HomeMy WebLinkAbout01-6043
FRANK S, GUERRIERO, II,
Plaintiff
v.
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
: NO.O 1- w43 CIVIL TERM
CIVIL ACTION - LAW
SUSAN DIANE GUERRIERO,
Defendant
IN DIVORCE
NOTICE
You have been sued in court. If you wish to defend against the claims set forth in the
following pages, you must take prompt action, You are warned that if you fail to do so, the case
may proceed without you and a decree 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 ground for divorce is indignities or irretrievable breakdown of the marriage,
you may request that the court require you and your spouse to attend marriage counseling prior
to a divorce decree being handed down by the court. A list of marriage counselors is available in
the Office of the Prothonotary at the Cumberland County Court House, Carlisle. You are
advised that this list is kept as a convenience to you and you are not bound to choose a counselor
from the list. All necessary arrangements and the cost of counseling sessions are to be borne by
you and your spouse,
IF YOU DO NOT FILE A CLAIM FOR ALIMONY, DIVISION OF PROPERTY,
LA WYER'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 WHERE YOU CAN GET LEGAL HELP.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, Pennsylvania 17013
(717) 249-3166
Date: October (7 ,2001
SNELBAKER, BRENNEMAN & SPARE, P. C.
BY:~'
Att eys Plai~iff
LAW OFFICES
SNELBAKER.
BRENNEMAN
Be SPARE
FRANK S, GUERRIERO, II
Plaintiff
v.
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYL VANIA
NO. 0\. (,,()\f~ CIVIL TERM
CIVIL ACTION - LAW
SUSAN DIANE GUERRIERO,
Defendant
IN DIVORCE
COMPLAINT IN DIVORCE
COUNT I - DIVORCE
I. Plaintiff FRANK S. GUERRIERO, II is an adult individual residing at 295 Ore Bank
Road, DiIlsburg, Pennsylvania 17019.
2. Defendant SUSAN DIANE GUERRIERO is an adult individual residing at 1095
Cocklin Street, Mechanicsburg, Pennsylvania 17055.
3. Both the Plaintiff and the Defendant have been bona fide residents of the
Commonwealth of Pennsylvania for at least six (6) months immediately previous to the filing
of this Complaint.
4. The Plaintiff and Defendant were lawfully joined in marriage on December 13, 1997
in Cumberland County, Pennsylvania.
5. There have been no prior actions of divorce or for annulment between the parties
hereto in this or any other jurisdiction since the date of the marriage averred in Paragraph
4, above.
LAW OFFICES
SNELBAKER.
BRENNEMAN
8: SPARE
6, Neither party is a member of the armed forces of the United States of America.
7, The marriage is irretrievably broken.
LAW OFFICES
SNEL8AKER.
BRENNEMAN
8: SPARE
8. The Plaintiff has been advised that counseling is available and that Plaintiff may have
the right to request that the Court require the parties to participate in counseling,
9. The Plaintiffrequests this Court to enter a decree of divorce,
WHEREFORE, Frank S. Guerriero, II requests this Court to enter a Decree of Divorce,
divorcing the Plaintiff from the bonds of matrimony heretofore existing between the Plaintiff
and Defendant.
SNELBAKER, BRENNEMAN & SPARE, P,C.
By: C;:~
Philip H. pare, Es ire
44 West Main Street
Mechanicsburg, PA 17055-0318
(717) 697-8528
Attorneys for Plaintiff
Frank S. Guerriero, II
Date: October l'l ' 200 I
LAW OFFICES
SNEL8AKER.
BRENNEMAN
8: SPARE
VERIFICATION
I verify that the statements made in the foregoing Complaint are true and correct. I
understand that false statements herein are made subject to the penalties of 18 Pa, C,S, g4904
relating to unsworn falsification to authorities.
Date: October /0' ,2001.
