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HomeMy WebLinkAbout99-04444 (2)????, LISA A. HACHIGIAN, : IN THE COURT OF COMMON Plaintiff : PLEAS OF CUMBERLAND COUNTY : PENNSYLVANIA L V. a NO. 4S' -,yyyy C',v? KIRK J. HACHIGIAN, Defendant : CIVIL ACTION - LAW : IN DIVORCE NOTICE TO D F ND AND C AIM RIGHTS You have been sued in court. If you wish to defend against the claims set forth in the following pages, you must take prompt action. You are warned that if you fail to do so, the case may proceed without you and a decree of divorce or annulment may be entered against you by the court. A judgment may also be entered against you for any other 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 grounds for the divorce are indignities or irretrievable breakdown of the marriage, you may request marriage counseling. A list of marriage counselors is available in the Office of the Prothonotary at the Cumberland County Courthouse. 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 LAWYER REFERRAL SERVICE Cumberland County Bar Association 2 Liberty Avenue Carlisle, Pa 17013 (717)249-3166 LISA A. HACHIGIAN, : IN THE COURT OF COMMON Plaintiff : PLEAS OF CUMBERLAND COUNTY PENNSYLVANIA V. NO. 99. 9 y N &I-e li. KIRK J. HACHIGIAN, Defendant : CIVIL ACTION - LAW : IN DIVORCE COMPLAINT IN DIVORCE PURSUANT TO SECTION 3301(C) OR SECTION 3301(D) OF THE DIVORCE DECREE CODE AND NOW, comes the Plaintiff, Lisa A. Hachigian, by and through her attorney, Michael J. Pykosh, seeks to obtain a Decree in Divorce from the Bonds of matrimony with the above-named Defendant and in support avers the following: 1. Plaintiff, Lisa A. Hachigian, is an adult individual who currently resides at 22 Chestnut Street, Camp Hill, Cumberland County, Pennsylvania. The Plaintiff's social security number is 208-54-4260. 2. Defendant, Kirk J. Hachigian, is an adult individual who currently resides at 22 Chestnut Street, Camp Hill, Cumberland County, Pennsylvania. The Defendant's social security number is 370-58-6010. 3. Both Plaintiff and Defendant have been bonified residents of the Commonwealth of Pennsylvania for at least six (6) months immediately preceding the filing of this Complaint. 4. The parities were married on November 3, 1993 in Cumberland County, Commonwealth of Pennsylvania. 5. Plaintiff had previously filed a divorce action indexed at 95-1191 Cumberland County which is currently on the purge list for Cumberland County. 6. The Plaintiff and Defendant are both citizens of the United States of America. 7. The Plaintiff and Defendant are not members of the Armed Services of the United States or any of its allies. 8. Plaintiff has been advised of the availability of counseling and that she and the Defendant may have the right to request that the Court require the parties to participate in such counseling. 9. The parties may enter into a written agreement with regard to support, alimony and property division. In the event that such an agreement may be incorporated by the Court is not the Final Decree of Divorce. COUNTI 10. The prior paragraphs of this Complaint are incorporated herein by reference as though set forth in full. 11. The marriage of the parties is irretrievably broken. 12. After ninety (90) days have elapsed form the date of the filing of this Complaint, Plaintiff intends to file an affidavit consenting to a divorce. Plaintiff believes that the Defendant may also file such and affidavit. 13. Plaintiff has been advised of the availability of counseling and that she and the Defendant have the right to request the Court to require the parties to participate in such counseling. WHEREFORE, if both parties file affidavits to divorce after ninety (90) days have elapsed from filing of the Complaint, Plaintiff respectfully requests the Court to enter a Decree of Divorce, pursuant to 3301(C) of the Divorce Code. 14. The prior paragraphs of this Complaint are incorporated herein by reference as though set forth in full. 15. The Marriage of the parties is irretrievably broken. 