Loading...
HomeMy WebLinkAbout10-0291FILED- FF10E OF ?HE P; )TI'ONOTARY JANE ADAMS ATTORNEY AT LAW Attorney I.D. No. 79465 17 W. South St. Carlisle, Pa. 17013 (717) 245-8508 esgadams@gmail.com IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA TERRY DEITCH, vs. BRIDGET A. DEITCH, Defendant 2010 JAN i I AM 11: 4 0 . COP?r UIN t ! No. Civil Term ACTION 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. Where the ground for the divorce is indignities or irretrievable breakdown of the marriage, you may request marriage counseling. A list of marriage counselors is available at the Office of the Prothonotary, Cumberland County Courthouse. IF YOU DO NOT FILE A CLAIM FOR ALIMONY, DIVISION OF PROPERTY, LAWYER'S FEES AND EXPENSES BEFORE A DIVORCE OR ANNULMENT IS GRANTED, YOU MAY LOSE THE RIGHT TO CLAIM 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 4 , 32 South Bedford St. -3 5;W -00 ?a Carlisle, Pa. 17013 sv sv (717) 249-3166 . 7?, 0kl'?i?vr? Clt'ff SIIN 4'14' ?34 6Le u LANE ADAMS ATTORNEY AT LAW Attorney I.D. No. 79465 17 W. South St. Carlisle, Pa. 17013 (717) 245-8508 esdadams@@gmail.com TERRY DEITCH, Plaintiff IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA vs. BRIDGET A. DEITCH, Defendant No. ffi - ?'9 / Civil Term ACTION IN DIVORCE COMPLAINT IN DIVORCE COUNT I - DIVORCE 1. Plaintiff is Terry Deitch, a competent adult individual, who resides at 88 Hilltop Lane, Newville, Cumberland County, Pa., 17241. 2. Defendant is Bridget A. Deitch, a competent adult individual, who resides at 500 Carlisle Road, Newville, Cumberland County, Pa. 17241. 3. Plaintiff and Defendant have been bona fide residents of the Commonwealth for at least 6 months immediately previous to the filing of this Complaint. 4. The Plaintiff and the Defendant were married on August 12, 2000 in Cumberland County, Pennsylvania. 5. There have been no prior actions of divorce or for annulment between the parties. 6. 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. 7. Plaintiff and Defendant have one child together, namely, Nathanial Deitch, born November 11, 1997. 8. Plaintiff and Defendant are both citizens of the United States of America. 9. Neither Plaintiff or Defendant are a member of the Armed Forces of the United States of any of its allies. 10. The Plaintiff avers that the grounds on which this action is based are: That the marriage is irretrievably broken. WHEREFORE, Plaintiff requests this Honorable Court to enter a decree in divorce. COUNT II - CUSTODY 11. Items 1 - 10 are herein incorporated by reference. 12. The parties are the natural parents of Nathanial Deitch, born November 11, 1997. 13. Plaintiff has filed a custody petition under the above-captioned docket number. WHEREFORE, Plaintiff is requesting this Honorable Court to enter a custody order regarding the minor child. COUNT III - EQUITABLE DISTRIBUTION OF PROPERTY 14. Paragraphs 1 - 13 are herein incorporated by reference. 15. During the course of the marriage, the parties have acquired numerous items of property, both real and personal, which are held in joint names and in the individual names of each of the parties hereto. 16. Plaintiff and Defendant have been unable to agree as to an equitable division of said property. i WHEREFORE, Plaintiff prays this Honorable Court, after requiring full disclosure by the Defendant, to equitably divide the property, both real and personal, owned by the parties hereto as marital property. Respectfully submitted, oate /? /o r' b Adams, Esquire No. 79465 West South Street Carlisle, Pa. 17013 (717) 245-8508 ATTORNEY FOR PLAINTIFF VERIFICATION 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. §4904 relating to unsworn falsification to authorities. Date: J (? Terry Dei , Plaintiff FlL ED?4D Fj^E 0P- ??'c F. ? any ARY JANE ADAMS ATTORNEY AT LAW Attorney I.D. No. 79465 17 W. South St. Carlisle, Pa. 17013 (717) 245-8508 esgadams@$mail.com TERRY DEITCH, vs. Plaintiff BRIDGET A. DEITCH, Defendant 2010 JAN I I AN 11: 41 Cl t `v.? ?v,, ji IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA No. It , dot I Civil Term ACTION IN DIVORCE CUSTODY COMPLAINT 1. Plaintiff is Terry Deitch, who currently resides at 88 Hilltop Lane, Newville, Cumberland County, Pennsylvania, 17241. 