HomeMy WebLinkAbout07-2372Q -
John R. Brackbill, IN THE COURT OF COMMON PLEAS
Plaintiff CUMBERLAND COUNTY,
PENNSYLVANIA
V. NO. 47- 2 3702 eu-,t;i ? ..
Jessica M. Brackbill CIVIL ACTION - LAW
Defendant IN DIVORCE
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.
When the ground for divorce is indignities or irretrievable breakdown of the marriage, you may
request marriage counseling. A list of marriage counselors is available in the office of the
Prothonotary at the 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, Pennsylvania 17013
(717) 240-6200
Le han demandado a usted en la corte. Si usted quiere defenderse de estas demandas expuestas en
las paginas siquientes, usted tiene veinte (20) dias de plazo al partir de lag fecha de la demanda y la
notificacion. Usted debe presentar una apariencia escrita o en persona o por abagado y archival en
la corte en forma excrita sus defensas o sus objecciones a las demandas en contra de su persona.
Sea avisado que si ustted no se defiende, la corte tomara medidas y puede entrar una orden contra
usted sin previo aviso o notificacion y por cualquier queja 0 alivio que es pedido en la peticion de
demanda. Usted puede perder dinero o sus propiedades o otros derechos importantes para usted.
LLEVE ESTA DEMANDA A UN ABAGADO INMEDIATAMENTE. SI NO TIENE
ABAGADO 0 SI NO TIENE EL DINERO SUFICIENTE DE PAGAR TAL SERVICIO, VAYA
EN PERSONA 0 LLAME POR TELEFONO A LA OFICINA CUYA DIRECCION SE
ENCURENTRA ESCRITA ABAJO PARA AVERIGUAR DONDE SE PUEDE CONSEGUIR
ASISTENCIA LEGAL.
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, Pennsylvania 17013
(717) 240-6200
Emily Long Hofffnan, Esquire
Attorney I.D. #66307 105 N. Front Street
P.O. Box 11475 Attorney for Defendant
Harrisburg, PA 1 71 08-1 475
(717)233-1112
John R. Brackbill,
Plaintiff IN THE COURT OF COMMON
CUMBERLAND COUNTYPLEAS
V. PENNSYLVANIA '
Jessica M. Brackbill NO. o 7_ „? 3 7z
Defendant CIVIL ACTION - LAW T
IN DIVORCE
COMPLAINT UNDER SECTION 3301 c
OF THE DIVORCE or 3301 d
1. CODE
Plaintiff is John R. Brackbill, with a residence of 220 S.
Mechanicsburg, Cumberland Coun Market Street,
ty, Pennsylvania 17055, where he has resided since 1981.
2• Defendant is Jessica M. Brackbill, with a residence
Eva Beach, Hawaii 96701, where she has recentl relocated.
3. Plaintiff has been a bona fide resident in the Commonwealth
months immediately previous to the filing of this Complaint. for at least six (6)
4. The Plaintiff and Defendant were married on October
Camden Coun 10, 2003, in Kingsland,
ty, Georgia.
5. There have been no prior actions of divorce or for an
6. Plaintiff is presently a member of the United States annulment Navy.
7. The Plaintiff and Defendant are both citizens of the United
8• Plaintiff has been advised of the availability of marriage States.
have the right to request the Court to require the parties to participate in counseling and that he may
advised, Plaintiff does not request that the Court require n such counseling. Being so
to a divorce decree being handed down by the the parties to participate in counseling prior
Court.
9• The Plaintiff avers that the mania e is '
g irretrievably broken.
WHEREFORE, plaintiff requests this Honorable Court enter a decree of divorce.