FRANK S. GUERRIERO, II
Plaintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
v,
: NO. CIVIL TERM
CIVIL ACTION - LAW
SUSAN DIANE GUERRIERO,
Defendant
IN DIVORCE
AFFIDAVIT
FRANK S. GUERRIERO, II, being duly sworn according to law, deposes and says:
I, I have been advised of the availability of marriage counseling and understand that I
may request that the court require that my spouse and I participate in counseling,
2. I understand that the court maintains a list of marriage counselors in the Office of the
Prothonotary, which list is available to me upon request.
3. Being so advised, I do NOT request that the court require my spouse and I participate
in counseling prior to a divorce decree being handed down by the court,
I understand that false statements herein are made subject to the penalties of 18 Pa, C. S,
S 4904 relating to unsworn falsification to authorities.
LAW OFFICES
SNELBAKER.
BRENNEMAN
& SPARE
Guerriero, II
(Plaintiff)
Date: October
12>
,2001
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FRANK S, GUERRIERO, II
Plaintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYL VANIA
v.
: NO. 2001-6043 CIVIL TERM
CIVIL ACTION - LAW
SUSAN DIANE GUERRIERO,
Defendant
IN DIVORCE
AFFIDAVIT OF SERVICE
COMMONWEALTH OF PENNSYLVANIA)
SS.
COUNTY OF CUMBERLAND
)
Philip H. Spare, Esquire, being duly sworn according to law deposes and says: that he is
a principal in the law firm of Snelbaker, Brenneman & Spare, p, C" being the attorneys for Frank
S. Guerriero, II, Plaintiff in the above captioned action in divorce; that on October 23,2001, he
did send to Defendant Susan D, Guerriero by certified mail, return receipt requested, restricted
delivery, a duly certified copy of the Complaint in Divorce which was filed in the above
captioned action as evidenced by the attached cover letter of the same date and Receipt for
Certified Mail No. 7000 1670000850472537; that both the Complaint and cover letter were
duly received by Susan D, Guerriero, the Defendant herein, as evidenced by the return receipt
card for said certified mail dated October 24,2001; that a copy of the aforementioned cover
letter dated October 23,2001 is attached hereto and incorporated by reference herein as "Exhibit
A" and that the original Receipt for Certified Mail and the Domestic Return Receipt are attached
LAW OFFICES
SNEL8AKER.
BRENNEMAN
8: SPARE
LAW OFFICES
SNEL8AKER.
BRENNEMAN
& SPARE
hereto and incorporated by reference herein as "Exhibit B"; and that the foregoing facts are true
and correct to the best of his knowledge, information and belief.
~~
Sworn to and subscribed before me
this 8th day of November, 200 I.
_lu4--t~
Notary Publi
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My . ExpIl8e Nov. :N. 2003
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Postage
Certified Fee
110 Return Receipt Fee
C (Endorsement Required)
C Restricted Delivery Fee
C (Endorsement ReqUired)
.57
2.10
1.50
3.20
7.37
Total Postage & Fees $
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~ Sent To
Susan Guerriero
CI .Sfreet:-;;p-CNo.;-oi--P6-S0;"No.---------.-------------------------h---______
g -c.nsm".""""l.~~~m~()_c:i<,l.i,ll,,~,1;J::g_""~"""""mm n,
,.... ity, "", ZIP'Mechanicsburg, PA 17055 -
· Completa nems 1, 2, and 3, Also complete
Ilern 4 If Restricted Oellvary Is desired,
· Print your name and addrasa on the reverse
10 that wa can return the card 10 you.
. Ntach this card to Ihe back of the mall piece,
ar on thdlfront W space pennllB.
1. ArtIcle Addressed to:
.
Susan Guerriero
1095 Cocklin Street
Mechanicsburg, PA 17055
2, Arl!cle Number (Copy from sarvIce /sbeQ
LAW OFFICES
SNELBAKER.
