACTION - LAW
SUSAN L. PEARSON,
Defendant
IN 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. Ground for divorce: irretrievable breakdown under Section 3301(c) of the Divorce
Code.
2. Date and manner of service of the Complaint: Mailed Februarv 12. 2001 by certified
mail and received by Defendant on March 3.2001.
3, [Complete either paragraph (a) or (b).]
(a) Date of execution of the affidavit of consent required by Section 3301(c) of the
Divorce Code: by Plaintiff: June 30. 2001; by Defendant: June 25. 2001.
(b) Date of execution of the Plaintiff's Affidavit required by Section 3301(d) of
the Divorce Code: ,and, date of service of the Plaintiff's
Affidavit upon the Defendant:
1. Related claims pending: None. All economic claims have been settled.
2. 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 (d)(I) of
the Divorce Code:
3. Date and manner of service of Notice ofIntention 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
Intent and date offiling: Plaintiff's Waiver of Notice was executed on June 30. 2001.
and filed contemporaneously herewith. Defendant's Waiver of Notice was executed
on June 25. 2001. and filed contemporaneously herewith.
4. The Plaintiff's Social Security number is 574-50-6595. The Defendant's Social
Security number is 21 1-40-6533.
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, . Patrick O'Connor, Attorney for Plaintiff
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IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY
,
PENNSYLVANIA
MICHEL R. PEARSON,
Plaintiff
NO. 01-768 Civil Term
vs.
CIVIL ACTION - LAW
SUSAN L. PEARSON,
Defendant
IN DIVORCE
AGREEMENT TO MODIFY
SEPARATION AND PROPERTY SETTLEMENT AGREEMENT
THIS AGREEMENT made and entered into this/?f'vday of ;;; u.r
2003, by and between MICHEL R. PEARSON, of Cumberland County, Pennsylvania,
party of the fust part, hereinafter referred to as "Husband," and SUSAN L. PEARSON, of
Cumberland County, Pennsylvania, party of the second part, hereinafter referred to as
"Wife."
WITNESSETH:
WHEREAS, the parties hereto entered into a SEPARATION AND PROPERTY
SETTLEMENT AGREEMENT on March 10,2001, and
WHEREAS, the parties hereto were divorced from the bonds of matrimony by a
DECREE IN DIVORCE issued on July 18,2001, by the Honorable Edgar B. Bayley in
the Court of Common Pleas of Cumberland County, Pennsylvania, and
WHEREAS, the parties hereto desire to amend said SEPARATION AND
PROPERTY SETTLEMENT AGREEMENT in order to achieve a more equitable, cost-
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efficient and practical resolution in regard to the marital residence, as well as to provide a
clarification to the original document,
NOW THEREFORE, in consideration of the foregoing and in further
consideration of the covenants and promises hereinafter mutually to be kept and
performed by each party hereto, as well as for other good and valuable considerations, it
is agreed as follows:
1. With regard to Paragraph 5(a) of the Agreement, Husband and Wife agree that
Husband shall provide to Wife the sum ofTen Thousand Dollars ($10,000.00). Upon
receipt of said sum, Wife shall execute a Deed for the purpose of transferring and
conveying all of her interest in the family residence located at 204 Bosler Avenue,
Lemoyne, Pennsylvania, to Husband. Wife shall relinquish and disclaim any and all
ownership, right, title and interest in said family residence, and Wife agrees that Husband
shall be and remain the sole owner of same. Husband shall take all responsibilty for
paying all debt in regard to said family residence for all costs of maintaining said family
residence.
2. With regard to Paragraph 5( c) of the Agreement, Husband and Wife agree to
amend the second sentence of said paragraph to state as follows: "Wife covenants and
agrees that the 1997 Ford Escort shall be and remain the sole and separate property of
Husband."
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3. With regard to all other paragraphs and provisions of the original
SEPARATION AND PROPERTY SETTLEMENT AGREEMENT, Husband and Wife
agree that they shall remain the same and retain the full force and effect as originally
provided
4. This Agreement constitutes an equitable division of the parties' marital
property. The parties have determined that the division of this property conforms with
regard to the rights of each party. The division of existing marital property is not
intended by the parties to constitute in any way a sale or exchange of assets.
IN WITNESS WHEREOF, the parties hereto, intending to be legally bound
hereby, have hereunto set their hands and seals the day and year first above written.
WITNESSETH:
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Michel R. Pearson
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COMMONWEALTH OF PENNSYLVANIA )
: SS.
COUNTY OF CUMBERLAND )
On this, the I' #V day of ~~ '
2003, before me, a Notary Public in and for the state and county aforesaid, the
undersigned officer, personally appeared MICHEL R.PEARSON, known to
me (or satisfactorily proven) to be the person described in the foregoing instrument,
and acknowledged that he executed the same for the purposes therein contained.
IN WITNESS WHEREOF, I hereunto set my hand and official seal.
w<~. ~~L(SEAL)
Notary Public
NOTARIAL SEAL
WILLIAM L. GRUBB, Notary Public
Lower Allen Twp., Cumberfaod County
My CoITlfllissioo Expires Aug. 13, 2005
COMMONWEALTH OF PENNSYLVANIA)
: SS.
COUNTY OF CUMBERLAND )
Onthis,the I/;"IL.-- day of d~ '
2003, before me, a Notary Public in and for the state and county aforesaid, the
undersigned officer, personally appeared SUSAN L. PEARSON, known
to me (or satisfactorily proven) to be the person described in the foregoing instrument,
and acknowledged that she executed the same for the purposes therein contained.
IN WITNESS WHEREOF, I hereunto set my hand and official seal.
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Notary Public
NOTARIAL SEAL
WILLIAM L. GRUBB, NoIary Public
Lower Allen Twp., Cumberland County
My Commission Expires Aug. 13, 2005
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