Respectfully submitted,
By:
EMILY LO V r v
Sup. Ct. I.D. 66307FMAN, ES
105 North Front Street
P.O. Box 11475
Date: Harrisburg, PA 17108-1475
b -1 (717)233-1112
U.AR-29-2001 THU 12.49 P!l Xg
211739939410000000000 P.006?024
TXQN SR' f"ONMENTl4L AI
-TON
The undersigned hereby 111riz1s Emily Ung Hoffman, Esquire, to speak with Marjorie
A. BrackWj and to wtkvey iaformatiaa W Marjorie A. BrackbjU with regard to the divorce
mutters of John R. Brackb!Jt 2wd Jcssk4 M. Bzack'aa
Unto
Jobn R. $rackbill
L-d e7A.,90 !0 £0 AV
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John R. Brackbill,
Plaintiff
Jessica M. Brackbill
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.
When the ground for divorce is indignities or irretrievable breakdown of the marriage, you may
request marriage counseling. A list of marriage counselors is available in the office of the
Prothonotary at the 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.
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY,
PENNSYLVANIA
v
NO. 07 - 2372
CIVIL ACTION - LAW
IN DIVORCE
Cumberland County Bar Association
2 Liberty Avenue
Carlisle, Pennsylvania 17013
(717) 240-6200
Le han demandado a usted en la corte. Si usted quiere defenderse de estas demandas expuestas en
las paginas siquientes, usted tiene veinte (20) dias de plazo al partir de lag fecha de la demanda y la
notificacion. Usted debe presentar una apariencia escrita o en persona o por abagado y archival en
la corte en forma excrita sus defensas o sus objecciones a las demandas en contra de su persona.
Sea avisado que si ustted no se defiende, la corte tomara medidas y puede entrar una orden contra
usted sin previo aviso o notificacion y por cualquier queja 0 alivio que es pedido en la peticion de
demanda. Usted puede perder dinero o sus propiedades o otros derechos importantes para usted.
LLEVE ESTA DEMANDA A UN ABAGADO 1NMEDIATAMENTE. SI NO TIENE
ABAGADO O SI NO TIENE EL DINERO SUFICIENTE DE PAGAR TAL SERVICIO, VAYA
EN PERSONA O LLAIVIE POR TELEFONO A LA OFICINA CUYA DIRECCION SE
ENCURENTRA ESCRITA ABAJO PARA AVERIGUAR DONDE SE PUEDE CONSEGUIR
ASISTENCIA LEGAL.
mberland County Bar Association
2 Liberty Avenue
Carlisle, Pennsylvania 17013
(717) 240-6200
a
Emily Long Hoffman, Esquire
Attorney I.D. #66307
105 N. Front Street
P.O. Box 11475
Harrisburg, PA 17108-1475
(717)233-1112
John R. Brackbill,
Plaintiff
Jessica M. Brackbill
Defendant
CIVIL ACTION - LAW
IN DIVORCE
1. Plaintiff is John R. Brackbill, with a residence of 220 S. Market Street,
Mechanicsburg, Cumberland County, Pennsylvania 17055, where he has resided since 1981.
2. Defendant is Jessica M. Brackbill, with a former short-term residence of 91-261B
Eva Beach Road, Eva Beach, Hawaii 96701, who is currently residing in the State of Georgia.
3. Plaintiff has been a bona fide resident in the Commonwealth for at least six (6)
months immediately previous to the filing of this Complaint.
4. The Plaintiff and Defendant were married on October 10, 2003, in Kingsland,
Camden County, Georgia.
5. There have been no prior actions of divorce or for annulment between the parties.
6. Plaintiff is presently a member of the United States Navy.
7. The Plaintiff and Defendant are both citizens of the United States.
8. Plaintiff has been advised of the availability of marriage counseling and that he may
have the right to request the Court to require the parties to participate in such counseling. Being so
advised, Plaintiff does not request that the Court require the parties to participate in counseling prior
Attorney for Plaintiff
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY,
PENNSYLVANIA
V. NO. 07 - 2372
to a divorce decree being handed down by the Court.
9. The Plaintiff avers as the grounds on which the action is based:
(a) That Defendant has offered such indignities to the Plaintiff, the injured and
innocent spouse, so as to make Plaintiffs condition burdensome and life intolerable;
(b) The marriage is irretrievably broken;
(c) The Plaintiff and Defendant have been living separate and apart for a period
in excess of two (2) years as of April 2008;
(d) The Defendant has committed adultery.