BRENNEMAN
& SPARE
+
, 0 Agont
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7000 1670 0008 5047 2537
1025IlS-00-M..{)952
PS Form 3811, July 111II
00m00tIc Rotum A~
EXHIBIT B
SNELBAKER, BRENNEMAN 8 SPARE
^ PROFE5510NAL CORPORATION
ATTORNEYS AT LAW
44 WEST MAIN STREET
MECHANICSBURG, PENNSYLVANIA 17055
RICHARD C. SNELBAKER
KErn; O. BR.ENN~
PHILIP H. SPARE
717-697-8528
P. O. BOX 318
FACSIMILE (717) 697-7681
October 23,2001
Susan D. Guerriero
1095 Cocklin Street
Mechanicsburg, PA 17055
VIA CERTIFIED MAIL NO: 7000 1670000850472537
RETURN RECEIPT REQUESTED
RESTRICTED DELIVERY
Re: Divorce Action
No: 01-6043 Civil Term
Court of Common Pleas of Cumberland County, Pennsylvania
Dear Ms. Guerriero:
Enclosed for service upon you is a certified, true and correct copy of the
Complaint in Divorce filed this date in the above referenced matter. Our firm
represents Frank. He is interested in moving this matter forward on an
amicable basis. You should discuss your legal rights with an attomey and
have him or her contact me as soon as possible. In the event you elect not to
retain an attorney, you may contact me directly.
Very truly yours,
Philip H. Spare
PHS:jjc
Enclosure
cc: Frank S. Guerriero, II (w/enclosure)
EXHlIl13IT A
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POST-NUPTIAL AGREEMENT
THIS AGREEMENT made and entered into this e.~ay of ~"U'~ I ' 2002 by and
between:
FRANK S. GUERRIERO, II of 295 Ore Bank Road, Dillsburg,
York County, Pennsylvania, and a mailing address of PO Box
462, Dillsburg, Pennsylvania, party of the fIrst part, hereinafter
called "Husband",
AND
SUSAN DIANE GUERRIERO of 1095 Cocklin Street, Mechanicsburg,
Cwnberland County, Pennsylvania, party of the second part, hereinafter called
"Wife";
WIlNESSETH:
WHEREAS, Husband and Wife were married to each other on December 13,1997 in
Cwnberland County, Pennsylvania; and
WHEREAS, during their marriage the parties accwnulated various assets and property
which is more fully itemized and identifIed in a certain list or schedule attached hereto marked
"Exhibit A" and incorporated herein by reference thereto; and
WHEREAS, certain differences have arisen between the parties, as a consequence of
which they have separated and now live separate and apart from each other; and
WHEREAS, on or about October 23,2001, Husband commenced an action in divorce
docketed at No. 01-6043 in the Court of Common Pleas ofCwnberland County, Pennsylvania
(hereinafter called "JDivorce Action"), The Complaint in the Divorce Action was served upon
Wife on October 23~ 2001 via certifIed mail; and
WHEREAS, Husband is represented by Philip H. Spare, Esquire of the firm of
Snelbaker, Brenneman & Spare, P. C. and Wife is represented by Samuel L. Andes, Esquire,
sole practitioner; and
WHEREAS, the parties having a full opportunity to be advised of their respective rights,
duties and obligations arising out of the marriage and each having a full opportunity to
investigate and evaluate the assets, liabilities and all other aspects of each other's property and
their jointly owned assets and liabilities, have come to an agreement for the final settlement of
their property and affairs.
NOW THEREFORE, in consideration of these presents and the mutual covenants,
promises, terms and conditions hereinafter set forth and to be kept and performed by each party
hereto, and intending to be legally bound hereby, the parties mutually agree as follows:
1. INCORPORA nON OF PREAMBLE. The foregoing preamble and paragraphs are
incorporated by reference herein in their entirety.
2. DECLARATION AS TO ASSETS AND WANER OF EVALUATION. The parties
agree that the items of property set forth in "Exhibit A" are all of the assets which they acquired
during their marriage and which would be the subject of equitable distribution if submitted to a
court for division under the provisions of the Pennsylvania Divorce Code. The parties declare
and agree that they are familiar with said assets and hereby waive the evaluation thereof,
although each party declares that shelhe has had full opportunity obtain such evaluation.
