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HomeMy WebLinkAbout08-2458CATHERINE M. GIBB, Plaintiff DOUGLAS L. GIBB, v Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO. 2008 -- -4S8` CIVIL TERM 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, including custody or visitation of your children. When the grounds for divorce is indignities or irretrievable breakdown of the marriage, you may request marriage counseling. A list of marriage counselors is available in the Prothonotary's Office 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 32 SOUTH BEDFORD STREET CARLISLE, PENNSYLVANIA 17013 TELEPHONE: (717) 249-3166 CATHERINE M. GIBB, Plaintiff v DOUGLAS L. GIBB, Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO. 2008 ° z Y r Y CIVIL TERM IN DIVORCE COMPLAINT UNDER SECTION 3301(C) OR (D) OF THE DIVORCE CODE Plaintiff, Catherine M. Gibb, by her attorney, Lindsay D. Baird, Esquire, sets forth the following: 1 Plaintiff, Catherine M. Gibb, is an adult individual residing at 480 Centerville Road, Newville, Pennsylvania 17241. 2 Defendant, Douglas L. Gibb, is an adult individual residing at the same. 3 The parties were married on May 31, 1980 in Cumberland County, Pennsylvania. 4 Defendant has lived continuously in the Commonwealth of Pennsylvania for at least six months prior to the commencement of this action. 5 This action is not collusive. 6 There have been no prior actions for divorce or annulment in this or any other jurisdiction within the knowledge of the Plaintiff. 7 In accordance with Section 3301(c ) of the Divorce Code, the marriage between the parties is irretrievably broken. 8 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. WHEREFORE, the Plaintiff requests your Honorable Court to decree that the Plaintiff be divorced from the Defendant. "/'? '!-Z c dsay D. Baird, squire Attorney for the Plaintiff 37 S. Hanover Street Carlisle, PA 17013 717 - 243-5732 I verify that to the best of my knowledge and belief, the statements in the foregoing document are true and correct. I understand that false statements herein are made subject to the penalties of 18 PaCS §4904 relating to unswom falsification to authorities. r?-4kJ)I*(U n li'UC??rine M. Gibb, Plain 'ff R/' :? O CX) 77 "C PROPERTY SETTLEMENT AGREEMENT THIS IS AN AGREEMENT made this 71 day of May, 2008, by and between Douglas L. Gibb, of 480 Centerville Road, Newville, Cumberland County, Pennsylvania, (hereinafter referred to as Husband) and Catherine M. Gibb, of 480 Centerville Road, Newville, Cumberland County, Pennsylvania, (hereinafter referred to as Wife). WHEREAS, Husband and Wife were married on May 31, 1980, in Cumberland County, Pennsylvania; and WHEREAS, various differences have arisen between Husband and Wife, whereby they have been living separate and apart since February 1, 2008; and WHEREAS, the parties have agreed to maintain separate and permanent domiciles and to live apart from each other; and WHEREAS, the parties desire to enter into an amicable settlement to provide for all of the property rights of the parties and to dispose of the rights and obligations of each to the other in respect to support, maintenance, alimony, counsel fees, equitable distribution, and all other rights and obligations under the Divorce Code of 1980, as amended, and it is the intention and agreement of the parties that this Agreement be a full, complete and final settlement of all of those rights and obligations under said Divorce Code; and NOW, THEREFORE, for and in exchange of mutual considerations, and intending to be bound by the provisions hereof, the parties agree that their recitals form a part of this Agreement and waive any right to counseling under the Divorce Code of 1980, as amended, and right to counsel fees, costs, alimony, support, maintenance, and any other rights under the said Divorce Code not provided for herein and agree as follows: 1. SEPARATION. The parties agree that it shall be lawful for each party, at all times hereafter, to live separate and apart from the other, at such place or places as he or she may, from time-to-time, choose or deem fit. Each party shall be free from interference, authority or contact by the other, as fully as if he or she were single and unmarried, except as may be necessary to carry out the provisions of this Agreement and as may be necessary to exchange information that pertains to the parties' minor child. Neither party shall molest the other or attempt to endeavor to molest the other, nor compel the other to cohabit with the other, or in any way harass or malign the other, nor in any way interfere with the peaceful existence, separate and apart, from the other. 