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IN THE COURT OF COMMON PLEAS
OFCUMBERLAND COUNTY
STATE OF PENNA.
KRISTINA L. KLEINE kit?n •?y
Plaintiff I No. - 99_5007 CTVTT
VERSUS
CHRISTOPHER A. KLEINE
Defendant
DECREE IN
DIVORCE
AND NOW, JULY ?? 2001
, IT IS ORDERED AND
DECREED THAT KRISTINA L KLEINE PLAINTIFF,
AND_ CHRISTOPHER A. KLEINE , 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; '
NONE
BY
ATTEST: J
PROTHONOTARY
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KRISTINA L. KLEIN,
Plaintiff
VS.
CHRISTOPHER A. KLEINE,
Defendant
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
: 99-5007 CIVIL
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:
1. Ground for divorce: irretrievable breakdown under
§ 3301(c) of the Divorce Code.
2. Date and manner of service of the complaint:
August 25, 1999
3. (Complete either paragraph (a) or (b).)
(a) Date of execution of the affidavit of consent
required by § 3301(c) of the Divorce Code: by plaintiff
July 17, 2001; by defendant July 17, 2001.
(b) (1) Date of execution of the affidavit required by
§ 3301(d) of the Divorce code: ; (2) Date of
filing and service of the plaintiff's affidavit upon the
respondent
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:
(b) Date plaintiff's Waiver of Notice in § 3301(c)
Divorce was filed with the prothonotary: July 17, 2001.
Date defendant's Waiver of Notice in § 3X1(c) Divorce
was filed with the prothonotary: Jul 17 2001.
"Va
Att ne fo Plaintiff
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KRISTINA L. KLEINE, : IN THE COURT OF COMMON PLEAS
Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
VS. : 99-5)Dq CIVIL
CHRISTOPHER A. KLEINE, IN DIVORCE
Defendant
NOTICE TO DEFEND AND CLAIM RIGHTS
You have been sued in court. If you wish to defend against
the claims set forth in the following pages, you must take prompt
action. You are warned that if you fail to do so, the case may
proceed without you and a decree of divorce or annulment may be
' entered against you by the court. A judgment may also be entered
against you for any other 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.
j When the ground for the divorce is indignities or
irretrievable breakdown of the marriage, you may request marriage
counselling. A list of marriage counselors is available in the
office of the Prothonotary at Cumberland County Courthouse,
Carlisle, Pennsylvania.
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, PA 17013
(717) 249-3166
KRISTINA L. KLEINE,
Plaintiff
vs.
CHRISTOPHER A. KLEINE,
Defendant
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
99-5cr,,7 CIVIL
IN DIVORCE
COMPLAINT UNDER SECTION 3301(c) or 3301(d)
OF THE DIVORCE CODE
COUNT I - DIVORCE
1. Plaintiff is Kristina L. Kleine, who currently resides
at 24 West Main Street, Newville, Cumberland County, Pennsylvania
17241, since 1997.
2. Defendant is Christopher A. Kleine, who currently
resides at 25 South High Street, Newville, Cumberland County,
Pennsylvania 17241, since April, 1999.
3. Plaintiff and Defendant have been bona fide residents in
the Commonwealth for at least six months immediately previous to
the filing of this Complaint.
4. The Plaintiff and Defendant were married on June 9,
1990, in Falmouth, Massachusetts.
5. The parties separated in April, 1999.
6. There have been no prior actions of divorce or for
annulment between the parties.
7. The marriage is irretrievably broken.
8. Plaintiff has been advised of the availability of
marriage counselling and that the Plaintiff may have the right to
request that the court require the parties to participate in
counselling.
WHEREFORE, Plaintiff requests the Court to enter a decree of
divorce.
COUNT II - EQUITABLE DIVISION
9. During the course of the marriage, the parties have
acquired numerous items of property, real and personal, which are
held in joint names and in the individual names of each of the
parties hereto.
WHEREFORE, Plaintiff requests the Court, after requiring
full disclosure by the Defendant, to divide and distribute
equitably the property, both real and personal, owned by the
parties hereto as marital property.
COUNT III - ALIMONY
10. The Plaintiff lacks sufficient income to provide for
her reasonable needs in accordance with the standard of living of
the parties established during the marriage.
11. The Plaintiff is unable to support herself in
accordance with the standard of living of the parties during the
marriage through appropriate employment.
12. The Defendant is employed and enjoys a substantial
income from which he is able to contribute to the support and
maintenance and Plaintiff and to pay her alimony in accordance
with the Divorce Code of Pennsylvania.
