HomeMy WebLinkAbout01-06033
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NOV 2 9 2001 uJ
RICHARD P. MISLlTSKY,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
V.
JUDITH KUNTZ-MISLITSKI,
Defendant
: NO. 2001-6033 CIVIL TERM
: IN CUSTODY
ORDER OF COURT
AND NOW, this (0-4- day of ~ ,2001, upon
consideration ofthe attached Custody Conciliation Report, it is ordered and directed as
follows:
I. A Hearing is scheduled in Court R20m No. Q, of the Cumberland
County Court House, on the :lIst- dayof J.dUu,,~ ' 2002, at :1.:'1..5
o'clock, II. M<, at which time testimony will be taken. For purposes of this Hearing,
the Father shall be deemed to be the moving party and shall proceed initially with
testimony. Counsel for each party shall file with the Court and opposing counsel a
Memorandum setting forth each party's position on custody, a list of witnesses who will
be expected to testify at the Hearing and a summary of the anticipated testimony of each
witness. These Memoranda shall be filed at least ten days prior to the Hearing date.
2. Pending further Order of Court or agreement of the parties, the following
shall remain in effect:
3. The Father, Richard P. Mislitsky, and the Mother, Judith Kuntz-Mislitski
shall have shared legal custody of Kristen Brielle Mislitski, born May 25, 1985 and Alexa
Ann Mislitski, born November 2, 1988. Each parent shall have an equal right, to be
exercised jointly with the other parent, to make all major non-emergency decisions
affecting the children's general well-being including, but not limited to, all decisions
regarding their health, education and religion.
4. Mother shall have primary physical custody of the children.
5< Father shall have the following periods of partial physical custody of the
children beginning December 6, 2001:
A. On an alternating week schedule, Thursdays from after school to the following
Tuesday morning and Wednesday from after school to Thursday morning.
B. Christmas Eve for the entire day until the family celebration is concluded in
the evening.
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C. Such other times as the parties agree.
6. Transportation shall be as agreed by the parties.
7. The parties agree to participate in family counseling.
8< The parties shall have liberal telephone contact with the children.
9. The parties may modify this Order by mutual agreement. In the absence
of mutual consent, the terms of this Order shall control.
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cc: Carol A. Redding, Esquire, counsel for Father
Kathleen Carey Daley, Esquire, counsel for Mother
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RICHARD P. MISLITSKY,
Plaintiff
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
V.
JUDITH KUNTZ-MISLITSKI,
Defendant
: NO. 2001-6033 CIVIL TERM
: IN CUSTODY
PRIOR JUDGE: EDGAR B. BAYLEY
CUSTODY CONCILIATION SUMMARY REPORT
IN ACCORDANCE WITH CUMBERLAND COUNTY RULE OF CIVIL
PROCEDURE 1915.3-8, the undersigned Custody Conciliator submits the following
report:
1. The pertinent information concerning the Children who are the subjects of
this litigation is as follows:
NAME
DATE OF BIRTH
CURRENTLY IN CUSTODY OF
Kristen Brielle Mislitski
Alexa Ann Mislitski
May 25,1985
November 2, 1988
Mother
Mother
2< A Conciliation Conference was held November 28,2001 with the
following individuals in attendance: The Father, Richard P. Mislitsky, with his counsel,
Carol A. Redding, Esquire, and the Mother, Judith Kuntz-Mislitski, with her counsel,
Kathleen Carey Daley, Esquire.
3< The Court previously entered an Order on October 22, 2001 denying
Father's Petition for Emergency Relief.
4. Father's position on custody is as follows: Father seeks shared legal and
physical custody on a week on/week off basis. Father maintains that he has a close
relationship with the children, has been active in all facets of the children's care and
nurturing. He fears that if he does not have shared physical custody, he will lose the
close relationship he presently has due to the children's active lives. The parties live in
close proximity and Father believes a shared physical custody arrangement would not be
disruptive to the children.
5. Mother's position on custody is as follows: Mother seeks shared legal
custody and primary physical custody with Father having an alternating weekend
schedule and daily access to the children. Mother maintains that a week on/week off
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arrangement would be disruptive to the children, that the children need the sense of a
home base. Mother further maintains that the older child who is sixteen years old has
indicated a preference to live primarily with Mother with frequent overnights with Father.
6< The Conciliator recommends an Order in the form as attached scheduling
a Hearing and granting the parents shared legal custody, Mother primary physical
custody and Father having six (6) overnights out offourteen (14). It is expected that the
Hearing will require one day.
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Custody Conciliator
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PLAINTIFFS PROPOSED RESOLUTION
FOR CUSTODY
1. The partieS shall shared legal custody of the minor children, Kristen Brielle
Mislitski, born May 25, 1985 and Alexa Ann Mislitski, born November 2, 1988.
2. The parties shall share physical custody of the minor children as follows:
A Every other week from Sunday at 7:00 p.m. through the following
Sunday at 7:00 p.m. During the summer vacation periods, each party shall have
the right to extend one week of custody to two consecutive weeks with notice of
said extensions to be provided to each parent no later than May 1st of each year.
In the event that such extensions by either parent are in conflict, such conflict
shall be resolved by giving Father priority in even years and Mother priority in odd
years.
3. All periods of holidays, summer vacations, and special occasions as outlined
herein shall take precedence over regularly scheduled periods of custody.
4. The minor children shall be afforded all reasonable opportunities to telephone
either parent at any time at their request. Each parent shall have reasonable
telephone contact with the children.
5. Transportation to effectuate all periods of custody during any year shall be
shared by the parties by agreement.
6. The parties shaI enjoy addib sI periods of aJStody a; they may Iium timet<> time mutually
agree.
7. Each parent shall hold the other out to the children as someone they should
love and respect and shall not use derogatory language or refer to the other
parent in any way which would defeat this purpose.
8< The parties recognize that both minor children will be involved in activities,
sports and other extracurricular events which both partieS may desire to attend.
Each party agrees to promptly provide any information concerning such events,
and any information requiring completion of tasks prior to such events. If either
child is participating in an organiZed activity, it shall be the responsibility of the
parent in custody to insure that the child attends practices. games or other related
activities as scheduled. If a parent is unable to get the minor children to
scheduled games. practices, etc., then it shall be the responsibility of said parent
to contact the other parent so as to allow that parent to get the child to such
activity.
9. The holiday of Thanksgiving shaI be shared on an a1l.t:ollalil19 yeEIS tasis as follows: Father
shaI exe.tiseOJSlodyin odd yeEIS Iium!he Wednesdayprecedillg Thanksgiving 813:30 pm
EXHIBIT
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through lhe Friday roIbNing lhanksgiviryJ Day at 3:30 p.m. MoIher shall exertise a.rslody of lhe
dtien in odd yearsliom 3:30p.m. on Friday after Thanksgiving Day through 7:00p.m. on
Sunday. In even years, MoIhershall eXE!I(:isea.rslody fium lhe Wednesday preoecilQ
Thanksgiving at 3:30 p.m. through lhe FridayfollcMring Thanksgiving Day at 3:30 p.m. Father
shall exercise custody oflhedtien in even years from 3:30 p.m. on Fridayt:bW'g
Thanksgiving Day through 7:00 p.m. on Sunday.