2. REAL ESTATE. Husband and Wife jointly own the marital residence located at 480 Centerville Road, Newville, Pennsylvania. The marital residence presently has an outstanding mortgage in favor of Orrstown Bank and an outstanding mortgage in favor of Franklin County Teachers Credit Union. Wife shall deed any rights, title and interest she has in the marital residence to Husband at such time as Husband satisfies the mortgages. Husband shall remortgage the property in the very near future and solely bear the financial responsibility of the property. Husband shall be solely responsible for all mortgage payments, liabilities, taxes, assessments, insurance and the cost of maintenance on the marital residence. Husband shall indemnify and hold Wife harmless from any liability, claims, causes of action, suits, or litigation for money owed, damages, indirect or consequential, including legal fees, arising out of failure of Husband to so pay such liens and encumbrances. Wife is purchasing a residence at 1138 Redwood Drive, Carlisle, Pennsylvania 17013 which shall have a mortgage in favor of Sovereign Bank. Husband waives any right of interest he has in the purchase by virtue of his being married to Wife. Wife shall be solely responsible for all mortgage payments, liabilities, taxes, assessments, insurance and the cost of maintenance on the Carlisle residence. Wife shall indemnify and hold Husband harmless from any liability, claims, causes of action, suits, or litigation for money owed, damages, indirect or consequential, including legal fees, arising out of failure of Wife to so pay such liens and encumbrances. 3. GLOBAL FINANCIAL SETTLEMENT. Husband shall pay to Wife and Wife shall receive $124,000.00 in full settlement of the parties' marital property rights, including but not limited to, the marital residence, each other's retirement funds and future payments, Husband's business and personal property division. Wife shall receive $64,000.00 at the signing of this Agreement and the remaining $60,000.00 at the time Husband settles on his mortgage of the marital home. Said settlement shall occur no later than 90 days from signing this Agreement. 4. AUTOMOBILES. Wife shall have as her sole and exclusive property, title to and possession of the 2003 Honda Accord. The 1996 Ford Explorer shall be for the use of the parties' daughter, Danielle. The 1998 Jeep Cherokee shall be for the use of the parties' son, Kyle. Any vehicles owned by Husband's business shall remain the property of the business. Each party shall indemnify and hold the other harmless from and liability on any loan encumbering the vehicle, cost of repairs, maintenance, registration, insurance and/or inspection of the vehicle which each is taking as his/her sole and exclusive property. 5. PERSONAL PROPERTY. The parties have divided or have agreed to a division of their personal property which includes bank accounts, certificates of deposit, life insurance policies, jewelry, clothing, furniture and other personal items. After the aforesaid division of the personal property is complete, any and all property in the possession of Husband shall be his sole and separate property. Any and all property in the possession of Wife shall be her sole and separate property. Each party forever renounces whatever claims he/she may have with respect to the property which the other is taking. Each party understands that he/she has no right or claim to any property acquired by the other after the signing of this Agreement. 6. PENSION/RETIREMENT PLANS. Wife hereby releases any and all claims or demands she may have on Husband's pension or retirement plans. Husband hereby releases any and all claims or demands he may have on Wife's pension or retirement plans. 