16. After a period of two (2) years has elapsed form the date of separation, Plaintiff intends to file her affidavit of having lived separate and apart. 17. Plaintiff has been advised of the availability of counseling and the Plaintiff and Defendant have the right to request the Court to require parties to participate in such counseling. WHEREFORE, if two (2) years have elapsed form the date of separation and Plaintiff has filed its affidavit, Plaintiff respectfully requests the Court to enter a Decree of Divorce, pursuant to 3301(D) of the Divorce Code. 18. The prior paragraphs of this complaint in divorce are incorporate herein by reference as though set forth in full. 19. Plaintiff and Defendant have acquired various items of both real and personal marital property during their marriage which is subject to equitable distribution by this Court. WHEREFORE, Plaintiff respectfully requests this honorable court to equitably divide and distribute all property both real and personal, owned by both parties. Respectfully Submitted; LAW OFFICE OF DARRELL C. DETHLEFS By: NbchaerJ. Py sh Attorney I.D. 58851 P.O. Box 368 Camp Hill, Pa 17001 (717)975-9446 Attorney for Plaintiff LISA A. HACHIGIAN, Plaintiff/Respondent V. : IN THE COURT OF COMMON : PLEAS OF CUMBERLAND COUNTY : PENNSYLVANIA . NO. KIRK J. HACHIGIAN, Defendant/Respondent : CIVIL ACTION -LAW : IN DIVORCE I, Lisa A. Hachigian, the undersigned, do hereby verify that the statements made in the foregoing instrument are true and correct to the best of my knowledge, information and belief. I understand that statements herein are ade subject to the penalties of 18Pa.C.S. Section 4904, relating to unworn ;;°alsi ca on to authorities. A. Date: C14; 11 ?? q?j f ?1 1 11 1` 1.- LISA A. HACHIGIAN, Plaintiff/Petitioner V. KIRK J. HACHIGIAN, Defendant/Respondent - ? s-J : IN THE COURT OF COMMON : PLEAS OF CUMBERLAND COUNTY : PENNSYLVANIA NO. ya-x-444 : CIVIL ACTION -LAW : IN DIVORCE AND NOW, to wit, this '1166 day of 1999, after due consideration of the foregoing Petition of Lisa A. Hachigian and on Motion of Michael J. Pykosh, Esquire, attorney for Petitioner, a Rule is granted upon Kirk J. Hachigian, the Respondent above named, to show cause why the relief requested by the Petitioner in the foregoing Petition, should not be granted. Rule returnable and hearing to held on the Za "day of 1999, in Courtroom # _S10- at ?: 30 o'clock A.m. BY THE COURT ?O?ivA2Gt' t . ?Gu'o`O/ J. F LISA A. HACHIGIAN, : IN THE COURT OF COMMON Plaintiff/Respondent : PLEAS OF CUMBERLAND COUNTY : PENNSYLVANIA V. NO. KIRK J. HACHIGIAN, Defendant/Respondent : CIVIL ACTION -LAW : IN DIVORCE ORDER OF COURT AND NOW, this _ day of 1999, upon consideration of the attached Petition of Lisa A. Hachigian, it is hereby Ordered that Petitioner, Lisa A. Hachigian is awarded Exclusive Occupancy of the Marital Residence located at 22 Chestnut Street, Camp Hill, Cumberland County, Pennsylvania, 17011. Furthermore, Respondent, Kirk J. Hachigian is hereby Ordered to leave the aforementioned residence and is enjoined from entering therein again without the consent of Petitioner. BY THE COURT, J. LISA A. HACHIGIAN, Plaintiff/Respondent V. KIRK J. HACHIGIAN, Defendant/Respondent : IN THE COURT OF COMMON : PLEAS OF CUMBERLAND COUNTY : PENNSYLVANIA . NO. CIVIL ACTION - LAW IN DIVORCE TO THE HONORABLE, THE JUDGES OF THE SAID COURT: The Petition of Lisa A. Hachigian, respectfully represents that: 1. Petitioner, Lisa A. Hachigian, is an adult individual who resides at 22 Chestnut Street, Camp Hill, Cumberland County, Pennsylvania, 17011. 2. Respondent, Kirk J. Hachigian, is an adult individual who resides at 22 Chestnut Street, Camp Hill, Cumberland County, Pennsylvania, 17011. 3. Petitioner and Respondent are Husband and Wife having been married on November 5, 1993. 4. On or about July 19, 1999, Petitioner instituted above captioned divorce action. 5. The parties share the marital premises at 22 Chestnut Street, Camp Hill, Cumberland County, Pennsylvania, 17011 with their minor children, Alexandra C. Hachigian, born December 4, 1993 and Joseph R. Hachigian, bom September 30, 1997. 