10. The holiday ofClIrisb .ll:lS shall be aIIlen l8tecI each year in lhe t:bW'g manner. In odd
years, lheMolhershallexertisecustodyfiom Dece..lbe. zj<!at3:oop.m.1hrouQh3:OOp.m. on
Chris1lIl&:> Day. In odd years, Falhershall exen::iseOJStodyfrom Decelllber25" at 3:00 pm.
through 0ea3mber zt' at 3:00 p.m. In even years, MoIhershall exertise custody from
Derember 2Sh at 3:00 p.m.lhroughDecember zt' at 3:00 p.m. In even years, Father shall
exertise custody from Derember 'z3d from 3:00 pm.1hrough OeoeI,lbeI 2f!' at 3:00 pm.
11 < Father shall e><eItise custody of1he minor dtit:1. every yearb' FaIhers Day. Said
wslody shall take ~CNPr regu/aIIy schedllled wslody periods and shall be execised
liom 8:00 am. 1hrough 7:00 p.m.
12< MoIhershall tw;i0St:: wslody oflhe minordtien everyyearb'Molhers Day. Said
wslody shall take pleceda ICeCNPr regulaJIy scheduled custody periods and shall be execised
liom 8:00 am.1hrough 7:00 p.m.
13. All other holidays shall be shared by the parties by mutual agreement.
14. The parties may modify the above periods of custody from time to time by
mutual agreement.
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PLAINTIFFS PROPOSED RESOLUTION
FOR CUSTODY
1. The parties shall shared legal custody of the minor children, Kristen Brielle
Mislitski, born May 25, 1985 and Alexa Ann Mislitski, born November 2, 1988.
2< The parties shall share physical custody of the minor children as follows:
A. Every other week from Sunday at 7:00 p.m. through the following
Sunday at 7:00 p< m< During the summer vacation periods, each party shall have
the right to extend one week of custody to two consecutive weeks with notice of
said extensions to be provided to each parent no later than May 1st of each year.
In the event that such extensions by either parent are in conflict, such conflict
shall be resolved by giving Father priority in even years and Mother priority in odd
years.
3< All periods of holidays, summer vacations, and special occasions as outlined
herein shall take precedence over regularly scheduled periods of custody.
4. The minor children shall be afforded all reasonable opportunities to telephone
either parent at any time at their request. Each parent shall have reasonable
telephone contact with the children.
5. Transportation to effectuate all periods of custody during any year shall be
shared by the parties by agreement.
6. The t:Bties shaI enjoy ad1iIio 181 peliods OfaJStody as 1hey may fia'n time to time muJuaIy
agree.
7 < Each parent shall hold the other out to the children as someone they should
love and respect and shall not use derogatory language or refer to the other
parent in any way which would defeat this purpose.
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8< The parties recognize that both minor children will be involved in activities,
sports and other extracurricular events which both parties may desire to attend.
Each party agrees to promptly provide any information concerning such events,
and any information requiring completion of tasks prior to such events. If either
child is participating in an organized activity, it shall be the responsibility of the
parent in custody to insure that the child attends practices, games or other related
activities as scheduled. If a parent is unable to get the minor children to
scheduled games, practices, etc.. then it shall be the responsibility of said parent
to contact the other parent so as to allow that parent to get the child to such
activity.
9. The holiday ofTtlanksgiving shaI be shared on an aIternaIirg}'eEllS basis as follows: Father
shaI exeroseaJStody in odd}'eEllS fia'n the WedlleSday precm.lQ ThanksgMng at 3:30 p.m.
EXHIBIT
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lhrough1heFriday~ Thanksgiving Day at 3:30 p.m..MoIhershal e..edseaJSfDdyof1he
d1i'Idren in odd yeEIlS from 3:30 p.m. on Friday alterThanksgiving Daythroogh 7:00 p.rn. on
Sunday. In even~, McihershaH exeltiseaJStodyfmm the Wedl.esday pIecedi! g
Thanksgiving at 3:30 p.m. through 1he Friday ~ Thanksgiving Day at 3:30 p.m. Father
shalJexadseaJStodyofthechik:llen in even years from 3:30 p.m. on Friday~
Thanksgiving Daythroogh 7:00 p.m. on Sunday.
10. The holiday ofOll~11i:l5 shaIJ beallemaled each year in the ~ roamer. In odd
~, the Mothershal MlIdseaJStodyfrom Oecember~ at 3:00 p.m.lhrough 3:00 p<rn. on
01Iistmas Day. In odd years, Falhershal exadse aJStodyfmm DecenIbet.2!/' at 3:00 p.m.
through Oecember 'd' at 3:00 p.rn. In even)'eEllS, Mofher shalexe.lise a.ISfody fmm
Oecember 2!/' at 3:00 p.rn.1hrough December'd' at 3:00 p.rn. In even years, Falhershal
exerdseaJStody fmm OeooIflbef ~ fiml3:oo p.m through Deceulbef 2fI' at 3:00 p.rn.
11. Falhershal '""""~ aJStody of1he minorchildren fNfSY yearfbr Fathers Day. Said
0JSl0dy shaH faI<e prec.MelIOOOI/f!K~ sdledtded 0JSl0dy peOOdsand shalJbeexatised
fmm 8:00 am. through 7:00 p.m.
12. Mother shaH exeltiseaJStody of the minord,ut2ltM!l'fyearb"M:Ahers Day. Said
aJStodyshaHtake~OI/f!K~sd1eduled aJSIodyperiOOs and shaI beexatised
from 8:00 am. through 7:00 p.m.
13. All other holidays shall be shared by the parties by mutual agreement.
14. The parties may modify the above periods of custody from time to time by
mutual agreement.
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RICHARD P. MISLITSKY,
Plaintiff
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYL VANIA
CIVIL ACTION - LAW
v.
NO. 01-6033 CIVIL
JUDITH KUNTZ-MISLITSKI,
Defendant
IN CUSTODY
DEFENDANT'S MEMORANDUM
AND NOW, comes the Defendant, Judith Kuntz-Mislitski, by and through her attorney,
Kathleen Carey Daley, Esquire, and respectfully submits the following:
WITNESSES
1. Judith Kuntz-Mislitski of 18 Liberty Court, Carlisle, Pennsylvania 17013. Ms.
Mislitski is the mother of Kristen B. Mislitski, date of birth - May 25, 1985, and Alexa A. Mislitski,
date of birth - November 2, 1988, and will be testifYing as to all relevant factors demonstrating that
the children's best interest will be served by residing primarily with her.
2. Kristen B. Mislitski and Alexa A. Mislitski will testify as to the current schedule and
their desires regarding a custody arrangement.
3. If other witnesses are called, their names and the content of their testimony will be
disclosed prior to trial.