2. Defendant is Bridget A. Deitch, whose current address is 500 Carlisle Road, Newville Cumberland County, Pennsylvania, 17241. 3. Plaintiff is the Father of the following child and seeks a custody order regarding the following child: NAME DOB/AGE ADDRESS Nathanial Deitch 11/11/97 (12) shared equally between parties. Mother and Father married on August 12, 2000 and separated in January 2009. The parties currently equally share physical custody of the child. During the past five years, the child has resided with the following persons and at the following addresses: NAME ADDRESSES DATES Terry Deitch 88 Hilltop Lane birth to January 2009 Bridget A. Deitch Newville, Pa. 17241 Terry Deitch 88 Hilltop Lane, Newville Pa. custody now shared Bridget A. Deitch 500 Carlisle Road, Newville, Pa. Between parties. The Mother of the child is Bridget A. Deitch. She currently resides at 500 Carlisle Road, Newville Cumberland County, Pennsylvania, 17241. She is married to Father and a divorce is pending under the above-captioned docket number. The Father of the child is Terry Deitch. He currently resides at 88 Hilltop Lane, Newville, Cumberland County, Pennsylvania, 17241. He is married to Mother and a divorce is pending under the above-captioned docket number. 4. The relationship of plaintiff to the child is that of Father. The plaintiff currently resides with the child. 5. The relationship of defendant to the child is that of Mother. The defendant currently lives with the child and her boyfriend. 6. Plaintiff has not participated as a party or witness, or in another capacity, in other litigation concerning the custody of the child in this or another court. Plaintiff has no information of a custody proceeding concerning the child pending in a court of this Commonwealth. Plaintiff does not know of a party, not a party to the proceedings who has physical custody of the child or anyone who claims to have custody or visitation rights with respect to the child. 7. The best interest and permanent welfare of the child will be served by granting the relief requested because: The parties separated in January 2009 and agreed to a shared custody arrangement Father is seeking to have this agreement entered and incorporated into a Court Order. Father is also requesting that the Order provide for shared legal custody of the child. 8. Each parent whose parental rights to the child have not been terminated and the person who has physical custody of the child has been named as parties to this action. WHEREFORE, Plaintiff requests the court to enter a custody Order regarding the child. Date: / Respectfully submitted, JaPe Adams, Esquire 1. No.79465 7 7 West South Street Carlisle, Pa. 17013 (717) 245-8508 ATTORNEY FOR PLAINTIFF VERIFICATION I verify that the statements made in this Custody Complaint 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. ?J g Date: Terry Deit , Plaintiff TERRY DEITCH IN THE COURT OF COMMON PLEAS OF PLAINTIFF CUMBERLAND COUNTY, PENNSYLVANIA V. BRIDGET A. DEITCH DEFENDANT 2010-291 CIVIL ACTION LAW IN CUSTODY ORDER OF COURT AND NOW, Thursday, January 14, 2010 upon consideration of the attached Complaint, it is hereby directed that parties and their respective counsel appear before Hubert X. Gilroy, Esq. the conciliator, at 4th Floor, Cumberland County Courthouse, Carlisle on Friday, February 12, 2010 at 8:30 AM for a Pre-Hearing Custody Conference. At such conference, an effort will be made to resolve the Issues in dispute; or if this cannot be accomplished, to define