7. DEBTS. Wife shall be solely responsible for her Visa credit card. The parties have each co-signed with their son, Kyle, on two student loans of $12,000.00 each ($24,000.00). Each party agrees that, should Kyle default on the payments, each is responsible to pay the loans for which they have co-signed. The parties represent and warrant to each other that neither has incurred any other debts nor made any other contracts for which the other or his/her estate may be liable, from date of separation forward. Neither party shall contract nor incur any debt or liability for which the other or his/her property or estate might be responsible and agrees to indemnify the other from any claims made against the other because of debts/obligations not incurred by the other. 8. INSURANCE. Wife shall maintain the employment term Life Insurance policy for the benefit of the two children. Wife shall maintain health insurance coverage for Danielle so long as she remains eligible and in college. 9. ALIMONY, ALIMONY PENDENTE LITE, SUPPORT OF SPOUSE. The parties waive any and all right to receive from the other any payment of alimony, alimony pendente lite, and/or spousal support. 10. EFFECTIVE DATE. The effective date of this Agreement shall be the date of execution by the parties if they had each executed the Agreement on the same date. Otherwise, the execution date of this Agreement shall be defined as the date of execution by the party last executing this Agreement. 11. DIVORCE. A divorce action was initiated and filed at docket number 2008-2458 Civil Term in the Court of Common Pleas of Cumberland County on April 16, 2008. Both parties agree to execute any and all affidavits or other documents necessary for the parties to obtain an absolute divorce pursuant to Sections 3301(c ) of the Divorce Code including waiver of all rights to request Court ordered counseling. 12. INCORPORATION INTO DECREE. Should a decree, judgment or order of separation or divorce be obtained by either of the parties in this or any other state, country, or jurisdiction, each of the parties hereby consents and agrees that this Agreement and all of its covenants shall not be affected in any way by any such separation or divorce; and that nothing in any such decree, judgment, order or further modification and revision thereof shall alter, amend or vary any term of this Agreement, whether or not either or both of the parties shall remarry, it being understood by and between the parties hereto that this Agreement shall survive and shall not be merged into any decree, judgment, or order of divorce or separation. It is specifically agreed, however, that a copy of this Agreement or the substance of the provisions thereof, may be incorporated by reference into any divorce, judgment or its decree. This incorporation, however, shall not be regarded as a merger, it being the specific intent of the parties to permit this Agreement to survive any judgment and to be forever binding and conclusive upon the parties. 13. MUTUAL RELEASE. Husband and Wife do hereby mutually remise, release, quit claim or forever discharge the other and the estate of such other, for all time to come, and for all purposes whatsoever, from any and all rights, title and interest, or claims in or against the estate of such other, of whatever nature and wherever situate, which he or she now has or at anytime hereafter may have against such other, the estate of such other or any part thereof, whether arising out of any former acts, contracts, engagements or liabilities of such other or by way of dower or curtesy of claims in the nature of dower or curtesy, or widow's or widower's rights, family exemption or similar allowance or under the intestate laws; or the right to take against the spouse's will; or the right to treat a lifetime conveyance by the other as testamentary or all or other rights of the surviving spouse to participate in a deceased spouse's estate, whether arising under the laws of Pennsylvania, any state, commonwealth or territory of the United States, or any other country or any right which either party may now have or at anytime hereafter have for past, present or future support or maintenance, alimony, alimony pendente lite, counsel fees, costs or expenses, whether arising as a result of the marital relation or otherwise, except and only except all rights and agreements and obligations of whatsoever nature arising or which may arise under this Agreement or for the breach of any provision thereof. It is the intention of Husband and Wife to give to each other by the execution of this Agreement a full, complete and general release with respect to any and all property of any kind or nature, real, personal or mixed, which the other now owns or may hereafter acquire, except and only except all rights and agreements and obligations of whatsoever nature arising or which may arise under this Agreement or for the breach of any provision thereof. 