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ISSUES FOR RESOLUTION
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1 < The best interest of the children will be served by the parties having shared legal
custody and the Defendant, Judith Kuntz-Mislitski, having primary physical custody and Plaintiff,
Richard P< Mislitsky, having periods of partial custody of one night each week, every-other-weekend
and alternating holidays in addition to a two week summer vacation. The ages of the children will
permit them to have daily contact with their father without the disruption caused by the current trial
schedule.
EXHmITS
None
Respectfully submitted,
DALEY LAW OFFICES
athleen Carey Daley,
'Attorney No. 30078 i
1029 Scenery Drive
Harrisburg, PA 17109
(717) 657-4795
Attorney for Defendant
RICHARD P. MISLlTSKY,
PLAINTIFF
V.
JUDITH KUNTZ-MISLlTSKI,
DEFENDANT
AND NOW, this
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: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
: 01-6033 CIVIL TERM
ORDER OF COURT
-z.~ day of October, 2001, the petition for an
emergency order regarding children ages 16 and 12, IS DENIED. The complaint in
custody is referred to conciliation.
Kathleen Carey Daley, Esquire
For Plaintiff
Carol A. Redding, Esquire
For Defendant
Court Administrator ./
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By the Cot1ff,
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Richard P. Mislitsky,
Plaintiff
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY
PENNSYLVANIA
CIVIL ACTION - LAW
v.
CUSTODY/VISITATION
Judith Kuntz-Mislitski,
Defendant
NO. DI- l".63.3
GOt.f y~
COMPLAINT FOR CUSTODY
AND NOW comes the above-captioned Plaintiff, Richard P.
Mislitsky, by and through his attorney, Carol A. Redding,
Esquire, and sets for the following Complaint For CUstody:
1. The Plaintiff is Richard P. Mislitsky, residing at 222
Pine Road, Carlisle, CUmberland County, Pennsylvania.
2. The Defendant is Judith Kuntz-Mislitski, residing at 222
Pine Road, Carlisle, Cumberland County, Pennsylvania.
3. Plaintiff seeks custody of the following children:
Kristen Brielle Mislitski
222 Pine Road
Carlisle, PA
16 years
Alexa Ann Mislitski
222 Pine Road
Carlisle, PA
12 years
The children were not born out of wedlock.
The children are presently in the custody of the Plaintiff
and Defendant, who both reside at 222 pine Road, Carlisle,
CUmberland County, Pennsylvania.
During the past five years, the children have resided with
the following persons and at the following addresses:
Richard P. Mislitsky
Judith Kuntz-Mislitski
222 pine Road
Carlisle, PA
1996 through
Present
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The mother of the children is Judith Kuntz-Mislitski,
currently residing at 222 Pine Road, Carlisle, Cumberland County,
Pennsylvania.
She is married to the Plaintiff, Richard P. Mislitsky.
The father of the children is Richard P. Mislitsky,
currently residing at 222 pine Road, Carlisle, Cumberland County,
Pennsylvania.
He is married to the Defendant, Judith Kuntz-Mislitski.
4. The relationship of the Plaintiff to the children is
that of natural father. The plaintiff currently resides with the
following persons:
Judith Kuntz-Mislitski
Kristen Brielle Mislitski
Alexa Ann Mislitski
wife
Daughter
Daughter
5. The relationship of the Defendant to the children is
that of natural mother. The Defendant currently reides with the
following persons:
Richard P. Mislitsky
Kristen Brielle Misliitski
Alexa Ann Mislitski
Husband
Daughter
Daughter
6. Plaintiff has not participated as a party or witness, or
in another capacity, in other litigation concerning the custody
of the children in this or another court.
Plaintiff has no information of a custody proceeding
concerning the children pending in a court of this Commonwealth
or any other state.
Plaintiff does not know or a person not a party to the
proceedings who have physical custody of the child or claims to
have custody or visitation rights with respect to the children.
7. The best interest and permanent welfare of the children
will be served by granting the relief requested because:
a.
Mother and Father are currently residing
together at the marital residence where they
have lived with the children for many years.
The children have their own rooms and their
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personal belongings are also at the marital
residence.
The Plaintiff has participated in all of the
care and upbringing of his children,
including but not limited to their physical,
emotional, educational, and psychological
welfare, for example:
i. Providing food, shelter, and clothing and
financial stability
ii. Providing transportation of the children
to school
iii. Taking the children to various sporting
events
iv. Taking the children to
doctors/dentists/etc. appointments
v. Father coached the children's soccer teams
over the past several years
vi. Father prepares breakfast and often
prepares dinner for the children
vii. Father assists with the children's
homework and other school projects
viii. Father has. accompanied the children on
trips, vacations, has participated in
educational activities, and has made
himself available for the day to day lives
of his children.
The plaintiff is the natural father of the
children, has an interest in their welfare and
upbringing, and want to continue to develop
his relationship with the children.
On or about Monday, October 1, 2001, at a
hearing before the Honorable Judge Bailey,
counsel for the Plaintiff advised the Court
that custody would be a contested issue in the
divorce matter.
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e.
In light of the contested custody issue, on or
about Monday, October 1, 2001, Plaintiffs
counsel, Carol A. Redding, spoke wi th
Defendant's counsel, Kathleen Daley about the
possibility of mediation to resolve the
contested issues of custody. Correspondence
has subsequently been sent by Defendant's
counsel suggesting mediators to be utilized
and questioning how quickly it could be
accomplished.
f.
On or about Friday, October 19, 2001, the
Plaintiff received a copy of a Domestic
Relations Order scheduling a hearing for
November 9, 2001 for the purpose of hearing
issues of various issues, including child
support. In said Petition, Defendant listed
the parties separation date as October 31,
2001. The Defendant further listed the
children's addresses as 18 Liberty Court,
Carlisle, Pennsylvania and listed the
Defendant at this same address. Neither the
children nor the Defendant reside at this
residence. A copy of said Order and Petition
is attached hereto, made a part hereof, and
marked Exhibit "A".
g.
At no time has the Plaintiff agreed that
Defendant would take the children with her at
any time that she might move from the marital
residence. In fact, plaintiff has given
Defendant notice through his counsel, that he
specifically disagrees with Defendant taking
the children and was contesting custody.
h.
Until rece1v1ng the aforementioned Domestic
Relations Order, the plaintiff had no
information concerning the intended residence
of the Defendant, has no knowledge of its
suitability, and no information has been given
to the Plaintiff concerning schedules for
custody.
i.
The Defendant believes and therefore avers
that the Defendant intends to vacate the
marital residence on October 31, 2001 and that
the Defendant intends to take the children
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with her without regard to Plaintiffs
custodial rights and without any schedule
implemented to secure Plaintiff's custodial
rights.
j .
Father is self-employed and has a flexible
work schedule such that he can be available to
care for the children at any time, especially
on a shared custody schedule. Father often
works at home and would continue to do so
during those times when he has physical
custody of the children.
k.
Mother is a full-time teacher with a work
schedule of approximately 7: 30 a.m. through
3:30 p.m. Her schedule is not flexible such
that she may leave her work at any time.
1.
The children love their father and need to
have maximum contact with their father and his
family in order to facilitate family ties.
m.