and narrow the issues to be heard by the court, and to enter into a temporary order. Failure to appear at the conference may provide grounds for entry of a temporary or permanent order. The court hereby directs the parties to furnish any and all existing Protection from Abuse orders, Special Relief orders, and Custody orders to the conciliator 48 hours prior to scheduled hearinLy. FOR THE COURT, By: /s/ Hubert X. G#roy Esp. . Custody Conciliator The Court of Common Pleas of'Cumberland County is required by law to comply with the Americans with Disabilites Act of 1990. For information about accessible facilities and reasonable accommodations available to disabled individuals having business before the court, please contact our office. All arrangements must be made at least 72 hours prior to any hearing or business before the court. You must attend the scheduled conference or hearing. YOU SHOULD TAKE THIS PAPER TO YOUR ATTORNEY AT ONCE. IF YOU DO NOT HAVE AN ATTORNEY 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 THF 2010 JAN 14 PH 2: G 8 Cum is`>iY y iANE ADAMS ATTORNEY AT LAW Attorney I.D. No. 79465 17 W. South St. Carlisle, Pa. 17013 (717) 245-8508 esgadams@gmail.com TERRY DEITCH, V. BRIDGET A. DEITCH, 2010 FFB -2 A It 01: 2 IN THE COURT OF COMMON PLEAS Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA : NO. 2010 - 291 CIVIL TERM IN CUSTODY Defendant CERTIFICATE OF SERVICE I, Jane Adams, Esquire, do hereby certify that on January 23, 2010 1 served a true and correct copy of the NOTICE TO DEFEND and DIVORCE COMPLAINT, in the above-captioned matter upon the following individual(s) by certified mail, restricted, return receipt requested, addressed as follows: Bridget A. Deitch 500 Carlisle Road ¦ complete items 1, 2, and 3. Also oompk to A. pyndwe Item 4 If Restricted DdWery Is deeWOCL X Newvllle, Pa. 17241 at Pft your nerne and address on the reverse DEFENDANT so that we can return the card to you. Reoelved by ¦ Aomh this card to the back of the meloieoe, or an the front If space permits. PFP,d 1. ArecM? Addressed to: N YES, &ter Sr i d8k?- . ?e r h Sao Car IIS1e 12cx ct NPR I' le,PA Maui AS PBPM Mw 0 RrOMwi 0 MUM Receipttar Maotwxlw 0 h"W Md 0 bos. 4. Reetrl AW ©elw V? fhftFby Ski bis L Ailds Number 7008 1830 0003 5941 9639 Mrrellrr ftm ssrvw AMW Pa Form 3811, February 2004 Domestic Retisn Receipt - ,geMS oeM s 6w , Res0e Submitted: 07est e Adams, Esquire o.79465 South St. le, Pa. 17013 (717) 245-8508 ATTORNEY FOR PLAINTIFF 4=1LFC ,'? t JANE ADAMS 20 10 FEDs ATTORNEY AT LAW Attorney I.D. No. 79465 iy 17 W. South St. C ti`?'v Ytd''`s,. Carlisle, Pa. 17013 (717) 245-8508 esgadams@gmail.com TERRY DEITCH, .: IN THE COURT OF COMMON PLEAS Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA V. : NO. 2010 - 291 CIVIL TERM BRIDGET A. DEITCH, : IN CUSTODY Defendant CUSTODY STIPULATION WHEREAS, the parties, Terry Deitch, and Bridget A. Deitch, are the natural parents of one child, namely, Nathanial Deitch, born November 11, 1997, and WHEREAS, Father is represented by Jane Adams, Esquire, and Mother is self- represented, and WHEREAS, the parties have reached an agreement which they believe is in the best interest of their child; The parties hereby agree as follows: 1. Legal Custody. Father, Terry Deitch, and Mother, Bridget A. Deitch, shall have shared legal custody of their child, Nathanial Deitch, born November 11, 1997. The parties shall have an equal right to make all major non-emergency decisions affecting their Children's general well-being, including, but not limited to, all decisions regarding health, education, and religion. Pursuant to the terms of 23 Pa.C.S. §5309, each parent shall be entitled to all records and information pertaining to the children, including, but not limited to, medical, dental, religious, or school records, the residence address of the Children and of the other parent. To the extent one parent has possession of any such records or information, that parent shall be required to share the same, or copies thereof, with the other parent within such reasonable time as to make the records and information of reasonable use to the other parent. 