WHEREFORE, Plaintiff requests the Court to enter an Order
awarding Plaintiff permanent alimony from the Defendant in such
amounts as are reasonable and adequate to support and maintain
Plaintiff in the station of life to which she has become
accustomed during the marriage.
COUNT IV - ALIMONY PENDENTE LITE
13. Plaintiff is without sufficient income to support and
maintain herself during the pendency of this action.
14. Defendant enjoys a substantial income and is well able
to contribute to the support and maintenance of the Plaintiff
during the course of this action.
WHEREFORE, Plaintiff requests the Court to order Defendant
to pay her reasonable alimony pendente lite during the course of
this action.
COUNT V - COUNSEL FEES AND EXPENSES
15. Plaintiff is without sufficient funds to retain counsel
to represent her in this matter.
16. Without competent counsel, Plaintiff cannot adequately
prosecute her claims against Defendant and cannot adequately
litigate her rights in this matter.
17. Defendant enjoys a substantial income and is well able
to bear the expense of this attorney and the expenses of this
litigation.
WHEREFORE, Plaintiff requests the Court to order the
Defendant to pay the legal fees and expenses incurred by
Plaintiff in the litigation of this action.
I verify that the statements made in this Complaint are true
and correct. I understand that false statements herein are made
subject to the penalties of 18 Pa. C.S. 54904, relating to
unsworn falsification to authorities.
Kriatistina L. . Klein Klein 4 Oc
Krie
DATE: August 18, 1999
By:
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upre Court I.D. #82585
Attorney for Plaintiff
35 East High Street, Suite 203
Carlisle, PA 17013
(717) 241-4311
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KRISTINA L. KLEINE, : IN THE COURT OF COMMON PLEAS
Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
VS.
99- sUO7 CIVIL
CHRISTOPHER A. KLEINE, IN DIVORCE
Defendant
AFFIDAVIT OF SERVICE
John J. Baranski, Jr., being duly sworn according to law,
deposes and says that he is the attorney for Plaintiff in the
above captioned divorce action; that on August 19, 1999, he
mailed a true and correct copy of the Complaint in Divorce, duly
endorsed with a Notice to Defend, to the Defendant, by certified
mail with restricted delivery, postage prepaid, return receipt
requested and evidenced by return receipt card No. Z 033 033 100
to Defendant's last known address; that on August 25, 1999,
Defendant did personally receive said Complaint in Divorce; that
attached hereto, made a part hereof and marked Exhibit "All is
return receipt card No. Z 033 033 100, with Defendant's signature
affixed thereon; and that the facts set forth in the within
Affidavit are true and correct to the best of his information and
belief. "7 ZJ
Attorney
Sworn to and subscribed before me
this 11?f"day of 1999Plaintiff
NuIMO ;i F!al
Harold S. Irwin III, Notary Public
Carlisle Bea, Cumbc,lancl County
My Commiceinn6"'. c^p1. 237002
Member P No,anes
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SENDER:
n a Qomplele Items t a a. and for edtlllional eeMcee.
• ComWete Items 31 H, and 40.
' • forms your name and address on the reverse of Ihls form eo that we can return this
card to yyoo.
a Aeech IMeuforth to the front of the mallplace, or on the back If space dogs not
pamm.
a Thee Wen FleceRece/pf Requested•
•The Return R on the mallplew below the adlde number.
ipt will show to whom the anlde was delivered and the data
0 delivered, 3. Article Addressed to
i Christopher A. Kleine
'25 South High Street
Newyille, PA 17241
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5. Recei ad By: (Print me
6. Signet e:'(Ad-dress`ee o,(lge )
°M PS Form 3811, December 7994
I also wish to receive the i
following services (for an
extra fee): ,
1.13 Addressee's Address
2.fj Restricted Delivery
Consult postmaster for fee. I
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KRISTINA L. KLEINE, : IN THE COURT OF COMMON PLEAS OF
Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
VS. : 99-5007 CIVIL
CHRISTOPHER A. KLEINE, IN DIVORCE
Defendant
AFFIDAVIT OF CONSENT
1. A Complaint in divorce under Section 3301(c) of the
Divorce Code was filed on August 18, 1999.
2. The marriage of plaintiff and defendant is irretrievably
broken and ninety days have elapsed from the date of filing and
service of the Complaint.
3. I consent to the entry of a final decree of divorce.
4. 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.
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.