3. DIVISIqN OF ASSETS. Upon execution of this Agreement, or as otherwise set
forth hereinbelow, j;he parties agree to divide, allocate, retain and/or transfer the assets shown
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on "Exhibit A" as follows (the items numbers refer to the corresponding numbers on "Exhibit
A"):
A. ASSETS TO HUSBAND
1. Furniture, household goods, and any other tangible personal property currently
in Husband's possession;
2. Husband's interests acquired during the marriage and increase in value, if any,
in pension and retirement benefits from his current employer and former
employers, including but not limited to the 401(k) plan identified as Vanguard,
KeyPro 401(k) Capital Accumulation Plan No.091556;
3. Bank accounts or deposits in other financial institutions in name of Husband,
including, but not limited to PNC Bank Checking Account No. 5001979575;
4. Alaskan Malamute dog named "Nakita Mountain Peak"
5. 1998 Land Rover Discovery
B. ASSETS TO WIFE
6. Fumiture, household goods, and any other tangible personal property currently
in Wife's possession;
7. Wife's interests acquired during the marriage and increase in value, if any, in
pension and retirement benefits from her current employer and former
employers, including but not limited to the 401(k) plan;
8. Bank accounts or deposits in other financial institutions in the name of Wife;
9. 1997 Subaru Outback
4. MARITAL DEBT. Parties acknowledge and agree that there is no outstanding
marital debt at the time of this Agreement.
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5. FUTURE OBLIGATIONS. The parties agree that any and all obligations incurred
subsequent to the date of this Agreement, shall be the sole and separate liability and
responsibility of the party incurring the obligation and each party agrees that he/she will not
incur or attempt to incur any obligations for or on behalf of the other party and will indemnify
and hold harmless the other party of and from any and all liability arising from such future
obligation.
6. RELEASE OF RIGHTS UNDER DIVORCE CODE. Except only as specifically
provided to the contrary hereinabove in this Agreement, each party hereby waives and forever
releases the other party of and from any and all claims which either may have against the other
by reason of and pursuant to the Pennsylvania Divorce Code (and the divorce law of any other
jurisdiction) including, but not limited to, spousal support, alimony, alimony pendente lite,
equitable distribution of marital property, counsel fees, costs and expenses, except that the
performance of any obligations created hereunder may be enforced by any remedies under the
Pennsylvania Divorce Code.
7. INDIVIDUAL PROPERTY. Except only as may be provided specifically to the
contrary hereinabove, each party shall retain all property, real, personal and otherwise, which is
presently titled in his or her name and ownership, whether or not said property is or would be
deemed to be marital property under the Pennsylvania Divorce Code and each party hereby
expressly releases the other of and from any and all right of equitable distribution in and to said
individually owned property of such other party.
8. GENE~ RELEASE. Husband relinquishes his inchoate intestate right in the
estate of Wife, and Wife relinquishes her inchoate intestate right in the estate of Husband, and
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each of the parties hereto by these presents, for himself or herself, his or her heirs, executors,
administrators or assigns, does hereby remise, release, quit-claim and forever discharge the
other party hereto, his or her heirs, executors, administrators or assigns, or any of them, of any
and all claims, demands, damages, actions, causes of action or suits at law or in equity of
whatsoever kind or nature, for or because of any matter or thing done, omitted or suffered to be
done by such other party prior to the date hereof, except that this release shall in no way
exonerate or discharge either party from the obligations and promises made or imposed by
reason of this Agreement. This Agreement shall not be construed to affect or bar the right of
either party to an action for the enforcement or performance of this Agreement which may be
instituted pursuant to the remedies available under the Pennsylvania Divorce Code.
