HomeMy WebLinkAbout01-2799 FX
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SOCIAL SECURITY INFORMATION SHEET
PURSUANT TO 23 Pa.C.S.A. SECTION 4304. I (a) (3) ALL DIVORCES MUST
INCLUDE THE PARTIES SOCIAL SECURITY NUMBER
PLEASE FILL IN THE APPROPRIATE INFORMATION AND RETURN TO THE
PROTHONOTARY'S OFFICE
DATE: January 3. 2002
DOCKET NUMBER:
2001-2799 Civil Term
PLAINTIFF~ SS# 184-50-4937
NAME:
Susan E. Lynch
DEFENDANT~ SS # 184-50-6758
NAME: David A. Lynch
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SUSAN E. LYNCH,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
CIVIL ACTION - LAW
DAVID A. LYNCH,
Defendant
01 -;17 'i1CIVIL TERM
IN 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,
including custody or visitation of your children.
When the ground for 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, Cwnberland County Courthouse, 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 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.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, Pennsylvania 17013
717-249-3166
1-800-990-9108
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AMERICANS WITH DISABILITIES
ACT OF 1990
The Court of Common Pleas of Cumberland County is required by law to comply with
the Americans with Disabilities Act of 1990. For information about accessible facilities and
reasonable accommodations available to disabled individuals having business before the court,
please contact our office. All arrangements must be made at least 72 hours prior to any hearing
or business before the court. You must attend the scheduled conference or hearing.
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SUSAN E. LYNCH,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
CIVIL ACTION - LAW
(/I-.l 799 CIVIL TERM
DAVIDA.LYNCH,
Defendant
IN DIVORCE
COMPLAINT m DIVORCE PURSUANT IQ SECTION 3301(c)
OF THE DIVORCE CODE
NOW comes the plaintiff, Susan E. Lynch, by her attorney, Marcus A. McKnight, ill,
Esquire, and files this Complaint in Divorce against the defendant, David A. Lynch, representing as follows:
1. The plaintiff is Susan E. Lynch, an adult individual residing at 2167 Ritner Highway,
Shippensburg, Cumberland County, Pennsylvania 17257.
2. The defendant is David A. Lynch, an adult individual residing at 2167 Ritner Highway,
Shippensburg, Cumberland County, Pennsylvania 17257.
3. The plaintiff has been a resident of the Commonwealth of Pennsylvania at least six months
prior to the f1ling of this action in divorce.
4. The plaintiff and the defendant were married on June 26, 1976.
5. There have been no prior actions of divorce or for annulment between the parties.
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6. Pursuant to the Divorce Code, Section 330 I (c), the plaintiff avers as the grounds upon which
this action is based that the marriage between the parties is irretrievably broken.
7. The plaintiff avers that she has been advised of the availability of counseling and that said
party has the right to request that the court require the parties to participate in counseling.
WlIEREFORE, the plaintiff demands judgment dissolving the marriage between the two
parties.
Respectfully submitted,
By:
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Date: May 7, 2001
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VERIFICATION
The foregoing Complaint in Divorce is based upon information which has been gathered
by counsel and myself in the preparation of this action. I have read the statements made in this
document and they are true and correct to the best of my knowledge, information and belief. I
understand that false statements herein made are subject to the penalties of 18 Pa. C.S.A. Section
4904, relating to unsworn falsification to authorities.
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,.-sUSAN E. LYNCH
Date: May 7, 2001
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SUSAN E. LYNCH,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
CIVIL ACTION - LAW
CIVIL TERM
DAVID A. LYNCH,
Defendant
IN DIVORCE
PLAINTIFF'S MARRIAGE COUNSELING AFFIDAVIT
The plaintiff, 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 Prothonotary's
Office, 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.
I verify that the statements made in this affidavit are true and correct. I understand that
false statements herein made are subject to the penalties of 18 Pa. C.S. Section 4904 relating to
unsworn falsification to authorities.