DATE: July 17 , 2001
Kristina L. Kleine
Sworn to and subscribed before me
this J'7A day of July, 2001.
Y
NOTARIAL REAL
BONNIE L COYLE, NOTARY pUBLN:
BORO OF CARLNILE, CUMBERLAND COUNTY
MY COMMI4N)N VW 12 OCTOBER 17 2002
KRISTINA L. KLEINE,
Plaintiff
VS.
CHRISTOPHER A. KLEINE,
Defendant,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
99-5007 CIVIL
IN DIVORCE
WAIVER OF NOTICE OF INTENTION TO REQUEST
ENTRY OF A DIVORCE DECREE UNDER
§ 3301(c) OF THE DIVORCE CODE
1. I consent to the entry of a final decree of divorce
without notice.
2. I understand that I may lose rights concerning alimony,
division of property, lawyer's fees or expenses if I do not claim
them before a divorce is granted.
3. I understand that I will not be divorced until a divorce
decree is entered by the Court and that a copy of the decree will
be sent to me immediately after it is filed with the
prothonotary.
I verify that the statements made in this affidavit are true
and correct. I understand that false statements herein are made
subject to the penalties of 18 Pa.C.S. § 4904 relating to unsworn
falsification to authorities.
Date: `?? i OraO? 11-_4,i4fca'K 1 l Jy << o
Kristina L. Kleine
KRISTINA L. KLEINE,
Plaintiff
VS.
CHRISTOPHER A. KLEINE,
Defendant
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
: 99-5007 CIVIL
IN DIVORCE
AFFIDAVIT OF CONSENT
AND WAIVER OF MARRIAGE COUNSELLING
1. A Complaint in divorce under Section 3301(c) of the
Divorce Code was filed on August 18, 1999.
2. The marriage of the plaintiff and defendant is
irretrievably broken and ninety days have elapsed from the date
of filing and service of the Complaint.
3. I consent to the entry of a final decree of divorce.
4. I understand that I may lose rights concerning alimony,
division of property, lawyers fees or expenses if I do not claim
them before a divorce is granted.
5. 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 prior to a
divorce decree being handed down by the court.
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.
DATE: July /7, 2001
Christopher A. Kleine
Sworn to and subscribed before me
this 02 day of July, 2001.
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KRISTINA L. KLEINE,
Plaintiff
VS.
CHRISTOPHER A. KLEINE,
Defendant,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
99-5007 CIVIL
IN DIVORCE
WAIVER OF NOTICE OF INTENTION TO REQUEST
ENTRY OF A DIVORCE DECREE UNDER
§ 3301(c) OF THE DIVORCE CODE
1. I consent to the entry of a final decree of divorce
without notice.
2. I understand that I may lose rights concerning alimony,
division of property, lawyer's fees or expenses if I do not claim
them before a divorce is granted.
3. I understand that I will not be divorced until a divorce
decree is entered by the Court and that a copy of the decree will
be sent to me immediately after it is filed with the
prothonotary.
I verify that the statements made in this affidavit are true
and correct. I understand that false statements herein are made
subject to the penalties of 16 Pa.C.S. § 4904 relating to unsworn
falsification to authorities.
Date: o1/
Christopher L. Kleine
., ._ .
KRISTINA L. KLEINE, : IN THE COURT OF COMMON PLEAS
Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
VS. : 99- 5007 CIVIL
CHRISTOPHER A. KLEINE, IN DIVORCE
Defendant
PRAECIPE
The Plaintiff, Kristina L. Kleine, hereby withdraws her
Claims for Economic Relief set forth in Counts II through V of
the Divorce Complaint.
To: Curtis R. Long, Prothonotary
July 17, 2001
Attorney I.D. 193
35 East High Stre Suite 203
Carlisle, PA 17013
(717) 241-4311
Attorney for Plaintiff
AUG 2 3 1999
KRISTINA L. KLEINE, : IN THE COURT OF COMMON PLEAS
Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
VS. : 99- ,5jCo-T CIVIL
CHRISTOPHER A. KLEINE, IN DIVORCE
Defendant
ORDER OF COURT
AND NOW, this OTf4 day of August, 1999, upon Petition of
the Defendant, Kristina L. Kleine, and on motion of her attorney,
John J. Baranski, Jr., a hearing on the attached Petition for
Special Relief is scheduled to be held in Courtroom No. a , of
the Cumberland County Courthouse, Carlisle, Pennsylvania at
• 00 o'clock, . m. , on ?u tn.eAC? theL day
of 1 p ?m? lQ 19gj L.