9. SURVIV At OF AGREEMENT. It is the intention of the parties that this Post-
Nuptial Agreement $hall survive any action in divorce which may be instituted or prosecuted by
either party, and no order, judgment or decree of divorce, temporary, interlocutory, final or
permanent, shall affect or modify the terms of this Agreement, but said Agreement may be
enforced by any remedy at law or in equity, including enforcement proceedings under the
Pennsylvania Divorce Code. The parties agree to incorporate this Agreement into a separate
order of court to be entered in the Divorce Action, but this Agreement shall not be merged into
said order or decree in divorce.
10. VOLUNTARY EXECUTION. The provisions of this Agreement and their legal
effect have been fully explained to the parties by their respective attorneys. Each party
acknowledges that this Post-Nuptial Agreement is fair and equitable, that it is being entered into
voluntarily, with full knowledge of the assets of both parties, and that it is not the result of any
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duress or undue influence. The parties acknowledge that they have been furnished with all
information relating to the financial affairs of the other to the extent same has been requested by
each of them.
11. ENTIRE AGREEMENT. This Post-Nuptial Agreement contains the entire
understanding of the parties and there are no representations, warranties, covenants or
undertakings other than those expressly set forth herein. The parties acknowledge and agree
that the provisions of this Agreement with respect to the distribution and division of marital and
separate property are fair, equitable and satisfactory to them based on the length of their
marriage and other relevant factors which have been taken into consideration by the parties.
Both parties hereby accept the provisions of this Agreement with respect to the division of
property in lieu of and in full and final settlement and satisfaction of all claims and demands
that they may now have or hereafter have against the other for equitable distribution of their
property by any court of competent jurisdiction pursuant to the Pennsylvania Divorce Code or
any amendments thereto. Each party voluntarily and intelligently waives and relinquishes any
right to seek a court ordered determination and distribution of marital property, but nothing
herein contained shall constitute a waiver by either party of any rights to seek the relief of any
court for the purpose of enforcing the provisions of this Agreement.
12. WAIVER. The waiver of any term, condition, clause or provision of this
Agreement shall in no way be deemed or considered a waiver of any other term, condition,
clause or provision of this Agreement.
13. APPLICABLE LAW. This Agreement shall be construed, interpreted and enforced
according to the laws of the Commonwealth of Pennsylvania.
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14. HEADINGS. The headings or titles of the numbered paragraphs of this Agreement
have been used only for the purpose of convenience and shall not be resorted to for the
purposes of interpretation or construction of the text of this Agreement.
15. BREACH. It is expressly stipulated that if either party fails in the due performance
of any of his or her material obligations under this Agreement, the other party shall have the
right, at his or her election, to sue for damages for breach thereof, to sue for specific
performance or to seek any other legal remedies as may be available, and the defaulting party
shall pay the reasonable legal fees for any services rendered by the non-defaulting party's
attorney in any action or proceeding to compel performance hereunder.
16, AFTER-ACOUIRED PROPERTY. Each of the parties shall hereafter own and
enjoy independently of any claim or right of the other, all items of property, be they real,
personal or mixed, tangible or intangible, which are hereafter acquired by him or her, with full
power in him or her to dispose of the same as fully and effectively, in all respects and for all
purposes as though he or she were unmarried.
17. COUN$EL FEES. COSTS AND EXPENSES. Each party shall be responsible for
his or her own legal fees, costs and expenses incurred in connection with their separation and/or
the dissolution of their marriage.
18. INDEMNIFICATION. Each party represents and warrants to the other that he or
she has not incurred any debt, obligation, or other liability, other than described in this
Agreement, on which the other party is or may be liable. Each party covenants and agrees that
if any claim, action or proceeding is hereinafter initiated seeking to hold the other party liable
for any other debts, obligations, liability, act or omission of such party, such party will at his or
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".
her sole expense, defend the other against any such claim or demand, whether or not well-
founded, and that he or she will indemnify and hold harmless the other party in respect of all
damages as resulting therefrom. Damages as used herein shall include any claim, action,
demand, loss, cost, expense, penalty, and other damage, including without limitation, counsel
fees and other costs and expenses reasonably incurred in investigating or attempting to avoid
same or in opposing the imposition thereof or enforcing this indemnity, resulting to Husband or
Wife from any inaccurate representation made by or on behalf of either Husband or Wife to the
other in this Agreement, any breach of any of the warranties made by Husband or Wife in this
Agreement, or breach or default in performance by Husband or Wife of any of the obligations
to be performed by such party hereunder. The Husband or Wife agrees to give the other prompt
written notice of any litigation threatened or instituted against either party which might
constitute the basis for a claim for indemnity pursuant to the terms of this Agreement.