Date: May 7, 2001
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SUSAN E. LYNCH,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
CIVIL ACTION - LAW
2001-2799 CIVIL TERM
DAVID A. LYNCH,
Defendant
IN DIVORCE
PLAINTIFF'S AFFIDAVIT OF CONSENT
1. A Complaint in Divorce under Section 3301(c) of the Divorce Code was filed on May
9,2001.
2. The marriage of plaintiff and defendant is irretrievably broken and ninety days have
elapsed from the date of the filing of the complaint.
3. I consent to the entry of a final decree in 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 verify that the statements made in this affidavit are true and correct. I understand that
false statements herein made are subject to the penalties of 18 Pa. C. S. Section 4904 relating to
unsworn falsification to authorities.
Date:
I Q/jo/o! ' 2001
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SUSAN E. LYNCH,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
CIVIL ACTION - LAW
2001-2799 CIVIL TERM
DAVID A. LYNCH,
Defendant
IN DIVORCE
WAIVER OF NOTICE OF INTENTION TO REOUEST
ENTRY OF A DIVORCE DECREE UNDER
SECTION 3301(c) OF THE DIVORCE CODE
I. 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 made are subject to the penalties of 18 Pa. C.S. Section 4904 relating to
unsworn falsification to authorities.
Date:
/~JO
,2001
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SUSAN E. LYNCH,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
CIVIL ACTION - LAW
2001-2799 CIVIL TERM
DAVID A. LYNCH,
Defendant
IN DIVORCE
DEFENDANT'S AFFIDAVIT OF CONSENT
1. A Complaint in Divorce under Section 3301(c) of the Divorce Code was filed on May
9,2001.
2. The marriage of plaintiff and defendant is irretrievably broken and ninety days have
elapsed from the date ofthe filing of the complaint.
3. I consent to the entry of a final decree in divorce.
4. 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.
I verifY that the statements made in this affidavit are true and correct. I understand that
false statements herein made are subject to the penalties of 18 Pa. C. S. Section 4904 relating to
unsworn falsification to authorities.
Date:
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SUSAN E. LYNCH,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
CIVIL ACTION - LAW
2001-2799 CIVIL TERM
DAVID A. LYNCH,
Defendant
IN DIVORCE
WAIVER OF NOTICE OF INTENTION TO REOUEST
ENTRY OF A DIVORCE DECREE UNDER
SECTION 3301(c) OF THE DIVORCE CODE
I. 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 made are subject to the penalties of 18 Pa. C.S. Section 4904 relating to
unsworn falsification to authorities.
Date:
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SUSAN E. LYNCH,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
CIVIL ACTION - LAW
2001-2799 CIVIL TERM
DAVID A. LYNCH,
Defendant
IN DIVORCE
ACCEPTANCE OF SERVICE
I, David A. Lynch, the defendant in the above-captioned divorce action, hereby verifY that
I have accepted service of the Complaint in Divorce filed under Section 3301(c) of the Divorce
Code on May 9, 2001.
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AVID A. LYNC
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Date: May J / , 2001
STATE OF PENNSYLVANIA
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COUNTY OF CUMBERLAND
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On this, the 3/ day of May, 2001, before me, the undersigned officer, personally appeared
DAVID A. LYNCH, known to me to be the person whose name is subscribed to the above instrument
and acknowledge that he executed same for the purposes therein contained.
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Notarial Seal
Byean ~. B\ltllIrmoro, N~ry Public
SlIvaf Spring 'lIVp" (Jumberland County
I 'My c~mm"elon r.piro8Selll. 9, 2002
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SUSAN E. LYNCH,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
CIVIL ACTION - LAW
2001-2799 CIVIL TERM
DAVIDA. LYNCH,
Defendant
IN DIVORCE
DEFENDANT'S MARRIAGE COUNSELING AFFIDAVIT
The defendant, 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 Prothonotary's
Office, 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.
I verifY that the statements made in this affidavit are true and correct. I understand that
false statements herein made are subject to the penalties of 18 Pa. C.S. Section 4904 relating to
unsworn falsification to authorities.