COUNT 1 - EQUITABLE DISTRIBUTION
10. Paragraphs one through nine of Plaintiff s complaint are incorporated herein.
11. During the marriage, Plaintiff and Defendant have acquired various items of marital
property, both real and personal, which are subject to equitable distribution under Chapter 35 of the
Divorce Code.
WHEREFORE, Plaintiff requests this Honorable Court:
(A) Enter a decree of divorce;
(B) Equitably distribute all property, both personal and real, owned by the parties
enter a decree of divorce.
Respectfully submitted,
By: ?I-4YY
EMILY LONG HOFFMAN, ESQUIRE
Sup. Ct. I.D. # 66307
105 North Front Street
P.O. Box 11475
Harrisburg, PA 17108-1475
(717)233-1112
Date: 5/22/07
AFFIDAVIT
John R. Brackbill, being duly sworn according to law, deposes and says that the facts
contained in the foregoing Complaint in Divorce are true rrect to the best of his knowledge,
information and belief.
n R. Brackbill
Date: Z 2 PA-1 9r 7
Fn,
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Emily Long Hoffman, Esquire
Attorney I.D. #66307
105 N. Front Street
P.O. Box 11475
Harrisburg, PA 17108-1475
(717)233-1112
Attorney for Plaintiff
John R. Brackbill, IN THE COURT OF COMMON PLEAS
Plaintiff CUMBERLAND COUNTY,
PENNSYLVANIA
V. NO. 07 - 2372
Jessica M. Brackbill
Defendant
CIVIL ACTIO'TN - LAW
: IN DIVORCE
WAIVER OF NOTICE OF INTENTION TO REQUEST
ENTRY OF A DIVORCE DECREE UNDER
§33010 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: J I 1.2h i y
J ssica . Brac bill
N
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Emily Long Hoffman, Esquire
Attorney I.D. #66307 Attorney for Plaintiff
105 N. Front Street
P.O. Box 11475
Harrisburg, PA 17108-1475
(717)233-1112
John R. Brackbill, IN THE COURT OF COMMON PLEAS
Plaintiff CUMBERLAND COUNTY,
PENNSYLVANIA
V. NO. 07 - 2372
Jessica M. Brackbill CIVIL ACTION - LAW
Defendant IN DIVORCE
AFFIDAVIT OF CONSENT
1. A Complaint in Divorce under Section 3301(c) of the Divorce Code was filed on
April 24, 2007.
2. The marriage of Plaintiff and Defendant is irretrievably broken, and ninety (90)
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 after service of notice of
intention to request entry of the decree.
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. Section 4904 relating to
unworn falsification to authorities.
Date:
Jessica . Brack ill
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Emily Long Hoffman, Esquire
Attorney I.D. #66307 Attorney for Plaintiff
105 N. Front Street
P.O. Box 11475
Harrisburg, PA 17108-1475
(717)233-1112
John R. Brackbill, IN THE COURT OF COMMON FLEAS
Plaintiff CUMBERLAND COUNTY,
PENNSYLVANIA
V. NO. 07 - 2372
Jessica M. Brackbill CIVIL ACTION - LAW
Defendant IN DIVORCE
AFFIDAVIT OF CONSENT
A Complaint in Divorce under Section 3301(c) of the Divorce Code was filed on
April 24, 2007.
2. The marriage of Plaintiff and Defendant is irretrievably broken, and ninety (90)
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 after service of notice of
intention to request entry of the decree.
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. Section 4904 relating to
unworn falsification to authorities.
Date: G9 20 p
ohn R. Brackbill
C7
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Emily Long Hoffman, Esquire
Attorney I.D. #66307 Attorney for Plaintiff
105 N. Front Street
P.O. Box 11475
Harrisburg, PA 17108-1475
(717)233-1112
John R. Brackbill, IN THE COURT OF COMMON PLEAS
Plaintiff CUMBERLAND COUNTY,
PENNSYLVANIA
V. NO. 07 - 2372
Jessica M. Brackbill
Defendant
CIVIL ACTION - LAW
IN DIVORCE
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: 2e p,
ohn R. Brackbill
a
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STI
.