19. MODIFICATION. No modification, rescission or amendment to this Agreement
shall be effective unless in writing signed by each of the parties hereto.
20. SEVERABILITY. If any provision of this Agreement is held by a Court of
competent jurisdiction to be void, invalid or unenforceable, the remaining provisions hereof
shall nevertheless survive and continue in full force and effect without being impaired or
invalidated in any way.
21. COOPERATION. The parties hereto shall from time to time, cooperate with one
another and execute, acknowledge and deliver any and all further documents or instruments that
may be reasonably I1equired to give full force and effect to the provisions of this Agreement.
22. DNORrE BY MUTUAL CONSENT. The parties agree and acknowledge that
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their marriage is irretrievably broken, that they do not desire marital counseling, and that they
both consent to the entry of a decree in divorce pursuant to 23 Pa. C, S. Section 3301(c).
Accordingly, the parties have executed and will timely file with the Court such consents,
affidavits, waivers of notice and/or other documents as may be necessary to promptly proceed
to obtain a divorce pursuant to 23 Pa.C.S. Section 3301(c).
IN WITNESS WHEREOF, the parties have hereunto set their respective hands and seals
the day and year first above written intending to legally bind themselves and their respective
heirs, personal representatives and assigns.
WITNESSED BY:
W~-
~ ~PLI7~dt~EAL)
Susan iane Guerriero
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FRANK S, GUERRIERO. II AND SUSAN DIANE GUERRIERO
EXHIBIT A (Page 1 of!)
1. Furniture, household goods, and any other tangible personal property currently
in Husband's possession;
2. Husband's interests acquired during the marriage and increase in value, if any,
in pension and retirement benefits from his current employer and former
employers, including but not limited to the 40l(k) plan identified as Vanguard,
KeyPro 40l(k) Capital Accumulation Plan No.09l556;
3. Bank accounts or deposits in other financial institutions in name of Husband,
including, but not limited to PNC Bank Checking Account No. 5001979575;
4. Alaskan Malamute dog named "Nakita Mountain Peak"
5. 1998 Land Rover Discovery
6. Furniture, household goods, and any other tangible personal property currently
in Wife's possession;
7. Wife's interests acquired during the marriage and increase in value, if any, in
pension and retirement benefits from her current employer and former
employers, including but not limited to the 40l(k) plan;
8, Bank accounts or deposits in other financial institutions in the name of Wife;
9.1997 Subaru Outback
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LAW OFFICES
SNELBAKER.
BRENNEMAN
& SPARE
FRANK S. GUERRIERO, II,
Plaintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
v.
NO. 2001-6043 CIVIL TERM
CIVIL ACTION - LAW
SUSAN DIANE GUERRIERO,
Defendant
IN DIVORCE
PLAINTIFF'S AFFIDA VII OF CONSENT
UNDER SECTION 3301(C) OF THE DIVORCE CODE
1. A complaint in divorce under Section 3301(c) of the Divorce Code was filed on
October 23, 2001.
2. The marriage of the Plaintiff and the Defendant is irretrievably broken and ninety (90)
days have elapsed from the date of the filing and service of the Complaint.
3. I consent to the entry of a final decree of divorce after service of notice of intention to
request entry of the decree.
4. 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. S 4904, relating to
unsworn falsification to authorities.
Date: February 20, 2002
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FRANK S. GUERRIERO, II,
Plaintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
v.