6. Respondent has subjected Petitioner to numerous actions of mental cruelty including various threats and the theft and illegal sale of non-marital property belonging to the Petitioner and Petitioner's children. unemployed. Petitioner avers that Respondent has a drug problem and is currently 8. Respondent's drug use creates an unsound and unsafe environment for said children. 9. Petitioner is without the financial resources to move with the children to another location as she will still remain responsible for the rental payments for the marital residence and that she has no funds to use as a security deposit. 10. Respondent continually engages in mentally abusive conduct by demanding money from Petitioner and depleting her financial resources to satisfy his need for illegal drugs. 11. Despite numerous requests by Petitioner to Respondent that he cease engaging in above mentioned conduct and/or withdrawal from the marital residence, Respondent has refused to do so. WHEREFORE, Petitioner respectfully requests this Honorable Court to enter an Order awarding exclusive occupancy of the marital residence to Petitioner and denying Respondent access to the home. Respectfully Submitted LAW OFFICE OF DARRELL C. DETHLEFS By: Michael J. k Attorney I.D. 58851 P.O. Box 368 Camp Hill, Pa 17001-0368 (717)975-9446 Attorney for Petitioner Date: LISA A. HACHIGIAN, Plaintiff/Respondent V. KIRK J. HACHIGIAN, Defendant/Respondent : IN THE COURT OF COMMON : PLEAS OF CUMBERLAND COUNTY PENNSYLVANIA . NO. : CIVIL ACTION -LAW : IN DIVORCE I, Lisa A. Hachigian, the undersigned, do hereby verify that the statements made in the foregoing instrument are true and correct to the best of my knowledge, information and belief. I understand that statements herein are made subject to the penalties of 18Pa.C.S. Section 4904, relating to unswom fats' -c tion to authorities. Date: y ? U ? CJ G °D J LISA A. HACHIGIAN, : IN THE COURT OF COMMON Plaintiff : PLEAS OF CUMBERLAND COUNTY : PENNSYLVANIA NO. 99 - y y?l,kl C, C, KIRK J. HACHIGIAN, Defendant : CIVIL ACTION - LAW : IN DIVORCE CERTIFICATE OF CFRV* 1, Michael J. Pykosh, certify that a true and correct copy of the divorce complaint filed in this matter was served upon Defendant, Kirk J. Hachigian, on August 2, 1999, via U.S. Mail certified return receipt. The green card (return receipt) is attached herejo. Michael J. Pykosh Attomey 1.D. 5885 P.O. Box 368 3805 Market Street Camp Hill, Pa 17001-0368 (717)975-9446 Date: 81-6-99 u SENDER: I also wish to receive the • Complete Items 1 e for atleilional services. n • Complete items 3. a, and ab. extra following (for an 4 • Print your name e and address on the reverse of this loan so that we can return this C%tf8 fee): L wNtoyou. ? • Attach this loan to the front of the moilpiece, or on the back it space goes not 1. ? Addressee's Address ppermi i! • wetst.Wen Receipt wnemailple iveeaeliclenaec 2.0 Restricted Delivery • The Return Receipt will ll s how how 10 to whIrn whom the ankle was was delivered and the e date 3 Arlicl e e. Consult postmaster for fee. g . rtrt?icl?e Addressed to: 4a. Article Number diYt • ?^+???. 4b. Servl?Type 54/ 27 C&sq? ?t ? /• ? Registered 'Certified f???i? Express Mall ? Insured f t217tPf///?? l /701/ Aetnr ,,poor andise ? COD r. Dal Ql Ivery s 5. Received Ely: (Print Name) 8. A as" ddress O y it requested y ,an (?d) a 6. Signature: ddressee or Agent) I?S a X v ` ?bW3d? PS Form 3 1. D mbar 14-94 muses aaF 2n rlnmeetir, Retu.n 5e,- ..r ' ? r• -.. - i ?.? ?. :( .__ -? ' ? G -? c •..u r:?. AS OF o 5 0 CASE#. 99ow yy.4? HAS BEEN SCANNED. ALL EARLIER FILINGS TO THIS CASE HAVE BEEN MICROFILMED. 