Date:
Jail ~
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AVIDA.LYNC
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MARRIAGE SETTLEMENT AGREEMENT
Tms AGREEMENT made this 30'" day of Oc.. ~ Y.u.t ,2001 by and between
SUSAN E. LYNCH (hereinafter referred to as "WIFE") and DAVID A. LYNCH (hereinafter
referred to as "HUSBAND").
WITNESSETH:
WHEREAS, HUSBAND and WIFE were lawfully married on June 26,1976. WIFE
has filed a divorce action in the Court of Common Pleas of Cumberland County, said action
docketed at 2001-2799 Civil Term.
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; the settling of all claims and possible claims
by one against the other or against their respective estates and equitable distribution of property
and alimony for each party.
The parties hereto agree and covenant as follows:
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1.
The parties intend to maintain separate and pennanent domiciles and to live apart from
each other. It is the intent and purpose of this Agreement to set forth the respective rights and
duties of the parties while they continue to live apart from each other.
2.
The parties have attempted to divide their matrimonial property in a manner which
conforms to a just and right standard, with due regard to the rights of each party. It is the intent
of the parties that such division shall be final and shall forever detennine their respective rights.
The division of existing marital property is not intended by the parties to constitute in any way a
sale or exchange of assets.
3.
Further, the parties agree to continue living separately and apart from the other at any
place or places that he or she may select as they have heretofore been doing. Neither party shall
molest, harass, injure, threaten or interfere with the other party in any matter whatsoever. Each
party may carry on and engage in any employment, profession, business or other activity as he or
she may deem advisable for his or her sole use and benefit. Neither party shall interfere with the
uses, ownership, enjoyment or disposition of any property now owned and not specified herein
or property hereafter acquired by the other.
Page 2
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4.
The consideration for this contract and agreement is the mutual benefit to be obtained by
both of the parties hereto and the covenants and agreements of each of the parties to the other.
The adequacy of the consideration for all agreements herein contained is stipulated, confessed,
and admitted by the parties, and the parties intend to be legally bound hereby.
Each party to the Agreement acknowledges and declares that he or she,
respectively:
(a) is represented by counsel of his or her own choosing, WIFE is represented by
Marcus A. McKnight, III, Esquire; or if not represented by counsel, understands
that he or she has the right to counsel; HUSBAND chooses not to be represented
by counsel, and by initialing this page acknowledges his right to be represented by
counsel;
(b) is fully and completely informed of the facts relating to the subject matter of
this Agreement and of the rights and liabilities of the parties;
( c) enters into this Agreement voluntarily after receiving the advice of counsel, or
chooses not to consult an attorney;
(d) has given careful and mature thought to the making of this Agreement;
(e) has carefully read each provision of this Agreement; and
(t) fully and completely understands each provision of this Agreement, both as to
the subject matter and legal effect.
This Agreement shall become effective immediately as of the date of execution.
Page 3
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5.
It is the purpose and intent of this Agreement to settle forever and completely the interest
and obligations of the parties in all property that they own separately, and all property that would
qualify as marital property under the Pennsylvania Divorce Code, Title 23, Section 3301(e), and
that is referred to in this Agreement as "Marital Property", as between themselves, their heirs and
assigns. The parties have attempted to divide their Marital Property in a manner that conforms to
a just and fair standard, with due 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, and the division is being effected without the introduction of outside funds or other
property not constituting a part of the marital estate.
It is the further purpose of this Agreement to settle forever and completely any obligation
under the Pennsylvania Divorce Code relating to spousal support or alimony.
6.
Each party represents and warrants that he or she has made a full and fair disclosure to
the other of all of his or her property interests of any nature, including any mortgage, pledge,
lien, charge, security interest, encumbrance, or restriction to which any property is subject. Each
party further represents that he or she has made a full and fair disclosure of all debts and
obligations of any nature for which he or she is currently liable or may become liable. Each
further represents and warrants that he or she has not made any gifts or transfers for inadequate
consideration of Marital Property without the prior consent of the other.
Page 4
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Each Party acknowledges that, to the extent desired, he or she has had access to all joint
and separate State and Federal Tax Returns filed by or on behalf of either or both Parties during
marriage.