: NO. 2001-6043 CIVIL TERM
CIVIL ACTION - LAW
SUSAN DIANE GUERRIERO,
Defendant
IN DIVORCE
PLAINTIFF'S WAIVER OF NOTICE OF INTENTION
TO REQUEST ENTRY OF A DIVORCE DECREE
UNDER SECTION 3301(c) OF THE DIVORCE CODE
1. I consent to the entry of a final decree of divorce without notice.
2. I understand that I may lose rights concerning alimony, division of property, lawyer's
fees, or expenses if I do not claim them before a divorce is granted.
3. I understand that I will not be divorced until a divorce decree is entered by the Court
and that a copy of the decree will be sent to me immediately after it is filed with the
Prothonotary .
4. 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: February 20, 2002
LAW OFFICES
SNELBAKER.
BRENNEMAN
& SPARE
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FRANK S. GUERRIERO,
PLAINTIFF
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IN THE COURT OF COMMON
PLEAS OF CUMBERLAND
COUNTY, PENNSYL VANIA
CIVIL ACTION - LAW
NO. 2001-6043 CIVIL TERM
SUSAN D. GUERRIERO,
DEFENDANT
IN DIVORCE
AFFIDAVIT OF CONSENT
1. A Complaint in Divorce under Section 3301 (c) of the Divorce Code was filed on
October 23, 2001 and,served upon the Defendant on or about October 24, 2001
2. The marriage of Pll!1intiff and Defendant is irretrievably broken and ninety (90) days
have elapsed from the date <i>f filing of the complaint and the date of service of the complaint
on the Defendant.
3. I consent to the entry of a final decree in divorce either after service of a Notice of
Intention to Request Entry of the Decree or upon filing of my Waiver of the Notice of Intention
to Request Entry of the Decree.
4. I have been advised of the availability of marriage counseling and understand that
the Court maintains a list of marriage counselors and that I may request the Court to require
my spouse and I to participate in counseling and, being so advised, do not request that the
Court require that my spouse and I participate in counseling prior to the divorce becoming
final.
I verify that the statements made in this Affidavit are true and correct and I understand
that false statements herein are made subject to the penalties of 18 Pa. C.S. Section 4904
relating to unsworn falsifica1Jion to authorities.
February 20, 2002
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FRANK S. GUERRIERO,
PLAINTIFF
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IN THE COURT OF COMMON
PLEAS OF CUMBERLAND
COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
NO. 2001-6043 CIVIL TERM
SUSAN D. GUERRIERO,
DEFENDANT
IN DIVORCE
WAIVER OF ~OTICE OF INTENTION TO REOUEST ENTRY OF
A DIVORCE DEC$;E UNDER SECTION 3301 eCl OF THE DIVORCE CODE
1. I consent to the entry of a final decree in divorce without notice.
2. I understand that Ii may lose rights concerning alimony, division of property, lawyer's
fees, or expenses if I do not cl:laim them before a divorce is granted.
3. I understand that Ii will not be divorced until a divorce decree is entered by the court
and that a copy of the decre~ will be sent to me immediately after it is filed with the
Prothonotary.
I verify that the statements made in this Waiver are true and correct. I understand that
false statements herein are subject to the penalties of 18 Pa. C.S. Section 4904 relating to
unsworn falsification to autbprities.
February 20, 2002
Date
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S'USAN D. GUE ERO
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LAW OFFICES
SNELBAKER.
BRENNEMAN
8: SPARE
FRANK S. GUERRIERO, II,
Plaintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYL VANIA
v.
: NO. 2001-6043 CIVIL TERM
: CIVIL ACTION - LAW
SUSAN DIANE GUERRIERO,
Defendant
: IN DIVORCE
PRAECIPE TO TRANSMIT RECORD
TO: Prothonotary ofCwnberland County:
Please transmit the record, together with the following information, to the Court for entry
of a divorce decree:
1. Ground for divorce: irretrievable breakdown under Section 3301(c) of the Divorce
Code.