14. COUNSEL FEES. Each party individually covenants and agrees that he or she will individually assume the full and sole responsibility for legal expenses for his or her attorney and court costs in connection with any divorce action which may be brought by either party and shall make no claim against the other for such costs or fees. 15. ADDITIONAL INSTRUMENTS. Each of the parties shall, from time-to-time, at the request of the other, execute, acknowledge and deliver to the other party any and all further instruments or documents that may be reasonable required to give full force and effect to the provisions of this Agreement. 16. MODIFICATION OR WAIVER. A modification or waiver of any of the provisions of this Agreement shall be effective only if made in writing and executed with the same formality as this Agreement. The failure of either party to insist upon the strict performance of any of the provisions of this Agreement shall not be construed as a waiver of any subsequent default of the same or similar nature. 17. ENTIRE AGREEMENT. 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. 18. SEPARATE PARAGRAPHS. It is specifically understood and agreed by and between the parties thereto that each paragraph hereof shall be deemed to be a separate and independent agreement. 19. BREACH. If either party breaches any provision 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 this Agreement shall be responsible for payment of legal fees and costs incurred by the other in enforcing the rights under this Agreement, or in seeking such other remedies or relief as may be available to him or her. 20. CONTROLLING LAW. This Agreement shall be construed under the laws of the Commonwealth of Pennsylvania. 21. INVALIDITY OF PROVISIONS. 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. 22. BINDING NATURE. Except as otherwise set forth herein, this Agreement shall be binding and shall inure to the benefit of the parties hereto and their respective heirs, executors, administrators, successors and assigns. IN WITNESS WHEREOF, the parties have hereunto set their hands and seals the day and year first above written. WITNESS ?;dsay ?D. B , E quire thenne M. Gibb D.?'oX ouglas L. Gibb d 7- `:;, -c? r f7 '" C_. ".., 9 n"" ^ CATHERINE M. GIBB, : IN THE COURT OF COMMON PLEAS OF Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA V : NO. 2008 - 2458 CIVIL TERM DOUGLAS L. GIBB, : IN DIVORCE Defendant AFFIDAVIT OF SERVICE I, Lindsay Dare Baird, Esquire, being duly sworn according to law do depose and state that a copy of the Complaint filed in the above-captioned matter along with a copy of a Notice to Plead and a Notice of Availability of Marriage Counseling was served on the Defendant, Douglas L. Gibb, by personal service on April 19, 2008, as evidenced by the attached. Jrdy D. B rd Es uire ey for Plaintiff 37 South Hanover Street Carlisle, PA 17013 717 - 243-5732 Sworn and Subscribed to before me this I +T# day of Ju. L?-( , 2008. n G.- ?.-.? Notary Public COMMONWEALTH OF PENNSYLVANIA Notarial Seal NIM J. Baird, Notary Public Carlisle Boro, Cumberland Courtly MY emission Expires Nov. 2, 2010 Member, Pennsylvania Association of Notaries c? 171 -r; Fri CATHERINE M. GIBE, : IN THE COURT OF COMMON PLEAS OF Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA V :NO. 2008 ?S^8 CIVIL TERM DOUGLAS L. GIBB, : IN DIVORCE Defendant AFFIDAVIT OF SERVICE I, Douglas L. Gibb, being duly sworn according to law do depose and state that I received a certified copy of the Divorce Complaint in person at the following address: 37 South Hanover Street, Carlisle, PA 17013 on this 19th day of April, 2008. 