7.
REAL ESTATE: HUSBAND hereby agrees to transfer to WIFE exclusive possession
and all right, title and interest in the marital residence located at 2167 Ritner Highway,
Shippensburg, Cumberland County, Pennsylvania, and will waive all right, title and interest in
the property. HUSBAND agrees to execute a deed upon the execution of this Agreement
transferring said property into WIFE'S name individually, and WIFE agrees to assume all
liability for and indemnify HUSBAND against the mortgages currently against said residence,
and agrees to be solely responsible for the payments associated with said mortgages. In addition,
HUSBAND agrees to convey to WIFE a deed which conveys all right, title and interest to the
mountain land situate in Penn Township, Cumberland County, Pennsylvania.
8.
ALIMONY: It is the mutual desire of the parties that HUSBAND will not be required to
pay support to the WIFE. WIFE will not provide any financial support to the HUSBAND. The
parties also waive any right they have to receive alimony or alimony pendente lite payments
from the other following the entry of the Divorce Decree in this matter.
Page 5
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9.
PERSONAL PROPERTY: The parties agree that the personal property has been
divided to the parties' mutual satisfaction. WIFE hereby waives all right and title which she
may have in any personal property of the HUSBAND. HUSBAND likewise waives any interest
which he has in the personal property of the WIFE. Henceforth, each of the parties shall own,
have and enjoy independently of any claim or right of the other party, all items of personal
property of every kind, nature and description and wherever situated, which are then owned or
held by or which may hereafter belong to the HUSBAND or WIFE with full power to the
HUSBAND or the WIFE to dispose of same as fully and effectually, in all respects and for all
purposes as if he or she were unmarried.
Each party agrees that neither will incur obligations, liens or liabilities on account of the
other and that from the date of this Agreement, neither party shall contract or incur obligations,
liens or any liability whatsoever on account of the other.
Further, WIFE does hereby release, waive and forever discharge HUSBAND from any
and all claims she has now, ever may have or can at any time have against HUSBAND or his
estate or' any part thereof, whether arising out of formal contracts, engagements or liabilities of
HUSBAND, arising by way of widower's right or under the intestate Law arising by any right to
take against the HUSBAND'S will.
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HUSBAND does hereby release, waive and forever discharge WIFE from any and all
claims he has now, ever may have or can at any time have against the WIFE or her estate or any
part thereof, whether arising out offonnal contracts, engagements or liabilities of WIFE, arising
by way of widower's right or under the intestate Law arising by any right to take against the
WIFE'S will.
10.
AUTOMOBILES: The parties hereby agree that WIFE shall retain the automobile
which is currently in her possession. HUSBAND hereby waives all right, title and interest in the
vehicle which is currently in possession of WIFE. The parties hereby agree that HUSBAND
shall retain the automobile which is currently in his possession. WIFE hereby agrees to transfer
and waive all right, title and interest in the vehicle which is currently in possession of
HUSBAND. The Kenworth Tractor titled in HUSBAND'S name will be his sole property.
WIFE waives all interest in said vehicle. HUSBAND agrees to refinance the loans on his
vehicles within three (3) years. Until that time HUSBAND agrees to make all payments on said
loans and hold WIlFE harmless and indemnify her from any liability therefrom.
11.
MARlT AL DEBTS: Each party will be responsible for their own debt incurred after the
date of separation. HUSBAND agrees to repay the sum of Twelve Thousand and no/IOO
($12,000.00) Dollars which he has borrowed from WIFE. HUSBAND will pay the sum of Four
Thousand and no/100 ($4,000.00) Dollars per year for three (3) years. HUSBAND agrees to
remain solely responsible for any debt incurred as a result of business endeavors which were
acquired before, during and after the parties' marriage as well as his debts from the Trucking
Page 7
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business. The parties also specifically agree that the payments called for in this Agreement are
not intended to be a debt which is affected by a discharge in bankruptcy. They further
specifically intend that HUSBAND'S obligations under the terms of this Agreement shall not be
subject to discharge in bankruptcy because they acknowledge that such are necessary for WIFE
to meet her financial obligations and to support and maintain her standard ofliving. HUSBAND
represents that there are no bankruptcy proceedings presently pending in which he is involved.