The Plaintiff believes that the minor children
should have shared time with their natural
parents until a pennanent agreement can be
arrived at between the parties.
n.
The Plaintiff can
stable home and
custody periods.
provide the children with a
living environment during
o.
without the benefit of a court ordered custody
schedule, Plaintiff believes that the
Defendant intends to proceed in a course of
action that will limit his time with the
children, which is not in their best interest
and welfare.
p.
For all the above reasons, shared custody with
the parents is in the best interest and
welfare of the children and it is proposed
that the most effective schedule will be a
week on/week off schedule.
8. Each parent whose parental rights to the children have
not been terminated and the person who has physical custody of
the children have been named as parties to this action.
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WHEREFORE, Plaintiff requests the Court to maintain the
status quo which has existed since the children's birth and
continues to this date by granting shared custody of the children
to the plaintiff and Defendant.
Respectfully submitted,
CCV!.OL() ~ QPti~
Carol A. Redding, Esquire
Counsel for the Plaintiff
Richard P. Mislitsky
REDDING LAW OFFICE
19 North Main Street
Chambersburg, Pennsylvania 17201
717-267-1440
Attorney No: 82041
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I verifY that the statements in this Petition are true and correct. I understand that false
statements herein are made subject to the penalties of 18 Pa. e.s. Section 4904,
relating to unsworn falsification to authorities.
DATE:
lO-lq-OI
Richard P. Mislitski
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EXlDBIT "A"
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JUDITH KUNTZ-MISLITSKI,
Plaintiff7Petitioner
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
Vs.
CIVILACTION-DIVORCE
RICHARD P. MISLITSKY,
Defendant/Respondent
NO. 2001-4676 CIVIL TERM
IN DIVORCE
DR# 31093
Paeses# 865103901
ORDER OF COURT
AND NOW, this 17'h day of October, 2001, upon consideration of the attached Petition for
Alimony Pendente Lite andlor counsel fees, it is hereby directed that the parties and their respective counsel
appear before R.J. Shaddav on November 9. 2001 at 9:00 A.M. for a conference, at 13 N. Hanover St.,
Carlisle, PA 17013, after which the conference officer may reconunend that an Order for Alimony
Pendente Lite be entered.
YOU are further ordered to bring to the conferenee:
(1) a true copy of your most recent Federal Income Tax Return, including W-2's as filed
(2) your pay stubs for the preceding six (6) months
(3) the Income and Expense Statement attached to this order, completed as required by Rule
1910.110
(4) verification of child care expenses
(5) proof of medical coverage which you may have, or may have available to you
IF you fail to appear for the conference or bring the required documents, the Court may issue a
warrant for your arrest.
BY THE COURT,
George E. Hoffer, President Judge
Mail copies on
10-17-01 to:
Petitioner
< Respondent
Kathleen Daley, Esquire
Carol Redding, Esquire
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day, Conference Officer
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Date of Order: October 17, 200 I
YOU HAVE THE RIGHT TO A LAWYER, WHO MAYA TEND THE CONFERENCE AND
REPRESENT YOU. 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 MAY GET
LEGAL HELP.
CUMBERLAND COUNTY BAR ASSOCIATION
2 LIBERTY A VB.
CARLISLE, PENNSYLVANIA 17013
(717) 249-3166
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IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
JUDITH KUNTZ-MISLITSKI,
Plaintiff
: Docket Number: 0)' 41..)\, el~' 'R-
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: PACSES Case Number:
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RICHARD P. MlSLITSKY,
Defendant
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: Other State ID Number:
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Application for A1imonv Pendente Lite and Child Support Services
Name of applicant: Judith Kuntz-Mislitski
Social Securily Number (SSN): 141-38-5347
Name of other party: Richard P. Mislitsky
I request alimony pendete lite and child support services from the Cumberland County
Domestic Relations Section, including medical insurance, and an a1locationfornon-reimbursed
medical expenses for both myself and my children.
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Date
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FOR OFFICE USE ONLY
Date received in DRS
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IN mE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
JUDITH KUNTZ-MISLlTSKI,
Plaintiff
: Docket Number:
: PACSES Case Number:
v.
RICHARD P. MISLlTSKY,
Defendant
: Other State ID Number:
.
Comolaint for SUl>oort
l.
17013.
Plaintiff resides at: 18 Liberty Court, Carlisle, Cumberland County, Pennsylvania,
Plaintiff's Social Security Number is 141-38-5347 and date of birth is August 23, 1956.
2. Defendant resides at: 222 Pine Road, Mount Holly Springs, Cumberland County,
Pennsylvania, 17065.
Defendant's Social Security Number is 184-44-7198, and date of birth is March 11, 1953.
3. (a) Plaintiff and Defendant were married on September 4, 1983, in Colonia,
Middlesex County, New Jersey.
(b) Plaintiff and Defendant were separated on October 31, 2001.
( c) Plaintiff and Defendant are in the process of divorcing, with Defendant having
filed a complaint in divorce on August I, 2001, at Cumberland County Court of Common Pleas
docket number 01-4676 Civil.
4. Plaintiff and Defendant are the parents of the following children:
Name Birth Date ~ Born of the Marrial!e
Kristen Brielle Mislitski May 25, 1985 16 years Yes
Residence: 18 Liberty Court, Carlisle, Cumberland County, Pennsylvania.
Alexa Ann Mislitski November 2, 1988 12 years Yes
Residence: 18 Liberty Court, Carlisle, Cumberland County, PelUlsylvania.
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5. Plaintiff seeks child support and alimony pendente lite services for the following
persons: Judith Kuntz-Mislitski, Kristen Brielle Mislitski, and Alexa Ann Mislitski.
6.
(a)
Plaintiff IS NOT receiving public assistance
(b) Plaintiff is employed, full-time, with the Big Spring School District, as a
teacher. Her gross annual salary is approximately $30,000.00.
7. No prior support orders were entered against the Defendant in an action of support
for: Judith Kuntz-Mislitski, Kristen Brielle Mislitski, and/or Alexa Ann Mislitski.
8.
Plaintiff has received no direct support payments from the Defendant.
.
WHEREFORE, Plaintiff requests that an order be entered against Defendant and in favor
of the Plaintiff and the aforementioned children for child support, alimony pendente lite, medical
coverage, and an allocation for non-reimbursed medical expenses.
I verify that the statements made in this Complaint are true and correct. I understand that
false statements herein are made subject to penalties of 18 Pa.C.S. ~4904, relating to unsworn
falsification to authorities.
10/0//0/
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Richard P. Mislitsky,
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY
PENNSYLVANIA
CIVIL ACTION - LAW
Plaintiff
v.
CUSTODY/VISITATION
Judith Kuntz-Mislitski,
Defendant
NO.