460-udilas" L. bb Sworn and Subscribed to before me this 19'' day of April, 2008 Notary Public COMMONWEALTH OF PENNSYLVANIA Notarial Seal Niven J. Baird, Notary Public Carliisf- F;oro. rumbedand county My Come o! ".Apires Nov. 2, 2010 Member, Penn_;,.,:,,- s,,ciatlon of Notaries T M V CATHERINE M. GIBE, Plaintiff DOUGLAS L. GIBB, V Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO. 2008 - 2458 CIVIL TERM IN DIVORCE AFFIDAVIT OF CONSENT, ACCEPTANCE OF SERVICE AND WAIVER OF NOTICE OF INTENTION TO REQUEST ENTRY OF DIVORCE DECREE UNDER SECTION 3301(C) OF THE DIVORCE CODE 1. A complaint in divorce under Section 3301(C) of the Divorce Code was filed on April 16, 2008. 2. Defendant accepted personal service of the Complaint on April 19, 2008. 3. The marriage of the Plaintiff and Defendant is irretrievably broken and ninety days have elapsed from the date of the filing of the Complaint. 4. 1 consent to the entry of a final decree in divorce without notice. 5. 1 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. 6. 1 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. 7. 1 have been advised of the availability of marriage counseling and understand that I may request that the Court require counseling. I do not request that the Court require counseling. 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 unsworn falsification o authorities. Dater 9 ga& /V, j atherine M. Gibb, PI intiff C= d -n G HIM 5rn r CATHERINE M. GIBB, Plaintiff DOUGLAS L. GIBB, v Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA NO. 2008 - 2458 CIVIL TERM IN DIVORCE AFFIDAVIT OF CONSENT, ACCEPTANCE OF SERVICE AND WAIVER OF NOTICE OF INTENTION TO REQUEST ENTRY OF DIVORCE DECREE UNDER SECTION 3301(C) OF THE DIVORCE CODE 1. A complaint in divorce under Section 3301(C) of the Divorce Code was filed on April 16, 2008. 2. Defendant accepted personal service of the Complaint on April 19, 2008. 3. The marriage of the Plaintiff and Defendant is irretrievably broken and ninety days have elapsed from the date of the filing of the Complaint. 4. 1 consent to the entry of a final decree in divorce without notice. 5. 1 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. 6. 1 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. 7. 1 have been advised of the availability of marriage counseling and understand that I may request that the Court require counseling. I do not request that the Court require counseling. 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 unsworn falsification to authorities. -7. 12 Date: Q A? Zl? D uglas L. Gi b, Defendant 4 3' -. {" CATHERINE M. GIBB, Plaintiff DOUGLAS L. GIBB, v Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA : NO. 2008 - 2458 CIVIL TERM : 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 Section 3301(c) of the Divorce Code. 2. Date and manner of service of the Complaint: April 19, 2008, personal service. 3. Date of execution of the Affidavit of Consent required by Section 3301(c) of the Divorce Code: By Plaintiff: 7/21/08; by Defendant: 7/21/08. 4. Related claims pending: None. 5. Date Plaintiffs Waiver of Notice in §3301(c) Divorce was filed with the Prothonotary: 7/21/08 Date Defendant's Waiver of Notice in §3301(c) Divorce was filed with the Prothonotary: 7/21108 indsay D. Bai, Esquire Attorney for the Plaintiff t7 °? ? e? r+ ? c.- ?5 .... ? , ?.?" fir. ?- 1"'" `?' C -? „? ,,, .., 4 it A t+ + + + t t t+ 4+ t t++ i t t + t t+ t t i t t t t +++ ++ +t t t IN THE COURT OF COMMON PLEAS + t OF CUMBERLAND COUNTY + + + 4 t + STATE OF f PENNA. t + t CATBMINE M. GIBB, + + No. 2008 - 2458 + Plaintiff t VERSUS + DOUGLAS L. GIBB, Defendant t t DECREE IN t DIVORCE t + + + + 4 + + 4 4 t ?wLt x? ZOQ d IT IS ORDERED AND AND NOW + + + , + DECREED THAT Catherine M. Gibb PLAINTIFF, + + AND Douglas L. Gibb DEFENDANT + + ARE DIVORCED FROM THE BONDS OF MATRIMONY. + t THE COURT RETAINS JURISDICTION OF THE FOLLOWING CLAIMS WHICH HAVE + BEEN RAISED OF RECORD IN THIS ACTION FOR WHICH A FINAL ORDER HAS NOT + + t YET BEEN ENTERED; None 4 + + t The property Settlement Agreement is incorporated but not merged into the t + t 4 final decree. + + + BY THE COURT: + t ? + + ATTE J. ; t + + PROTHONOTARY + t + + t 4 + + + + + + + 44 +t . ? ?? ? ? .? ? ? .?-. ?. ?? ?p.???C. ??.????