HUSBAND agrees not to file a bankruptcy action prior to completion of his obligations pursuant
to this paragraph.
12.
INCOME TAXES AND EMPLOYEE BENEFITS: The parties agree that any life
insurance policies on the life of HUSBAND or WIFE or any other employee benefits, including
but not limited to retirement, profit sharing or medical benefits of either party, shall be their own.
WIFE waives all right, title and claim to HUSBAND'S employee benefits, and HUSBAND
waives all right, title, and claim to any of WIFE'S employee benefits.
WIFE agrees to keep HUSBAND on her Blue Cross/Blue Shield health insurance plan
until the Divorce of the parties becomes final. From the 2000 tax return the parties agree that
WIFE will receive Four Thousand and no/lOO ($4,000.00) Dollars with the balance paid to
HUSBAND. For the year 2001 and thereafter WIFE will be entitled to use Heidi A. Lynch as
her federal income tax exemption.
Page 8
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13.
BENEFITS AND BANK ACCOUNTS: WIFE agrees to waive all right, title and
interest which she may have in the savings or checking or any other bank accounts of the
HUSBAND not otherwise provided for herein. HUSBAND agrees to waive all right, title and
interest which he may have in the savings or checking or any other bank accounts of WIFE not
otherwise provided for herein. HUSBAND agrees to cooperate in closing or removing WIFE'S
name from any and all joint accounts held and any financial institution within fifteen (15) days of
the execution of this Agreement. Similarly, WIFE agrees to cooperate in closing or removing
HUSBAND'S name from any and all joint accounts held and any financial institution within
fifteen (15) days of the execution of this Agreement.
14.
DIVORCE: The parties both agree to cooperate with each other in obtaining a final
divorce of the marriage. It is agreed that the parties will execute and file the consents necessary
to obtain the divorce. Any party who fails to cooperate with obtaining the Divorce shall pay all
the costs and legal fees of the party who is seeking the divorce.
15.
BREACH: If either party breaches any provisions of this Agreement, the other party
shall have the right, at his or her election, to sue for damages for such breach or seek such other
remedies or relief as may be available to him or her, and the party breaching this contract should
be responsible for payment of legal fees and costs incurred by the other in enforcing their rights
under this Agreement.
Page 9
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16.
ADDITIONAL INSTRUMENTS: 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.
17.
VOLUNTARY EXECUTION: The provisions of this Agreement and their legal effect
have either been fully explained to the parties by their respective counsel, or have been fully
reviewed and understood if not represented by counsel, and each party acknowledges that the
Agreement is fair and equitable, and that it is being entered into voluntarily, and that it is not the
result of any duress or undue influence. 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 further agree that the
terms of this Agreement shall be incorporated into any Divorce Decree which may be entered
with respect to them. It is the parties' intent that this Agreement does not merge with the Divorce
Decree, but rather shall continue to have independent contractual significance. Each party
maintains his or her contractual remedies as well as court ordered remedies as the result of the
aforesaid incorporation or as otherwise provided by law or statute. Those remedies shall include,
but not be limited to, damages resulting from breach of this Agreement, specific enforcement of
this Agreement and remedies pertaining to failure to comply with an order of court or agreement
pertaining to equitable distribution, alimony, alimony pendente lite, counsel fees and costs as set
forth in the Pennsylvania Divorce Code or other similar statutes now in effect and as amended or
hereafter enacted.
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18.
ENTIRE AGREEMENT: This Agreement contains the entire understanding of the
parties and there are no representations, warranties, covenants or undertakings other than those
expressly set forth herein.
19.
APPLICABLE LAW: This Agreement shall be construed under the Laws of the
Commonwealth of Pennsylvania.
20.
PRIOR AGREEMENTS: It is understood and agreed that any and all property
settlement agreements which mayor have been executed prior to the date and time of this
Agreement are null and void and of no effect.