CERTIFICATE OF SERVICE
I, Carol A. Redding, Esquire, hereby certify that on October 22, 200 I, I served a true and
correct copy of the foregoing Complaint for Custody and Corresponding Orders, by first class
mail, postage pre-paid, and by facsimile (717-657-4996) on Counsel for Defendant, to the
following addresses:
Kathleen Carey Daley, Esquire
DALEY LAW OFFICES
1029 Scenery Drive
Harrisburg, Pennsylvania 171 09
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Carol A. Redding, Esquire ~
Counsel for Plaintiff
Richard P. Mislitsky
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RICHARD P. MISLlTSKY,
PLAINTIFF
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
V.
JUDITH KUNTZ-MISLlTSKI,
DEFENDANT : 01-6033 CIVIL TERM
ORDER OF COURT
AND NOW, this -;z..'"')...--- day of October, 2001, the petition for an
emergency order regarding children ages 16 and 12, IS DENIED. The complaint in
custody is referred to conciliation.
Kathleen Carey Daley, Esquire
For Plaintiff
Carol A. Redding, Esquire
F or Defendant
Court Administrator ,/
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RICHARD P. MISLlTSKY
PLAINTIFF
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
v.
01-6033 CIVIL ACTION LAW
JUDITII KUNTZ-MISLlTSKI
DEFENDANT
IN CUSTODY
ORDER OF COURT
AND NOW, Tuesday, October 30, 2001 , upon consideration of the attached Complaint,
it is hereby directed that parties and their respective counsel appear before Jacqueline M. Verney, Esq. , the conciliator,
at 4th Floor, Cu,berland County Courthouse, Carlisle on Wednesday, November 28, 2001 at 1:30 PM
for a Pre-Hearing Custody Conference. At such conference, an effort will be made to resolve the issues in dispute; or
if this cannot be accomplished, to define and narrow the issues to be heard by the court, and to enter into a temporary
order. All children age five or older may also be present at the conference. Fai]ure to appear at the conference may
provide grounds for entry of a temporary or permanent order.
The court hereby directs the parties to furnish any and all existing Protection from Abuse orders,
Special Relief orders, and Custody orders to the conciliator 48 hours prior to scheduled hearing.
FOR TIlE COURT,
By: Isl
Jacqueline M. Verney. Esq. 6Jv
Custody Conciliator
The Court of Common Pleas of Cumberland County is required by law to comply with the Americans
with Disabilites Act of ]990. 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.
YOU SHOULD TAKE THIS PAPER TO YOUR ATTORNEY AT ONCE. IF YOU DO NOT
HAVE AN ATTORNEY OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET
FORTIl BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP.
Cumberland County Bar Association
2 Liberty Avenue
Carlis]e, Pennsylvania 17013
Te]ephone (717) 249-3166
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Plaintiff
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY
PENNSYLVANIA
CIVIL ACTION - LAW
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Richard P. Mislitsky,
v.
CUSTODY/VISITATION
Judith Kuntz-Mislitski,
Defendant
NO. 01- ~o3J
(!~(')l-l 'T~
ORDER OF COURT
, 2001, upon
the attached complaint, it is hereby directed
and their respective counsel appear before,
, the conciliator, at
on the ____ day of
, 2001, at __.m., for a Pre-Hearing
Custody Conference. At such conference, an effort will be made to
resolve the issues in dispute; or if this cannot be accomplished,
to define and narrow the issues to be heard by the court, and to
enter into a temporary order. All children age five or older may
also be present at the conference. Failure to appear at the
conference may provide grounds for entry of a temporary or
permanent order.
AND NOW,
consideration of
that the parties
Pending the hearing, with emphasis placed on the arrangements
for the six months preceding the filing of this Complaint, the
Court hereby establishes the following temporary Order for custody
pending a hearing: The parties shall share legal custody of the
minor children, Kristen Brielle Mislitski, date of birth 5/25/85,
and Alexa Ann Mislitski, date of birth 11/2/88. The parties shall
further share physical custody with each party exercising
residential custody from Friday at 6:00 p.m. through the following
Friday at 6: 00 p. m. and alternating weekly thereafter. Said
schedule shall commence with Father on Friday, October 26, 2001.
Transportation shall be shared such that the party receiving
custody shall pick up the minor children.
FOR THE COURT,
BY:
Custody Conciliator
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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.
YOU SHOULD TAKE THIS PAPER TO YOU 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,PA 17013
717-249-3166
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Richard P. Mislitsky,
Plaintiff
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY
PENNSYLVANIA
CIVIL ACTION - LAW
v.
CUSTODY/VISITATION
Judith Kuntz-Mislitski,
Defendant
NO. 01- (,o~3 eoJ.. '-r~
ORDER OF COURT
You, Judith Kuntz-Mislitski, have been sued in court to
obtain custody of the children, Kristen Brielle Mislitski, born
May 25, 1985 and Alexa Ann Mislitski, born November 2, 1988.
You are ordered to appear in person at
, on
.M., for
, 2001 at
A conciliation or mediation conference
A Pretrial Conference
A hearing before the Court
Pending the hearing, with emphasis placed on the arrangements
for the six months preceding the filing of this Complaint, the
Court hereby establishes the following temporary Order for custody
pending a hearing: The parties shall share legal custody of the
minor children, Kristen Brielle Mislitski, date of birth 5/25/85,
and Alexa Ann Mislitski, date of birth 11/2/88. The parties shall
further share physical custody with each party exercising
residential custody from Friday at 6:00 p.m. through the following
Friday at 6: 00 p. m. and alternating weekly thereafter. Said
schedule shall commence with Father on Friday, October 26, 200l.
Transportation shall be shared such that the party receiving
custody shall pick up the minor children.
If you fail to appear as provided by this Order, an order for
custody, partial custody or visitation may be entered against you
or the court may issue a warrant for your arrest.
YOU SHOULD TAKE THIS PAPER TO YOU 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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Pennsylvania Bar Association, Lawyer Referral Service
100 S Street, P.O. Box 186, Harrisburg, P A 17108
1-800-692-7375 (P A only); (717) 238-6715
AMERICANS WITH DISABILITIES ACT OF 1990
The Court of Common Pleas of Cwnberland 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.
BY THE COURT,
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Richard P. Mislitsky,
Plaintiff
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY
PENNSYLVANIA
CIVIL ACTION - LAW
v.
CUSTODY/VISITATION
Judith Kuntz-Mislitski,
Defendant
NO. D' - l.."D3J
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COMPLAINT FOR CUSTODY
AND NOW comes the above-captioned Plaintiff, Richard P.
Mislitsky, by and through his attorney, Carol A. Redding,
Esquire, and sets for the following Complaint For Custody:
1. The Plaintiff is Richard P. Mislitsky, residing at 222
pine Road, Carlisle, Cumberland County, Pennsylvania.
2. The Defendant is Judith Kuntz-Mislitski, residing at 222
Pine Road, Carlisle, Cumberland County, Pennsylvania.
3. Plaintiff seeks custody of the following children:
Kristen Brielle Mislitski
222 Pine Road
Carlisle, PA
16 years
Alexa Ann Mislitski
222 pine Road
Carlisle, PA
12 years
The children were not born out of wedlock.
The children are presently in the custody of the Plaintiff
and Defendant, who both reside at 222 Pine Road, Carlisle,
Cumberland County, Pennsylvania.