2. Physical Custody. Mother and Father shall equally share physical custody of the child on a week-on, week-off basis, with each parent to have a full week of custody, on an alternating basis, year round. The exchange for the week-long period shall occur on Sunday. 3. Transportation. The parties shall share transportation for the exchanges. 4. Holidays: Major holidays with the children shall be alternated or divided between the parents as mutually agreed upon. 5. Neither party may say or do anything nor permit a third party to do or say anything that may estrange the children from the other party, or injure the opinion of the children as to the other party, or may hamper the free and natural development of the children's love and affection for the other party. To the extent possible, both parties shall not allow third parties to disparage the other parent in the presence of the children. 6. In the event of a medical emergency, the party with physical custody of the child at the time of the emergency shall handle said emergency and then notify the other party as soon as practicable after the emergency. 7. Telephone contact: Telephone contact between the child and the non- custodial parent shall be reasonable and liberal as agreed upon between the parties. 8. Each parent shall have two non-consecutive weeks (i.e., no more than seven days in a row) of vacation per year with the child. The requesting parent shall give the other parent 30 days advance notice of the requested time and this vacation week shall supersede the regular physical custody schedule. In the event the parties schedule conflicting vacations, the party first providing written notice shall have the choice of vacation. Prior to departure, the parties will provide each other with information regarding the intended vacation destination and a telephone number at which they can be reached during their vacation. The parties may expand this vacation time by mutual agreement. 9. An Order shall be entered pursuant to an agreement of the parties. The parties may modify the provisions of this Order by mutual consent. In the absence of mutual consent, the terms of this agreement and Order shall control. WITNESSETH: Witness Bri get A. D i ch, Mot er Date: a el)D 4wita Terry Deitc , Father Date: ! 1 r FEB 18 2010 TERRY DEITCH, V. BRIDGET A. DEITCH, Plaintiff Defendant IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA NO. 2010 - 291 CIVIL TERM IN CUSTODY ORDER / AND NOW, this day of 2010, having reviewed the attached agreement between the parties, it is hereby ORDERED and DECREED that the stipulation entered by the parties on February 8, 2010, shall be entered as an Order of Court. BY THE COURT: cc: Jane Adams, Esquire, for Plaintiff XxBridget A. Deitch, self-represented party ?opc es- rn? ? l?cC_ c? r= N C M CID :-;j j' j -7-1 ? 77 ti FIL?.G--C)??1CE JANE ADAMS 2010 FEB 17? B 4 6 . ATTORNEY AT LAW Attorney I.D. No. 79465 CL ??°?liY 17 W. South St. Carlisle, Pa. 17013 (717) 245-8508 esgadams@gmail.com TERRY DEITCH, : IN THE COURT OF COMMON PLEAS Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA V. : NO. 2010 - 291 CIVIL TERM BRIDGET A. DEITCH, : IN CUSTODY Defendant CUSTODY STIPULATION WHEREAS, the parties, Terry Deitch, and Bridget A. Deitch, are the natural parents of one child, namely, Nathanial Deitch, born November 11, 1997, and WHEREAS, Father is represented by Jane Adams, Esquire, and Mother is self- represented, and WHEREAS, the parties have reached an agreement which they believe is in the best interest of their child; The parties hereby agree as follows: 1. Legal Custody. Father, Terry