MARITAL SETTLEMENT AGREEMENT
r1
THIS AGREEMENT, made this ? day of , 2007, by and
between JESSICA M. BRACKBILL (hereinafter referred to as "WIFE") and JOHN R.
BRACKBILL (hereinafter referred to as "HUSBAND").
In consideration of the mutual promises and of consideration, receipt of which is hereby
acknowledged by each of the parties hereto, HUSBAND and WIFE, each intending to be
legally bound hereby covenant and agree as follows:
1. SEPARATION: HUSBAND and WIFE shall at all times hereafter have
the right to live separate and apart from each other and to reside where they desire and to be
free from interference by the other.
2. SUBSEQUENT DIVORCE: The parties hereby acknowledge that
HUSBAND has filed a Complaint in Divorce in Cumberland County claiming that the marriage
is irretrievably broken under Section 3301 of the Pennsylvania Divorce Code. WIFE hereby
expresses her agreement that the marriage is irretrievably broken and expresses her intent to
execute any and all Affidavits or other documents necessary for the parties to obtain an
absolute divorce pursuant to Section 3301(c) of the Divorce Code. The parties hereby waive
all rights to request court ordered counseling under the Divorce Code. It is further specifically
understood and agreed by the parties that the provisions of this Agreement as to equitable
distribution of property of the parties are accepted by each party as a final settlement for all
purposes whatsoever, as contemplated by the Pennsylvania Divorce Code.
3. REPRESENTATION BY COUNSEL: This Agreement has been
prepared by EMILY L. HOFFMAN, Esquire, counsel for HUSBAND. WIFE has been
informed that EMILY L. HOFFMAN has acted solely as counsel for HUSBAND and has not
advised or represented WIFE in any manner whatsoever. WIFE at the commencement of, and
at all stages during the negotiation of this Agreement, has been advised that WIFE could be
represented by her own counsel but at all times has elected not to be so represented. The
parties have read this Agreement carefully and thoroughly, fully understanding each of its
provisions, and therefore signs it clearly and voluntarily.
4. DEBTS: HUSBAND shall be responsible for all debts in his name. WIFE
shall be responsible for all debts in her name. HUSBAND agrees to indemnify and hold WIFE
harmless from any and all liability associated with the debts in his name. WIFE agrees to
indemnify and hold HUSBAND harmless from any and all liability associated with the debts in
her name.
5. PERSONAL PROPERTY: Except as otherwise provided herein,
HUSBAND shall keep the property in his possession. WIFE shall keep the property in her
• t
possession. HUSBAND has no claim the property belonging to WIFE. WIFE has no claim to
the property belonging to HUSBAND. WIFE is entitled to retrieve the property which is set
forth on Exhibit "A" which is incorporated herein and which is located in Pennsylvania. WIFE
shall pick up the property within three months of this Agreement.
6. ADDITIONAL PROVISIONS:
A. This Agreement shall be binding and shall inure to the benefit of the parties
hereto and their respective heirs, executors, administrators, successors and assigns.
B. Each of the parties shall, immediately upon the request of the other, execute,
acknowledge and deliver to the other any and all further instruments that may be reasonably
required to give full force and effect to the provisions of this Agreement.
C. This Agreement shall be construed under the laws of the Commonwealth of
Pennsylvania and more specifically under the Divorce Code of 1980 and any amendments
thereto.
D. This Agreement will be incorporated but not merged into the divorce decree.
E. If either party breaches any provision of this Agreement or does not
comply
with the terms of this Agreement, the other party shall have the right, at his or her election to
sue for damages for such breach or seek such other remedies or relief as may be available to
him or her, and the party breaching or not complying with this contract shall be responsible for
payment of reasonable legal fees and costs incurred by the other in enforcing their rights under
this Agreement.