During the past five years, the children have resided with
the following persons and at the following addresses:
Richard P. Mislitsky
Judith Kuntz-Mislitski
222 pine Road
Carlisle, PA
1996 through
Present
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The mother of
currently residing
Pennsylvania.
the children is Judith Kuntz-Mislitski
,
at 222 Pine Road, Carlisle, Cumberland County,
She is married to the Plaintiff, Richard P. Mislitsky.
The father of the children is Richard P. Mislitsky,
currently residing at 222 pine Road, Carlisle, Cumberland County,
Pennsylvania.
He is married to the Defendant, Judith Kuntz-Mislitski.
4. The relationship of the Plaintiff to the children is
that of natural father. The Plaintiff currently resides with the
following persons:
Judith Kuntz-Mislitski
Kristen Brielle Mislitski
Alexa Ann Mislitski
wife
Daughter
Daughter
5. The relationship of the Defendant to the children is
that of natural mother. The Defendant currently reides with the
following persons:
Richard P. Mislitsky
Kristen Brielle Misliitski
Alexa Ann Mislitski
Husband
Daughter
Daughter
6. plaintiff has not participated as a party or witness, or
in another capacity, in other litigation concerning the custody
of the children in this or another court.
Plaintiff has no information of a custody proceeding
concerning the children pending in a court of this Commonwealth
or any other state.
Plaintiff does not know or a person not a party to the
proceedings who have physical custody of the child or claims to
have custody or visitation rights with respect to the children.
7. The best interest and permanent welfare of the children
will be served by granting the relief requested because:
a.
Mother and Father are currently residing
together at the marital residence where they
have lived with the children for many years.
The children have their own rooms and their
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c.
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personal belongings are also at the marital
residence.
The Plaintiff has participated in all of the
care and upbringing of his children,
including but not limited to their physical,
emotional, educational, and psychological
welfare, for example:
i. Providing food, shelter, and clothing and
financial stability
ii. Providing transportation of the children
to school
iii. Taking the children to various sporting
events
iv. Taking the children to
doctors/dentists/etc. appointments
v. Father coached the children's soccer teams
over the past several years
vi. Father prepares breakfast and often
prepares dinner for the children
vii. Father assists with the children's
homework and other school projects
viii. Father has accompanied the children on
trips, vacations, has participated in
educational activities, and has made
himself available for the day to day lives
of his children.
The Plaintiff is the natural father of the
children, has an interest in their welfare and
upbringing, and want to continue to develop
his relationship with the children.
On or about Monday, October 1, 2001, at a
hearing before the Honorable Judge Bailey,
counsel for the Plaintiff advised the Court
that custody would be a contested issue in the
divorce matter.
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In light of the contested custody issue, on or
about Monday, October 1, 2001, Plaintiffs
counsel, Carol A. Redding, spoke with
Defendant's counsel, Kathleen Daley about the
possibility of mediation to resolve the
contested issues of custody. Correspondence
has subsequently been sent by Defendant's
counsel suggesting mediators to be utilized
and questioning how quickly it could be
accomplished.
f.
On or about Friday, October 19, 2001, the
Plaintiff received a copy of a Domestic
Relations Order scheduling a hearing for
November 9, 2001 for the purpose of hearing
issues of various issues, including child
support. In said Petition, Defendant listed
the parties separation date as October 31,
2001. The Defendant further listed the
children's addresses as 18 Liberty Court,
Carlisle, Pennsylvania and listed the
Defendant at this same address. Neither the
children nor the Defendant reside at this
residence. A copy of said Order and petition
is attached hereto, made a part hereof, and
marked Exhibit "A".
g.
At no time has the plaintiff agreed that
Defendant would take the children with her at
any time that she might move from the marital
residence. In fact, Plaintiff has given
Defendant notice through his counsel, that he
specifically disagrees with Defendant taking
the children and was contesting custody.
h.
Until receiving the aforementioned Domestic
Relations Order, the Plaintiff had no
information concerning the intended residence
of the Defendant, has no knowledge of its
suitability, and no information has been given
to the Plaintiff concerning schedules for
custody.
i.
The Defendant believes and therefore avers
that the Defendant intends to vacate the
marital residence on October 31, 2001 and that
the Defendant intends to take the children
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with her without regard to Plaintiffs
custodial rights and without any schedule
implemented to secure Plaintiff's custodial
rights.
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Father is self-employed and has a flexible
work schedule such that he can be available to
care for the children at any time, especially
on a shared custody schedule. Father often
works at home and would continue to do so
during those times when he has physical
custody of the children.
k.
Mother is a full-time teacher with a work
schedule of approximately 7:30 a.m. through
3:30 p.m. Her schedule is not flexible such
that she may leave her work at any time.
1.
The children love their father and need to
have maximum contact with their father and his
family in order to facilitate family ties.
m.
The Plaintiff believes that the minor children
should have shared time with their natural
parents until a permanent agreement can be
arrived at between the parties.
n.
The Plaintiff can
stable home and
custody periods.
provide the children with a
living environment during
o.
Without the benefit of a court ordered custody
schedule, Plaintiff believes that the
Defendant intends to proceed in a course of
action that will limit his time with the
children, which is not in their best interest
and welfare.
p.
For all the above reasons, shared custody with
the parents is in the best interest and
welfare of the children and it is proposed
that the most effective schedule will be a
week on/week off schedule.
8. Each parent whose parental rights to the children have
not been terminated and the person who has physical custody of
the children have been named as parties to this action.
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WHEREFORE, Plaintiff requests the Court to maintain the
status quo which has existed since the children's birth and
continues to this date by granting shared custody of the children
to the Plaintiff and Defendant.
Respectfully submitted,
CQ.J1OLP a rod~
Carol A. Redding, Esquire --~(j
Counsel for the Plaintiff
Richard P. Mislitsky
REDDING LAW OFFICE
19 North Main Street
Chambersburg, Pennsylyania 17201
717-267-1440
Attorney No: 82041
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I verifY that the statements in this Petition 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:
IO-lq-OI
Richard P. Mislitski
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EXHIBIT "A"
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JUDITH KUNTZ-MISLITSKI,
Plaintiff7Petitioner
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
VS.
CIVIL ACTION - DIVORCE
RICHARD P. MISLITSKY,
Defendant/Respondent
NO. 2001-4676 CIVIL TERM
IN DIVORCE
DR# 31093
Pacses# 865103901
ORDER OF COURT
AND NOW, this 17th day of Octnber, 200 I, upon consideration ofthe attached Petition for
Alimony Pendente Lite andlor counsel fees, it is hereby directed that the parties and their respective counsel
appear before R.I. Shaddav on November 9. 2001 at 9:00 A.M. for a conference, at 13 N. Hanover St.,
Carlisle, P A 11013, after which the conference officer may recommend that an Order for Alimony
Pendente Lite be entered.