49- y44,1 IN THE COURT OF COMKON PLEAS OF CUMBERLAND COUNTY DOMESTIC RELATIONS SECTION COMMONWEALTH OF PENNSYLVANIA 9TH JUDICIAL DISTRICT LISA A. HACHIGIAN (PLAINTIFF) V. KIRK J. HACHIGIAN (DEFENDENT) DOCKET NUMBER 00240 S 1999 PACSES CASE NUMBER 871100888 OTHER STATE ID NUMBER 1126793 MOTION FOR RE-HEARING OF PURGE CONDITIONS TO THE HONORABLE, JUDGES OF THE SAID COURT: AND COMES, the Defendent, Kirk J. Hachigian, pro se, respectfully avers as the following: 1. Your Petitioner avers that on April 5, 2006, Domestic Releations Officer, Jennifer L. Gibboney, filed a request for Bench Warrant and Supporting Affidavit, claiming that the Petitioner received an order of court scheduling a Conference Hearing. (SEE ATTACHMENT) 2. The above said Court, per Honorable Edward Guido, ranted this Bench Warrant be issued on April 5, 2006. (SEE ATTACHMENT) 3. Your Petitioner was arrested on August 5, 2006, for this out-standing Bench Warrant. 4. Your Petitioner was before the Honorable Kevin A. Hess, August 7, 2006, to answer to this said Bench Warrant. At that time the Court imposed a purge in the amount of $1,000.00, (one thousand dollars), or 6, (six), months incarceration in the Cumberland County Prison, whichever comes first. 5. You Petitioner was before the Honorable Edward Guido, August 10, 2006, whom finalized the sentence imposed August 7, 2006, ammending order allowing Petitioner to participate in the Cumberland County Prison work-release program. 6. Your Petitioner avers that the order dated August 11, 2006, states "From the salary obtained, the deductions shall be for basic prison expenses and nor- mal expenses associated with the Defendent's employment. The remaining being credited towards the support obligations and a resolution of the contempt pritition. 7. Your Petitioner does not argue, disagree, or opose to this order of court, dated August 11, 2006. 8. Your Petitioner does opose to how the Cumberland County Prison work- release is disbursing his salary obtained. 9. Your Petitioner avers that the Cumberland County Prison work-release is not disbursing his salary as ordered by the above said Court. 10. Your Petitioner avers that in accordance to received receipts from the Cumberland County Prison work-release, since the date of the order of court, dated August 11, 2006, only the sum of $23.62, (twenty-three dollars and sixty-two), has been forwarded to the Cumberland County Domestic Relations Office towards the purge amount owed. (SEE ATTACHMENT) 11. Your Petitioner avers that on September 7, 2006, the Cumberland County Prison work-release forwarded a sum in the amount of $118.15, (one hundred eighteen dollars and fifteen), to the Cumberland County Courthouse, Clerk Of Courts Office, which was credited towards fines and cost owed to this county, and that nothing was forwarded towards his purge amount. 12. Title 61, Chapter25, § 2143, Disbursement, Wages, Absence from jail for Occupational and other purpose states the following: By order of the Court, the wages and salaries of employed prisonors shall be disbursed for the following purposes in the order stated: (A) The board of the prisonor, (B) Nesscary travel expenses to and from work and other incidential expenses of the prisonor, (C) Support of the prisonor's dependents, if any, the amount to be determined by the Courts. (D) Payment of docket cost connected to commitment. 13. Your Petitioner avers that do to the disbursement of his wages he will be unable to pay the requested purge within the 6, (six), months incarceration which was imposed. 14. In accordance to Barrett v. Barrett, 470 Pa. at 265, 368 A.2d 622, states "The Commonwealth must set conditions for a purge in such a way that contempnor has the present ability to pay. WHEREFORE, Your Petitioner respectfully request this Court to re-hear this case and set a Purge that is a reasonable amount and that can be made prior to his imposed incarceration and fix the discrimptence with the Cumberland County Prison work-release program ordering the remaining salary be forward to the Cumberland County Domestic Realtions Office. Respectfully submitted, Date: OCTOBER 2, 2006 c r . Hac igian o se CUMBERLAND COUNTY PRISON 1101 CLAREMONT ROAD CARLISLE, PA 17013 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY DOMESTIC RELATIONS SECTION COMMPNWEALTH OF PENNSYLVANIA 9TH JUDICIAL DISTRICT LISA A. HACHIGIAN , (PLAINTIFF) , V. , KIRK J. HACHIGIAN (DEFENDENT) DOCKET CASE NUMBER 00240 S 1999 PACSES CASE NUMBER 871100888 OTHER STATE ID NUMBER 1126793 