By the Court,
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CC:
John J. Baranski, Jr., Esquire
Attorney for Plaintiff/Petitioner
Christopher A. Kleine
Defendant/Respondent
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KRISTINA L. KLEINE,
Plaintiff
VS.
CHRISTOPHER A. KLEINE,
Defendant
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
: 99- 5007 CIVIL
IN DIVORCE
PETITION FOR SPECIAL RELIEF
PURSUANT TO PA.R.C.P. 1020.43
AND NOW, comes the Petitioner, Kristina L. Kleine, by her
attorney, John J. Baranski, Jr., Esquire, and presents this
Petition for an Order of Exclusive Possession of the Marital
Residence and Return of Marital Property, as follows:
1. Petitioner is Kristina L. Kleine, an adult individual
residing at 24 West Main Street, Newville, Cumberland County
Pennsylvania, 17241.
2. Respondent is Christopher A. Kleine, an adult
individual residing at 25 South High Street, Newville, Cumberland
County, Pennsylvania 17241.
3. Petitioner filed an action in divorce to the above term
and number on August 18, 1999, requesting equitable distribution
of marital property and other economic relief.
4. The parties have three children, Dylan (age 7), Austin,
(age 3) and Michael (10 months) who reside with Petitioner at the
marital residence, a home owned by the parties. Petitioner is
paying the mortgage and all other expenses associated with the
household. Petitioner left the marital residence in April, 1999
and established a separate residence for himself above stated.
5. Respondent is currently voluntarily paying Petitioner
$600 a month in support for the parties minor children. A
support conference with a Domestic Relations Office conference
officer is scheduled for August 25, 1999.
6. Prior to the party's separation in April, Petitioner
was subject to a variety of verbal abuse by Respondent, said
verbal abuse consisting of yelling and screaming at Petitioner
and throwing items.
7. This abuse was often inflicted upon Petitioner in the
presence of the parties children. If the children remained in
the vicinity of Respondent during these episodes, he would re-
direct this verbal abuse towards the children.
e. Petitioner believed that if Respondent vacated the
marital residence, this verbal abuse would desist.
9. Although Respondent moved from the marital residence in
April, the verbal abuse of Petitioner and the children by
Respondent has continued to take place, escalating into an
incident where Respondent physically dragged Austin into the
house.
10. Various other incidents of verbal abuse towards the
Petitioner and the children have occurred throughout the party's
relationship and continue to take place during every time
Respondent comes into the marital home.
11. Petitioner is reasonably entitled to exclusive
possession of the marital residence to insure her peace and well-
being and the peace and well-being of the minor children in the
marital residence.
U
12. Visits between the Respondent and the children have
been occurring at the marital home. However, due to the problems
which have occurred, as aforesaid, Petitioner believes such
visits should occur at another location under the supervision of
some third party. Petitioner is willing to make such
arrangements, with the cooperation of the Respondent.
13. On two separate occasions since the parties separated,
the Respondent has entered the marital home and removed martial
property. Specifically, the Respondent has removed:
a) white book shelf
b) floor lamp
c) electric grill
d) rocking chair
e) VCR
f) roasting pan
g) numerous cups
h) wall shelf
i) phone table
j) aquarium
k) night stand
1) Onion bin
m) strawberry table
n) all but five of the family pictures
o) approximately 30 envelopes of pictures of the family
p) 2 suit cases
q) stereo speakers
r) blue table
B) shovel
t) numerous books
u) numerous picture frames
14. The above items account for more than half of the
marital household goods and furniture and include items
Respondent reasonably needs for the children.
15. On the most recent occasion that Respondent visited the
r,arital residence to remove the above items, he damaged the
marital residence. Specifically, Respondent broke the lock on
the kitchen door to gain entrance to the home and broke the barn
doors to gain entrance to barn.
WHEREFORE, Petitioner prays Your Honorable Court to order
and direct as follows:
a. That the Petitioner, Kristin L. Kleine, be granted
exclusive possession of the marital real estate located at
24 West Main Street, Newville, Cumberland County,
Pennsylvania pending completion of the divorce proceedings
or further Order of Court;
b. That the Respondent, Christopher A. Kleine, be
enjoined from entering onto the property at 24 West Main
Street, Newville, Cumberland County, Pennsylvnaia, except in
accordance with a further Order of Court.