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YOU are further ordered to bring to the conference:
(I) a true copy of your most recent Federal Income Tax Return, including W-2's as filed
(2) your pay stubs for the preceding six (6) months
(3) the Income and Expense Statement attached to this order, completed as required by Rule
1910.IIiG
(4) verification of child care expenses
(5) proof of medical coverage which you may have, or may have available to you
IF you fail to appear for the conference or bring the required documents, the Court may issue a
warrant for your arrest.
BY THE COURT,
George E. Hoffer, President Judge
Mail copies on
10-17-01 to:
Petitioner
< Respondent
Kathleen Daley, Esquire
Carol Redding, Esquire
f}
Date of Order: October 17, 200 I
YOU HAVE THE RIGHT TO A LAWYER, WHO MAYA TEND THE CONFERENCE AND
REPRESENT YOU. 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 MAY GET
LEGAL HELP.
CUMBERLAND COUNTY BAR ASSOCIA nON
2 LIBBRTY AVE.
CARLISLE, PENNSYLVANIA 17013
(717) 249-3166
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IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
JUDITH KUNTZ-MISLITSKI,
Plaintiff
: Docket Number: OJ- '-tV]\, el;:';"{ '1.J-.o-
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: PACSES Case Number:
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RICHARD P. MISLITSKY,
Defendant
: Other State ID Number:
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ApDlication for Alimony Pendente Lite and Child Support Services
Name of applicant: Judith Kuntz-Mislitski
Social Security Number (SSN): 141-38-5347
Name of other party: Richard P. Mislitsky
I request alimony pendete lite and child support services from the Cumberland County
Domestic Relations Section, including medical insurance, and an allocation for non-reimbursed
medical expenses for both myself and my children.
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FOR OFFICE USE ONLY
Date received in DRS
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IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
JUDITH KUNTZ-MISLITSKI,
Plaintiff
: Docket Number:
: PACSES Case Number:
v.
RICHARD P. MISLITSKY,
Defendant
: Other State ill Number:
.
Complaint for Support
I.
17013.
Plaintiff resides at: 18 Liberty Court, Carlisle, Cumberland County, Pennsylvania,
Plaintiff's Social Security Number is 141-38-5347 and date of birth is August 23,1956.
2. Defendant resides at: 222 Pine Road, Mount Holly Springs, Cumberland County,
Pennsylvania, 17065.
Defendant's Social Security Number is 184-44-7198, and date of birth is March 11, 1953.
3. (a) Plaintiff and Defendant were married on September 4, 1983, in Colonia,
Middlesex County, New Jersey.
(b) Plaintiff and Defendant were separated on October 31, 200 I.
( c) Plaintiff and Defendant are in the process of divorcing, with Defendant having
filed a complaint in divorce on August 1, 2001, at Cumberland County Court of Common Pleas
docket number 01-4676 Civil.
4. Plaintiff and Defendant are the parents of the following children:
Name Birth Date Age Born of the Marriage
Kristen Brielle Mislitski May 25, 1985 16 years Yes
Residence: 18 Liberty Court, Carlisle, Cumberland County, Pennsylvania.
Alexa Ann Mislitski November 2, 1988 12 years Yes
Residence: 18 Liberty Court, Carlisle, Cumberland County, Pennsylvania.
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5. Plaintiff seeks child support and alimony pendente lite services for the following
persons: Judith Kuntz-Mislitski, Kristen Brielle Mislitski, and Alexa Ann Mislitski.
6.
(a)
Plaintiff IS NOT receiving public assistance
(b) Plaintiff is employed, full-time, with the Big Spring School District, as a
teacher. Her gross annual salary is approximately $30,000.00,
7. No prior support orders were entered against the Defendant in an action of support
for: Judith Kuntz-Mislitski, Kristen Brielle Mislitski, and/or Alexa Ann Mislitski.
8.
Plaintiff has received no direct support payments from the Defendant.
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WHEREFORE, Plaintiff requests that an order be entered against Defendant and in favor
of the Plaintiff and the aforementioned children for child support, alimony pendente lite, medical
coverage, and an allocation for non-reimbursed medical expenses.
I verifY that the statements made in this Complaint are true and correct. I understand that
false statements herein are made subject to penalties of 18 Pa.C.S. 94904, relating to unsworn
falsification to authorities.
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Richard P. Mislitsky,
Plaintiff
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY
PENNSYLVANIA
CIVIL ACTION - LAW
v.
CUSTODY/VISITATION
Judith Kuntz-Mislitski,
Defendant
NO.
CERTIFICATE OF SERVICE
I, Carol A. Redding, Esquire, hereby certifY that on October 22,2001, I served a true and
correct copy oftbe foregoing Complaint for Custody and Corresponding Orders, by first class
mail, postage pre-paid, and by facsimile (717-657-4996) on Counsel for Defendant, to the
following addresses:
Kathleen Carey Daley, Esquire
DALEY LAW OfFICES
1029 Scenery Drive
Harrisburg, Pennsylvania 17109
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Carol A. Redding, Esquire ~
Counsel for Plaintiff
Richard P. Mislitsky
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RICHARD MISLlTSKY,
PLAINTIFF
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
V.
JUDITH MISLlTSKI,
DEFENDANT
01-6033 CIVIL TERM
IN RE: CUSTODY
ORDER OF COURT
AND NOW, this -:l-Z- day of February, 2002, IT IS ORDERED:
(1) The temporary order of December 10,2001, IS VACATED.
(2) Richard Mislitsky and Judith Mislitski shall have shared legal custody of
Kristen Mislitski, born May 26, 1985, and Alexa Mislitski, born November 2, 1988.
(3) Richard Mislitsky and Judith Mislitski shall have shared physical custody of
Kristen and Alexa on an alternate week schedule, with a transfer each Sunday at 7:00
p.m.
(4) Each summer the parents shall arrange a three-week continuous period in
which the children are with each parent.
(5) The parents shall make special arrangements for school holidays with the
best interest of the children in mind.
Edgar B. Bayley, J.
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01-6033 CIVIL TERM
Carol Redding, Esquire
For Plaintiff
Kathleen C. Daley, Esquire
For Defendant
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RICHARD MISLlTSKY,
PLAINTIFF
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
V.
JUDITH MISLlTSKI,
DEFENDANT
01-6033 CIVIL TERM
IN RE: CUSTODY
OPINION AND ORDER OF COURT
Bayley, J., February 22,2002:--
Richard Mislitsky, age 48, and Judith Mislitski, age 46, are the parents of Kristen
Mislitski, age 16, born May 26, 1985, and Alexa Mislitski, age 13, born November 2,
1988. This is a first marriage for both parents. They separated at Thanksgiving 2001.
The mother moved to a two-bedroom condominium in Carlisle, Pennsylvania, about
three miles from the four bedroom marital house in Mt. Holly Springs, Pennsylvania,
where the father remained. Both homes are in the South Middleton School District
where Kristen is a junior in high school and Alexa is in seventh grade. The father, an
attorney for twenty-two years, is a solo practitioner in Carlisle. The mother is a high
school art teacher in the South Middleton School District. She did not work outside of
the home for five years after Alexa was born. She started substitute teaching four to
five years ago and has been a full-time teacher for three years. For the upcoming 2002
summer vacation period she plans to take at least one graduate course toward her
permanent teaching certification, weekdays from 8:00 a.m. to 3:00 p.m.