VERIFICATION I HEREBY VERIFY that the statements made in the foregoing petition are true and correct to the best of my knowledge or information and behalf. I under- stand that a false statement made herein are subject to the penalties of 18 Pa. C.S.A. : 4904, relating to unsworn falsification to authorities. Date: OCTOBER 2, 2006 Z. /'/' ? f irk J. achi ian, pr se Cumberland County Prison 1101 Claremont Road Carlisle, Pa 17103 IN THE COURT OF COMMON PLEAS OF CDM]BERLAND COUNTY DOMESTIC RELATIONS SECTION COMKONWEALTH OF PENNSYLVANIA 9TH JUDICIAL DISTRICT LISA A. HACHIGIAN (PLAINTIFF) V. KIRK J. HACHIGIAN (DEFENDENT) DOCKET CASE NUMBER 00240 2 1999 PACSES CASE NUMBER 871100888 OTHER STATE ID NUMBER 1126793 CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of this notice of intention and the attached motion were sent by first class and logged as institutional mail and served on the following: Service by the delivery to prison officals addressed as follows: Office Of The Clerk Of Courts office (717) 240-6250 Cumberland County 1 Courthouse Square Carlisle, Pa 17013 Office Of The Domestic Relatios Section (717) 240-6225 Cumberland County Jennifer L. Gibboney 1 Courthouse Square 13 N. Hanover Street Carlisle, Pa 17013 Cumberland County Courthouse Honorable Edward Guido (717) 240-6290 1 Courthouse Square Carlisle, Pa 17013 Date: OCTOBER 2. 2006 irk J. achigian, pro e Cumberland County Prison 1101 Claremont Road Carlisle, Pa 17013 Under 18 Pa.C.S. § 4909 (unsworn falsification to authorities), a knowingly false certificate of service constitudes a misdemeanor of the second degree. In the Court of Common Pleas of CUMBERLAND County, Pennsylvania DOMESTIC RELATIONS SECTION LISA A. HACHIGIAN ) Docket Number 00240 S 1999 Plaintiff ) vs. ) PACSES Case Number 871100888 KIRK J. HACHIGIAN ) Defendant ) Other State ID Number Request for Bench Warrant and Supporting Affidavit 1. KIRK HACHIGIAN did not appear for a conference and/or hearing on which was scheduled by an Order of Court compelling this person's appearance, a copy of which is attached to this application. 2. The party received the Order of Court scheduling the conference and/or hearing in the following manner: ® (a) The Order of Court was served upon the party by ordinary mail with the return address of the court thereon; the mail was not returned to the court within fifteen (15) days after mailing; and at a date after the Order of Court was mailed; the United States Postal Service has verified that mail for the party was being delivered at the address to which the court order was mailed. O (b) The party signed a receipt indicating acceptance of the court order. Q (c) An employee of the court handed a copy of the court order to the party. The employee's affidavit of service is attached. Q (d) A competent adult who is not a party to this action handed a copy -of the court order to the party. The adult's affidavit of service is attached. 3. ® This request for Bench Warrant is made within sixty (60) days following the party's failure to appear for the conference and/or hearing; and ? I have reviewed the records of the Court and the Domestic Relations Section concerning this case, and attest that the party has not appeared for any domestic relations matter involving the same parties since the date upon which the party failed to appear in violation of the attached Order of Court. Form EN-046 v1 Service Type M Worker ID 21208 HACHIGIAN V. HACHIGIAN PACSES Case Number: 871100888 6: - 4. In my capacity as hearing officer or conference officer, I request that the attached Bench Warrant be issued against the party named on account of the party's failure to appear for a schedule conference and/or hearing in violation of an Order of Court. 