21.
PAYMENT OF COSTS: The parties agree to pay their own attorney's fees and costs
incurred in the settlement of the divorce and related economic issues.
22.
WAIVER OF CLAIMS AGAINST ESTATES: Except as herein otherwise provided,
each party may dispose of his or her property in any way, and each party hereby waives and
relinquishes any and all rights he or she 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
Page 11
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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.
IN WITNESS WHEREOF, the parties hereunto have set their hands and seals the day
and year first above written.
WITNESSES:
(SEAL)
~L@;~~~ (SEAL)
Page 12
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COMMONWEALTH OF PENNSYLVANIA
SS:
COUNTY OF CUMBERLAND
PERSONALLY APPEARED BEFORE ME, this '3 () %daYOf oifhh Vl_' 2001,
a Notary Public, in and for the Commonwealth of Pennsylvania and County of Cumberland,
SUSAN E. LYNCH, known to me (or satisfactorily proven) to be the person whose name is
subscribed to the within Marriage Settlement Agreement, and acknowledges that she executed
the same for the purposes therein contained.
IN WITNESS WHEREOF, I have hereunto set my hand and official seal.
Notarial Seal
Martha L, Noe~ Notary Public
Cartlsle Boro, Cumberland County
My Commission expires Sept. 18, 2003
Membsr, Pennsylvanls AssociatiOll 01 Notaries
COMMONWEALTH OF PENNSYLVANIA
SS:
COUNTY OF CUMBERLAND
:2
.20ci,
PERSONALLY APPEARED BEFORE ME, this ~ day of ~~
a Notary Public, in and for the Commonwealth of Pennsylvania and County of Cumberland,
DAVID A. LYNCH, known to me (or satisfactorily proven) to be the person whose name is
subscribed to the within Marriage Settlement Agreement, and acknowledges that he executed the
same for the purposes therein contained.
NOTARIAL SEAL
DAWN M. SHUGHART, Notary Public
Carlisle, Cumberland County
My CommisSion Expires Nov, 28, 2002
,
IN WITNESS WHEREOF, I have hereunto s
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SUSAN E. LYNCH,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
CIVIL ACTION - LAW
2001-2799 CIVIL TERM
DAVID A. LYNCH,
Defendant
IN DIVORCE
PRAECIPE TO TRANSMIT RECORD
To the Prothonotary:
Transmit the record, together with the following information, to the court for entry of a divorce decree:
I. Ground for Divorce: Irretrievable breakdown under Section 330 I (c) of the Divorce Code.
2. Date and manner of service of complaint: A certified copy of the Complaint in Divorce was served upon
the defendant, David A. Lynch, on May 31, 2001, and is evidenced by the Acceptance of Service signed by
defendant and med on August 29, 200 I.
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: October 30, 200 I; by defendant: January 2, 2002 ,
(b)(I) Date of execution of the affidavit reqnired by Section 3301(d) of the Divorce Code:
(b )(2) Date of filing and service of the plaintiff's affidavit upon the defendant:
4. Related claims pending: NONE.
5. Complete either (a) or (b).
(a) Date and manner of service of the Notice of Intention to file Praecipe to Transmit Record,
a copy of which is attached:
Date defendant's Waiver of Notice
Prothonotary: January 3, 2002,
(b) Date plaintiffs Waiver of Notice
Prothonotary: November 2, 200 I.
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IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY
STATE OF
PENNA.
SUSAN E. LYNCH,
Plaintiff
No. 2001-2799 CIVIL TERM
CIVIL ACTION - LAW
VERSUS
DAVID A. LYNCH.
IN DIVORCE
Defendant
DECREE IN
DIVORCE
.
.
AND NOW,
1a..1J~
, 2002 ,IT IS ORDERED AND
/,'"
DECREED THAT
SUSAN E. LYNCH
, PLAINTIFF,
AND
DAVID A. LYNCH
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;
ThgMarriage Settlement Agreement dated October 30. 2001 and signed bv
the parties is hereby incorporated into this Decree. but not merged.
.
PROTHONOTARY
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