F. Each party hereby waives and relinquishes any and all rights he or she shall
3
now have or hereafter acquire, under the present and future laws of any jurisdiction, to share in
the property or the estate of the other as a result of the marital relationship, including without
limitation, dower, curtesy, statutory allowance, widow's allowance, right to take in intestacy,
right to take against the Will of the other, and the right to act as administrator or executor of the
other's estate, and each will, at the request of the other, execute, acknowledge and deliver any
and all instruments which may be necessary or advisable to carry into effect this mutual waiver
and relinquishment of all such interests, rights and claims.
G. The parties release and discharge the other absolutely and forever for the rest
of their lives from all claims and demands, past, present or future, for alimony or for any
provision for support or maintenance. The parties further acknowledge that in consideration of
the transfers made herein each completely waives and relinquishes any and all claims and/or
demands they may now have or hereafter have against the other for alimony, alimony pendente
lite, spousal support and counsel fees, and equitable distribution except as otherwise provided
herein.
H. All amendments to this Agreement must be executed in the same form as this
Agreement.
1. The parties have fully disclosed their assets and income to each other.
J. 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 or personal, 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.
K. The parties have heretofore filed joint Federal and state tax returns. Both
4
parties agree that in the event any deficiency in Federal, state or local income tax is proposed,
or any assessment of any such tax is made against either of them, each will indemnify and hold
harmless the other from and against any loss or liability for any such tax deficiency or
assessment and any interest, penalty and expense incurred in connection therewith. Such tax,
interest, penalty or expense shall be paid solely and entirely by the individual who is finally
determined to be the cause of the misrepresentations or failures to disclose the nature and extent
of his or her separate income on the aforesaid joint returns.
L. The parties agree that, except as otherwise specifically provided herein, this
Agreement shall continue in full force and effect after such time as a final Decree in Divorce
may be entered with respect to the parties.
M. This Agreement contains the entire understanding of the parties and there are
no representations, warranties, covenants or undertakings other than those expressly set forth
herein.
N. If any term, condition, clause or provision of this Agreement shall be
determined or declared to be void or invalid in law or otherwise, then only that term, condition,
clause or provision shall be stricken from this Agreement and in all other respects this
Agreement shall be valid and continue in full force, effect and operation.
0. It is specifically understood and agreed by and between the parties hereto that
each paragraph hereof shall be deemed to be a separate and independent Agreement.
P. The descriptive headings used herein are for convenience only. They shall
have no affect whatsoever in determining the rights or obligations of the parties.
IN WITNESS WHEREOF, the parties hereto have set their hands and seals the date and
5
L)
Je sica M. Brackbill
halt it-Ad.. /W
year first above written.
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hinily Lohg Hoffinan, Esquire
Attorney I.D. #66307
P.O. Box 11475
Harrisburg, PA 17108-1475
(717)233-1112
John R. Brackbill,
Plaintiff
Jessica M. Brackbill
Defendant
Attorney for Plaintiff
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY,
PENNSYLVANIA
V. NO. 07 - 2372
CIVIL ACTION - LAW
IN DIVORCE
CERTIFICATE OF SERVICE
I, Emily Long Hoffman, hereby certify that the attached petition was served on the below
addressed party via personal service out of state as per the attached documents:
Jessica Brackbill
145 Fairfield Drive
St. Marys, GA 31558
Respectfully submitted,
Emily Long HofiYnan
Sup. Ct. ID #66307
P.O. Box 11475
Harrisburg, PA 17108
Date: June 10, 2008
OFFICE OF THE SHERIFF, CAMDEN COUNTY, GEORGIA
a Civil Label Report
9/28/2007
CIVIL PROCESS : 2007-05308
DEF/SUB:
BRACKBILL, JESSICA M
145 FAIRFIELD DR
ST MARYS, GA 31558-
FOR:
PROCESS: See back label
DATE RECEIVED: COURT DATE:
5/24/2007
DATE SERVED:( / TIME nSERVED: Af.,
WHERE SERVED:
SERVED BY:
PERSONAL: 66 SUBSTITUTE: ( )
GAVE TO:
MOVED:
ADVANCE PAYMENT:
STATE OI GEORGIA
COUNTY OF CAMDEN
CERTIFICATE OF SERVICE
I HEREBY C- RTIFY"rHAT ON THE 25 DAY OF MAY, AT 08:56:00 , IN THE CITY OF WOODBINE, IN THE COUNTY OF
CAMDEN , STATE OF GEORGIA, I DULY SERVED UPON: JESSICA M BRACKBILL,
AT: 145 FAIRFIELD DR, ST MARYS, GA 31558-
X PERSONALLY
BY LEAVING A COPY AT THEIR USUAL ABODE WITH JESSICA M BRACKBILL,, A PERSON OF
SUITABLE AGE AND DISCRETION THEN RESIDING THEREIN
THE FOLLOWING DOCUMENT 2007-05308
v l L02
D,ve?'ce
ORDER FOR HARASSMENT HEARING, EX-PARTE ORDER FOR PROTECTION, AFFIDAVIT AND PETITION.