Deitch, and Mother, Bridget A. Deitch, shall have shared legal custody of their child, Nathanial Deitch, born November 11, 1997. The parties shall have an equal right to make all major non-emergency decisions affecting their Children's general well-being, including, but not limited to, all decisions regarding health, education, and religion. Pursuant to the terms of 23 Pa.C.S. §5309, each parent shall be entitled to all records and information pertaining to the children, including, but not limited to, medical, dental, religious, or school records, the residence address of the Children and of the other parent. To the extent one parent has possession of any such records or information, that parent shall be required to share the same, or copies thereof, with the other parent within such reasonable time as to make the records and information of reasonable use to the other parent. 2. Physical Custody. Mother and Father shall equally share physical custody of the child on a week-on, week-off basis, with each parent to have a full week of custody, on an alternating basis, year round. The exchange for the week-long period shall occur on Sunday. 3. Transportation. The parties shall share transportation for the exchanges. 4. Holidays: Major holidays with the children shall be alternated or divided between the parents as mutually agreed upon. 5. Neither party may say or do anything nor permit a third party to do or say anything that may estrange the children from the other party, or injure the opinion of the children as to the other party, or may hamper the free and natural development of the children's love and affection for the other party. To the extent possible, both parties shall not allow third parties to disparage the other parent in the presence of the children. 6. In the event of a medical emergency, the party with physical custody of the child at the time of the emergency shall handle said emergency and then notify the other party as soon as practicable after the emergency. 7. Telephone contact: Telephone contact between the child and the non- custodial parent shall be reasonable and liberal as agreed upon between the parties. 8. Each parent shall have two non-consecutive weeks (i.e., no more than seven days in a row) of vacation per year with the child. The requesting parent shall give the other parent 30 days advance notice of the requested time and this vacation week shall supersede the regular physical custody schedule. In the event the parties schedule conflicting vacations, the party first providing written notice shall have the choice of vacation. Prior to departure, the parties will provide each other with information regarding the intended vacation destination and a telephone number at which they can be reached during their vacation. The parties may expand this vacation time by mutual agreement. 9. An Order shall be entered pursuant to an agreement of the parties. The parties may modify the provisions of this Order by mutual consent. In the absence of mutual consent, the terms of this agreement and Order shall control. WITNESSETH: Witness Brig get A. D i ch, Mot er i ' Date: al el)D Terry Deitch!, Father Date: i FEB 19 2010 TERRY DEITCH, IN THE COURT OF COMMON PLEAS OF Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA Plaintiff CIVIL ACTION - LAW v BRIDGET A. DEITCH, NO. 2010-291 c O -n ` Defendant IN CUSTODY ? i? : - M - N ?? ORDER AND NOW, this [ Q day of February, 2010, the Conciliator being advised the ppartiee have reached an agreement, the Conciliator relinquishes jurisdiction. Hubert X. Gilroy, E uire Custody Conciliato OM ~' LILAKIS Michelle L. Sommer, Esquire Attorney I.D. #: 93034 2 West High Street Carlisle, PA 17013 (717)249-0900 TERRY DEITCH, Plaintiff VS. BRIDGET A. DEITCH, Defendant 2010 J~.