C. That the Respondent, Christopher A. Kleine, be
ordered and directed to return in good condition to the
marital residence the items of marital tangible personal
property removed from him previously, and that he be
11 required to provide a full accounting of any items removed
from the marital residence which he now claims are no longer
in his possession.
d. That the Respondent, Christopher A. Kleine, be
enjoined from removing, concealing or dissipating any
marital assets of the parties.
e. That Your Honorable Court grant such other relief
as may be appropriate.
Date: August 23, 1999
JOHN J. BARANSKI, JR.
Da16 F. Shughart, Jr. Law Office
ID # 82585
Attorney for the Petitioner
35 East High Street, Suite 203
Carlisle, PA 17014
717) 243-6090
VERIFICATION
I, Kristina L. Kleine, Petitioner herein, verify that the
facts contained herein are true and correct to the best of my
knowledge. I understand that false statements herein are made
subject to the penalties of 18 Pa. C.S. Sectidn 4904 relating to
unsworn falsification to authorities.
/Xia(f is ? - ///" e(
ristina L. Kleine
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In the Court of Common Pleas of CUMBERLAND County, Pennsylvania
DOMESTIC RELATIONS SECTION
KRISTINA L. KLEINE ) Docket Number 99-5007 CIVIL
Plaintiff )
Vs. ) PACSES Case Number 911101414/9/9 6
CHRISTOPHER A. KLEINE )
Defendant ) Other State ID Number
rder
AND NOW to Wit, this SEPTEMBER 15, 1999 it is hereby Ordered
that:
THE ABOVE CAPTIONED PETITION FOR ALIMONY PENDENTE LITE IS DISMISSED, WITHOUT
PREJUDICE, PURSUANT TO THE PARTIES, INCOMES AND DEFENDANT'S CHILD SUPPORT
OBLIGATION UNDER DOCKET NUMBER 607 S 1999 AND PACSES C#083101301 FOR HIS
THREE CHILDREN.
BY THE
DRO; RJ Shadday
xc: petitioner
respondent
J. Baranski, Jr., Esq.
N. Hanft, Esq. Edward E. Guido
Form OE-001
Service Type M Worker ID 21005
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KRISTINA L. KLEINE, IN THE COURT OF COMMON PLEAS OF
Plaintiff/Petitioner CUMBERLAND COUNTY, PENNSYLVANIA
VS. CIVIL ?.CTION - DIVORCE
NO. 99 - 5007 CIVIL TERM
CHRISTOPHER A. KLEINE, IN DIVO'tCE
Defendant/Rcspondcnl DR# 2S,910
Pacses# :111111416
ORDER OF CUf 1RT
NOTICE OF RESCHEDULED CONFERENCE
AND NOW, this 25"' day of August. 1999, upon consideration of the Petition for Alimony
Pendente Litc and/or counsel fees. it is hereby dirccte(:'hst ,hc :Hynes and their respective counsel appear
before R.J. Shaddav on September IS. 1999 m 10$0 4 Df. :or : co iference.at 13 N. Hanover St..
Carlisle, PA 17013, af)cr which Ili: ccrference offices 'm) we wmtcnd that an Order for Alimony
Pendenic Lite be entered.
YOU arc further ordered to briny; to file co-l'(relicc.
(1) a true copy of your most recent Federal Intone iax Raurn, including W-2's as filed
(2) your pay stubs for the preceding six (G) wombs
(3) the Income and Expense Statement attached to this order, complded as required by Rule
1910.110
(4) verification of chiid care axpcnscs
(5) proof of medical coverage %%hich you mar hone. ,a may have available to you
IF you fail to appear for file conferase or bring 1L•c required documents, the Court may issue a
warrant for your arrest.
BY THE COURT,
C'corge E. Hoffer. President Judge
Mail copies on Petitioner
8-25-99 to: < Respondent
M. Hann. Esq.
1. Baranski. Esq. F `
Date of Order: August 25, 1999_/?(??_ %
F...L.hadday. Conference Officer
YOU HAVE THE RIGHT TO A LAWYER, WHC MA ATTEND THE CONFERENCE AND
REPRESENT YOU. IF YOU DO NOT HAVE A I.AVIYL: OR CANNOT AFFORD ONE, GO TO
OR TELEPHONE THE OFFICE SET FORTH BI'.LOW fC FIND OUT WHERE YOU MAY GET
LEGAL HELP.
CUMBERLAND COUN'! Y B %F r 3SOCIATION
2 LIBEP°Y AV'G.
CARi-ISLE. PENN?1'LVA:. A 17013
(717)2-9-iIor,
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