2. Date and manner of service of Complaint: by certified mail, restricted delivery on
Defendant on October 24, 200 I (see Affidavit of Service filed November 29, 2001).
3. Date of exe~ution of the Affidavit of Consent required by Section 3301(c) of the
Divorce Code: by the !Plaintiff: February 20, 2002; by the Defendant: February 20, 2002.
4. Date of execution of Waiver of Notice in Section 3301(c) Divorce: by the Plaintiff:
February 20, 2002; by the Defendant: February 20, 2002.
5. Related pen<<ing claims: None.
SNELBAKER, BRENNEMAN & SPARE, P. C.
Date: February 21, 2002
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DIVORCE INFORMATION SHEET
PURSUANT TO ACT 2001-82, VITAL STATISTIC FORMS ARE NOT
REQUIRED BY THE STATE EFFECTIVE JANUARY 1, 2002, THE
PROTHONOTARY IS REQUESTING THIS INFORMATION IN LIEU OF
THE VITAL STATISTICS FORM.
PLEASE FILL IN THE APPROPRIATE INFORMATION AND RETURN
TO THE PROTHONOTARY'S OFFICE.
DATE OF MARRIAGE:
~ro l - 6d-13
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DOCKET NUMBER:
MELANIE S. DILLER,
Plaintiff/Petitioner
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
VS.
CIVIL ACTION - DIVORCE
MICHAEL D. DILLER,
DefendantJRespondent
NO. 2001-6031 CIVIL TERM
IN DIVORCE
DR# 31475
PacseS# 766104273
ORDER OF COURT
AND NOW, this 20th day of February, 2002, upon consideration of the Petition for Alimony
Pendente Lite and/or counsel fees, it is hereby directed that the parties and their respective counsel appear
before R.J, Shaddav on March 20. 2002 at 10:30 A.M. for a conference, at 13 N, Hanover St., Carlisle,
P A 170 I 3, after which the conference officer may recommend that an Order for Alimony Pendente Lite
be entered.
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
191O,ll~
(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 Petitioner
2-20.Q2 to: < Respondent
Sam Andes, Esquire
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Date of Order: February 20, 2002
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YOU HAVE THE RIGHT TO A LAWYER, WHO MAY ATTEND 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 LffiERTY AVE,
CARLISLE, PENNSYLVANIA 17013
(717) 249-3166
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POST-NUPTIAL AGREEMENT
II
FRANK S. GUERRIERO,
PLAINTIFF
vs.
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IN THE COURT OF COMMON
PLEAS OF CUMBERLAND
COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
NO. 2001-6043 CIVIL TERM
SUSAN D. GUERRIERO,
DEFENDANT
IN DIVORCE
NOTICE TO RESUME PRIOR SURNAME
NOTICE IS HEREBY GIVEN that Susan Diane Guerriero, Defendant in the above matter,
having been granted a Final Decree in Divorce on the Z/VP- day of /J1McA ,ZOOZ ,
hereby elects to resume the prior surname of Susan Diane Nelson, and gives this written notice
pursuant to the provisions of 54 P.S. S 704.
Date: -!;? Yo 2-
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Susan Diane Guerriero
ri~ i& /J{lrJ
JSusan Diane Nelson
COMMONWEALTH OF PENNSYLVANIA )
( SS.:
COUNTY OF CUMBERLAND )
On the J2~ day of !V\tAAch. ,2002, before me, the undersigned officer,
personally appeared Susan Diane Guerriero, known to me (or satisfactorily proven) to be the
person whose name is signed to the within Notice to Resume Prior Surname and acknowledged
that she executed the foregoing for the purpose therein contained.
IN WITNESS WHEREOF, I hereunto set my hand and official seal.
Notary /&61;' ~Al
lYrfN fH NO T ARJAl SEAL 1
...LEMOYNE RggttlO1:rtSSTARY PUSlIC
..., COMMISSION EXPIRES AERLANO CO,
UG. 17 2004
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