5. I recommend that bail in this matter be set as follows: Q No bail ® Bail to be set in the amount of $ 7, 244.64 0 Bail to be determined by the magisterial district judge. The records of the Domestic Relations Section show that: ® the party owes arrearages in the amount of $ 7, 244.64 ? the party has failed to appear for hearings relating to this case. I verify that the statements made in this affidavit are true and correct. I understand that false statements herein are made subject to the penalties of 18 Pa. C.S. § 4904 relating to unsworn falsification to authorities. APR 0 15-'M Date Narne/o is it (( n Page 2 of 2 Form EN-046 vi Service Type M Worker ID 21208 In the Court of Common Pleas of CUMBERLAND County, Pennsylvania DOMESTIC RELATIONS SECTION LISA A. HACHIGIAN ) Docket Number 00240 S 1999 Plaintiff ) vs. } PACSES Case Number 871100888 KIRK J. HACHIGIAN ) Defendant ) Other State ID Number BENCH WARRANT - DEFENDANT AND NOW, this 5TH DAY OF APRIL, 2006 the Sheriff of CUMBERLAND County, or any constable, or police officer, or other law enforcement officer is hereby ordered to take KIRK j. HACHIGIAN residing at 706 HIGHLAND ST, STEELTON, PA. 17113-1529-06 into custody for appearance before this Court. This Bench Warrant is issued because it appears that KIRK J. HACHIGIAN has failed to appear, after notice, before the Court for a scheduled conference and/or hearing. We command you, the arresting officer, forthwith to convey and deliver the party into the custody of the Court of Common Pleas of CUMBERLAND County, at CUMBERLAND COUNTY COURTHOUSE 1 COURTHOUSE SQUARE CARLISLE PA 17013 for a hearing. Descriptive Information Name: KIRK J. HACHIGIAN Race: W SSN: 370-58-6010 Eyes: Hz Sex: M Hair: BN DOB: 12/10/61 Distinguishing features (scars, tattoos, facial hair, etc.): Age: 44 years Height: 5 ft 11 inches Weight: 1 s o lbs Alias: Telephone: (717) 939-4348 Last Known Employer: ?01 16 '' v:; hirq ?w VALK MANUFACTURING COMPANY ' Of S O ? 04 ? gig pol PO BOX 428 NEW KINGSTOWN PA 17072-04 Service Type M?. Form EN-048 vl Worker ID 21208 HACHIGIAN V. HACHIGIAN PACSES Case dumber: 871100888 Descriptive Information - Continued Places Frequented: You are further commanded that if the Court is unavailable, the party may be held in the County Jail until the Court is opened for business, at which time the party shall be promptly conveyed and delivered into the custody of the Court at: CUMBERLAND COUNTY COURTHOUSE 1 COURTHOUSE SQUARE CARLISLE PA 17013 for a hearing. The authority in charge of the County Jail shall notify the Sheriff's Office and the Director of the Domestic Relations Section forthwith that the party is being held pursuant to the Bench Warrant. Under no circumstances may the party be held in the county jail for more than seventy-two hours prior to hearing. Bail in this matter shall be set as follows: ? No bail Stipulations - ® Bail to be set in the amount of $7,244.64 ? Bail to be determined by the magisterial district judge. BY THE CO YPi APR 0 Date JUDGE Served by: Date and Time Served: Type of Service: Warrant Number: Page 2 of 2 Form EN-048 vi Service Type M Worker ID 21208 AUG-11-06 09:10 FROM-Cumberland County Domestic Relations +17172406246 T-733 P.001/001 F-557 In the Court of Common Pleas of CUMBERLAND County, Pennsylvania DWESTIC RMATIONS SECTION LISA A. HACHICIAN ) Docket Number 00240 S 1999 Plaintiff } VS. ) PACSES Case Number KIRK J. HACAZOIAN ) =o Defendant ) Other State III Number, rn AND NOW, this KIRK J. HACHTGTAN 3E PROG > r?rn -r a .. Cn it is Ordered and Decreed that shall be eligible to participate in the Work Release Program sponsored by the CvMET.AM County Prison immediately whenever a slot and job within that program is available and it is approved by the Domestic Relations Section. No slier Order of Court shall bL necessary for this part-icipadon. In the event that the Defendant obtains employment through the Work Release Program, the Court hereby issues an income attachment against the Defendant's earnings. From the salary obtained, the deductions shall be for basic prison expenses and normal expenses associated with Defendant's employment, with the remainder being credited toward support obligations and a resolution of the Contempt Petition, All rules and regulations of the Work Release Program and the Prison shall apply. 11TH DAY of AUGUST, 2006 BY THE COURT: atJUDGE Date Form EN-022 Service Type M Worker ID 21101