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01-6033 CIVIL TERM
On December 10, 2001, an interim order was entered following conciliation,
whereby the father had his daughters in alternate weeks, Thursdays from after school
to the following Tuesday morning, and Wednesday from after school to Thursday
morning. A custody hearing was scheduled for February 21, 2002. Shortly after
Christmas, the parents, for the convenience of themselves and the children, privately
altered the temporary schedule so that the father has the children for a continuous
period of six days out of every fourteen. The transfer day is a Thursday after school.
The custody hearing was conducted on February 21st.
These intelligent and able parents have raised two good, bright, sociable, well-
adjusted daughters. The mutual love between the children and their parents is
apparent. Both girls are in good health although Kristen suffers from some headaches.
After diagnostic tests, her physician believes that the primary problem is stress. The
frequency of the headaches had recently decreased. Both girls do well in school. Both
have chores in the homes of each parent. Both present no significant disciplinary
problems to either parent. Neither child perceives that they are having any serious
difficulties. Each parent acknowledges that the other is a good parent, although the
mother appears to have a more relaxed relationship with the girls. Both parents are
actively engaged in all aspects of their daughters' lives.
Kristen drives back and forth to her high school. Alexa either is driven to school
or uses a school bus. Both girls like athletics, and their father has coached some of
their teams. This spring both will be playing soccer. Their practices will be after school
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01-6033 CIVIL TERM
and last to approximately 5:30 p.m. When there is a game it will last to approximately
7:00 p.m.
The father seeks shared alternate week custody with transfers on Sunday,
although the current schedule is acceptable to him. The mother believes that ideally
she should have primary physical custody, with the father having the children on
alternate weekends and additional flexible times, although the current schedule is
acceptable to her with a change requested by the children. That change being on
school nights when they are now at the father's home, that they be allowed to return
late in the evening to their mother's home before going to school the next day. The
mother is willing to try this arrangement even though she does not believe it is ideal.
The father is opposed. The children expressed their desire in chambers. Kristen said:
A I think it's a hassle. ... I like spending time with my dad and
my mom, but I don't like to move every week. Like, that's the main
problem that I'm having because I have to move on - like, I have to move
every week. Like, my dad tried to say - like, tried to have the same stuff
in both houses but, like, I don't know, like - but I guess it's not possible for
me. You can't duplicate pictures and pictures frames. Well you can
duplicate pictures. You need to have one home base place, you know,
and I don't have that. I have two, my mom and my dad's house, and I
don't like that.
Q Would you rather have one?
A Yeah, I want to have one, like, I can keep all my stuff at and
I don't have to move as much. That's why I wanted this new plan.
.. .
Q What would you get by going back to the house at night and
then going to school the next day as far as not moving stuff? How are
you saying -
A I'll get ready and stuff at my mom's house and then, like, I
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01-6033 CIVIL TERM
will have to probably take a pair of shorts and soccer stuff and then "II just
go right to my dad's house so I don't have to pack anything, you know
what I mean.
Q And then at the end of the night go back to your mom's and
stay?
A Yeah.
Alexa said:
A Yes, I want to change it. It's okay, but I hate packing my
stuff up for, like, six days in a row and just, like, going there because I
don't really - it's not that bad but most of all, like, it confuses my friends
and everything, like, they don't know where I am when they want to find
me or something so it's kind of hard.
Q So it is the packing up and back and forth?
A Yeah.
Suffice it to say, both of these delightful girls are classic American teenagers.
A custody order must be in the best interests of the children, and is to be
premised upon consideration of all factors that legitimately affect the children's physical,
intellectual, moral and spiritual well-being. Alfred v. Braxton, 442 Pa. Super. 381
(1995). The preference of a child in a custody case, although not controlling, is a factor
to be considered as long as it is based on good reasons. EAL v. LJW, 662 A.2d 1109
(Pa. Super. 1995). In considering a preference, a child's maturity and intelligence must
be considered. Commonwealth ex rei. Pierce v. Pierce, 493 Pa. 292 (1981). In In
re: Wesley J.K., 299 Pa. Super. 504 (1982), the Superior Court of Pennsylvania, stated
that both parents must be fit and capable of making mature child-rearing decisions, they
must be willing to provide care and love for their children, they must express a desire
for the continued active involvement in their children's lives, that the children must
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01-6033 CIVIL TERM
recognize both parents as sources of love and security, and that a minimal degree of
cooperation between the parents is necessary in order to award shared custody.
All of the elements in support of a shared custody order are present in this case.
While shared custody presents some inconveniences for children, as any custody order
does, it provides a viable means of maintaining a strong, loving relationship with both
parents. Here, there are two good parents and two good daughters. There is stability
in both homes. The parents live three miles apart in the same school district. The
parents are capable of communicating with each other in the best interests of their
children,' and both have the best interests of their children at heart. The disruption to
the children arises in their going back and forth between their parents' homes, despite
the fact that the father has clothing for them in his home, and is exacerbated under the
current schedule in which the transfer day is a school day. It would be more seriously
exacerbated by their impractical solution to return to their mother's home, late on school
nights, when they are at their father's home. It makes much more sense to have the
transfer on a weekend with an alternate week schedule. This arrangement is in the
best interest of each child as it should provide more stability for them in the home of
each parent. For the foregoing reasons, the following order is entered.
1 Nonetheless, the father should take a heartfelt lesson from the testimony of his wife as
to how their communication is affected when she does not agree with him, or he does
not immediately get what he wants.
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01-6033 CIVIL TERM
ORDER OF COURT
AND NOW, this ~~ day of February, 2002, IT IS ORDERED:
(1) The temporary order of December 10, 2001, IS VACATED.
(2) Richard Mislitsky and Judith Mislitski shall have shared legal custody of
Kristen Mislitski, born May 26, 1985, and Alexa Mislitski, born November 2, 1988.
(3) Richard Mislitsky and Judith Mislitski shall have shared physical custody of
Kristen and Alexa on an alternate week schedule, with a transfer each Sunday at 7:00
p.m.
(4) Each summer the parents shall arrange a three-week continuous period in
which the children are with each parent.
(5) The parents shall make special arrangements for school holidays with the
best interest of the children in mind.
/
Edgar B. Bayley, J. .
Carol Redding, Esquire
For Plaintiff
Kathleen C. Daley, Esquire
For Defendant
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RICHARD MISLITSKY,
Plaintiff
: IN TIIE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
: NO. 01-6033 CIVIL TERM
JUDITH MISLITSKl,
Defendant
: CIVIL ACTION - LAW
: IN CUSTODY
PRAECIPE FOR ENTRY OF APPEARANCE
TO THE PROTHONOTARY:
Please enter the appearance of John J. Connelly, Jr., Esquire on behalf of the Defendant,
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Judith K\U1tz-Mislitski, in the above-captioned action.
Date: /()-/3'-IJ;J-.
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