HomeMy WebLinkAbout85-0839ROBERT R. PYNE,
Plaintiff
vs.
DORIS E. PYNE (nee REED),
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
No. 839 CIVIL 1985
CIVIL ACTION - LAW
IN DIVORCE
MODIFIED UALIFIED DOMESTIC RELATIONS ORDER
In connection with the marital distribution between the
parties, the Participant assigns a portion of his tax sheltered
benefits to the Alternate Payee as set out below.
The plan subject to this Qualified Domestic Relations Order
(Q.D.R.O.) is as follows:
PLAN NAME: Central Pennsylvania Teamsters
Pension Fund, Defined Benefit Plan
Teamsters Pension Office
P.O. Box 15223
Reading, PA 19612-5223
PARTICIPANT:
Address:
Date of Birth:
Soc. Sec. #:
ALTERNATE PAYEE:
Address:
Date of Birth:
Soc. Sec. #:
Robert R. Pyne, Plaintiff
800 York Road, Lot 6
Dover, PA 17215
05 / 09 / 43
189-34-5549
Doris E. Reed, Defendant
106 Mountain Road
Enola, PA 17025
10 / 19 / 45
193-36-3705
Effective December 31, 1983, this Qualified Domestic Relations
Order assigns to the Alternate Payee, fifty percent (50~) of the
Participant's benefits accrued under the Fund calculated as a
straight life annuity as of that date, payable to the Alternate
Payee as a separate interest annuity for the life of the Alternate
Payee. The Alternate Payee's interest will be payable to her at
the Participant's "earliest retirement age," as defined in Section
414(p) of the Internal Revenue Code of 1986 and Section 206(d) of
the Employee Retirement Income Security Act of 1974, or such
earlier time as may be permitted under the Defined Benefit Plan.
This assignment of benefits does not require the Plan to
provide any type or form of benefit, or any option not otherwise
provided or available under the Plan.
This assignment of benefits does not require the Plan to
provide increased benefits nor does it require the payment of
benefits to the Alternate Payee which are required to be paid to
any other alternate payee or any other alternate payee under any
other court order previously determined to be a Qualified Domestic
Relations Order.
The Participant and the Alternate Payee shall each be solely
responsible for any income taxes or penalties arising out of any
distributions from the Plan.
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Dated this ~ ~~" day of ~~~~'-~ -~ 2000, being the date
upon which the last signature subscribed ereto was affixed.
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Particpant
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ROBERT R. PYNE,
Plaintiff
vs.
DORIS E. PYNE (nee REED),
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
No. 839 CIVIL 1985
CIVIL ACTION - LAW
IN DIVORCE
PETITION FOR MODIFIED QUALIFIED DOMESTIC RELATIONS ORDER
The Petitioner, DORIS E. REED (formerly known as Doris E.
Pyne), through her attorney, Matthew J. Eshelman, Esquire,
respectfully petitions this Court to sign the attached Modified
Qualified Domestic Relations Order and, in support thereof, avers
as follows:
1. The Petitioner, Doris E . Reed, formerly known as Doris E .
Pyne, Social Security Number 193-36-3705, was awarded a one-half
interest in Respondent's Teamsters' Union Pension Plan under
paragraph 12 of a Marriage Settlement Agreement dated August 1,
1988. See Exhibit "A" attached hereto and incorporated herein by
reference.
2. A Qualified Domestic Relations Order was issued by this
Honorable Court on November 21, 1994, confirming this assignment of
pension fund benefits. See Exhibit "B" attached hereto and
incorporated herein by reference.
3. On March 10, 1999, the Plan administrator indicated that
the form of the Q.D.R.O. was unacceptable under E.R.I.S.A. and the
I.R.C. See Exhibit "C" attached hereto and incorporated herein by
reference.
4. The Petitioner currently resides at 106 Mountain Road,
Enola, Cumberland County, Pennsylvania 17025.
5. The Respondent currently may be reached through Attorney
William D. Schrack, III, at 124 West Harrisburg Street, Dillsburg,
Pennsylvania 17019-0310.
WHEREFORE, the Petitioner, Doris E. Reed, respectfully
requests this Honorable Court to sign the attached Order
transmitting the incidents ownership in one-half of the Central
Pennsylvania Teamsters Pension Fund, Defined Benefit Plan, of the
Petitioner to the Respondent in accordance with the requirements of
the attached proposed Qualified Domestic Relations Order.
Respectfu ly submit ed,
,---,
Matthew J: Esh lman, Esquire
Law Offices of Patrick F. Lauer, Jr.
2108 Market Street, Aztec Building
Camp Hill, Pennsylvania 17011-4706
~~~ ~(,~ TD# 72655 Tel. ( 717 ) 763-1800
Date:
ROBERT R. PYNE,
Plaintiff
vs.
DORIS E. PYNE (nee REED),
Defendant
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
No. 839 CIVIL 1985
CIVIL ACTION - LAW
IN DIVORCE
VERIFICATION
I, Doris E. Reed, state that I am the Petitioner in the above-
captioned case and that the facts set forth in the above PETITION
FOR MODIFIED QUALIFIED DOMESTIC RELATIONS ORDER are true and
correct to the best of my knowledge, information, and belief. I
realize that false statements herein are subject to the penalties
for unsworn falsification to authorities under 18 Pa. C.S. ~ 4940.
~.
Doris E. Reed
Date : ~ f ~
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