ORDER TO SHOW CAUSE AND EX-PARTE ORDER FOR PROTECTION, AFFIDAVIT AND PETITION
DISPLAY THE SIGNATURE OF THE HONORABLE JUDGE OF THE DISTRICT COURT OF
COUNTY
I CERTIFY THAT AFTER A DUE AND DILIGENT SEARCH AND CAREFUL INQUIRY AT THE USUAL PLACE OF ABODE OR
BUSINESS, I HAVE BEEN UNABLE TO FIND OR MAKE SERVICE ON THE SUMMONS AND COMPLAINT IN UNLAWFUL
DETAINER ON
UPON
THE ATTACHED PROCESS IS RETURNED FOR THE FOLLOWING REASON(S):
SHERIFFS FEE
TRAVEL
TOTAL
C`" ?, -rZ
ro
?VUN ?, . 1 20,AC-K?it.L
vs.
1?SSiC0- .3(P•Lk6 ilI
IN THE COURT OF COMMON PLEAS
Ct3MBERLAND COUNTY, PENNSYLVANIA
CIVIL DIVISION
No. 13 ? ?- CIVIL TERM
PRAECIPE TO TRANSNUT RECORD
To the Prothonotary:
Trsnsnnit the record, togetbw with the following information to the court for entry of a divorce
decree:
I. Ground for divorce
Irretrievable b vaWom under 3301 (c)
(Strike out inapplicable section)
2. Date and manner of service of the comps n - Q (CXL A
CXc.T 6 t ?t- er?e??n'? t - e-A ON M AV 2 S. o?
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 ?Y1 aV -LQj W d by defendant ?I (D?jemr ,e_r Z-, ?V 7
b. (1) Date of execution of the affidavit required by 3301 (d) of the Divorce Code:
w Ix
(2) Date of filing and service of the plaintiffs affidavit upon the respondent:
N .b
4. Related claims pending: Vj ()ne_.
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 of plaintiffs Waiver of Notice in 3301 (c) Divorce was filed with the
Prothonotary: I U nt l ? .1? 8
Date defendant's Waiver of Notice in 3301 (c) divorce was filed with the
Frothouotary: z c L ?,- 6.e.r , C1 ';[-o c?
Attorney fo Plain
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John R. Brackbill
V.
Jessica M. Brackbill
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 07-2372
DIVORCE DECREE
IFVo?-•v
AND NOW, F it is ordered and decreed that
John R. Brackbill , plaintiff, and
Jessica M. Brackbill , defendant, are divorced from the
bonds of matrimony.
Any existing spousal support order shall hereafter be deemed an order for
alimony pendente lite if any economic claims remain pending.
The court retains jurisdiction of any claims raised by the parties to this action
for which a final order has not yet been entered. Those claims are as follows: (if no
claims remain indicate "None.")
None. The attached Marital Settlement Agreement dated July 3, 2007, is
incorporated but not merged in this Decree.
By ourt,
Attest:
J.
ell, ,,,?- Prothonotary
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