~L i 4 Pi°i ~~ t 4 w~ Cl!f~1 . , .. i ~I~f-Y . IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA NO. 10-291 - CNIL TERM ACTION IN DIVORCE TO THE PROTHONOTARY OF SAID COURT: Please enter my appearance on behalf of the Defendant, Bridget A. Deitch, in the above-captioned matter. D~T'E ~-~~~~~o Respectfully submitted, Michelle L. Sommer 2 West High Street Carlisle, PA 17013 (717) 249-0900 Attorney ID # 93034 . Aao~rr ~ %uruz.~xts, L.L.P. OM ~ LILAKIS i Michelle L. Sommer, Esquire Attorney I.D. #: 93034 2 West High Street Cazlisle, PA 17013 (717) 249-0900 TERRY DEITCH, Plaintiff/Respondent v. BRIDGET A. DEITCH, Defendant/Petitioner ~°i_~' j ~ >>Yav ~ oP it_ i 2~1~J~` l~ ir``'i ~~ is Cued L`'`~~ IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA NO. 10-291 - CNIL TERM ACTION IN DNORCE DEFENDe~rr ip>~~lrr•rrnNRR~4 PF.TTinN FnR Ai.i__M_(~1VY PEN'DENTE LITE AND NOW, this 14''' day of July, 2010, comes the Defendant/Petitioner, Bridget A. Deitch, by and through her attorney, Michelle L. Sommer, Esquire, and avers the following: 1. The Defendant/Petitioner is Bridget A. Deitch, an adult individual who currently resides at 500 Carlisle Road, Newville, Pennsylvania 17241. 2. The Plaintif£/Respondent is Terry Deitch, an adult individual who is currently resides at 88 Hilltop Lane; Newville, Pennsylvania 17241 and is represented by Jane Adams, Esquire, 17 W. South Street, Carlisle, Pennsylvania 17013. 3. On January 11, 2010, a Complaint in Divorce was filed herein on behalf of the Respondent 4. The Petitioner requires reasonable support to maintain herself adequately in accordance with the standard of living established during the marriage. 5. The Petitioner has been and will in the future be put to substantial expense in the prosecution of her claims herein, including the employment of counsel and the payment of costs and expenses related thereto and is unable to maintain herself during the pendency of this action, all of which Petitioner is unable to afford. 6. On, June 23, 2010, the Petitioner filed a Petition for Child Support with the Domestic Relations office at PACSES Case No. 010111756, Docket No. 00502 S 2010. 7. The Petitioner is requesting that her alimony pendente lite conference also be scheduled at the same time the Child Support Conference is scheduled in this matter. WHEREFORE, Petitioner respectfully requests that your Honorable Court issue an Order scheduling a Hearing herein in the Domestic Relations Section of this Court. Respectfully submitted, DATE ~~ 1y 10 ABOM ~ KUTULAKIS, L.L.P. ~~~ ~• Michelle L. Sommer, wire Supreme Court ID # 93034 2 West High Street Carlisle, PA 17013 (717) 249-0900 Attorney for Petitioner I, Bridget A. Deitch, verify that the statements made in this Petition for Alimony ~'endente Lite are true and correct to the best of my knowledge, information, and belief. I understand that false statements herein are made subject to-the penalties of 18 Pa.C.S. X4904 relating to unsworn falsification to authorities. Date ~~ Bridget A: Bitch AND NOW, this 14`'' day of July, 2010, I, Michelle L. Sommer, Esquire, of AsoNt & KUTULt1HIS, L.L.P., hereby certify that I did serve a true and correct copy of the foregoing Petition for Alimony Pendente Lite, upon the Respondent by depositing, or causing to be deposited, same in the United States Mail, First-class mail, postage prepaid addressed to the following: Jane Adams, Esquire 17 W. South Street Carlisle, PA 17013 Attorney for Respondent DATE ~' I ~~ I ~ D Respectfully submitted, Aao~r ~ KuruzAxrs, L.L.P. V Michelle L. Somme , squire Supreme Court ID No. 93034 2 West High Stteet Carlisle, PA 17013 (717) 249-0900 Attorney for Petitioner TERRY DEITCH, v. BRIDGET A. DEITCH, AND NOS, Petition fox Alimony their respective counsel the 21st day of IN THE COURT OF COMMON PLEAS ~ondent CUMBERLAND COUNTY, PENI~YL~NI~ ~~ NO. 10-291 - CNIL TERM -~~ `;' ; ~~ ;- _~~, ACTION IN DNORCE G~ ,.~ .. _ _. etitioner -`~' ~`' _ ' - _ _. ; ~~-~_ ~.~ ~~' . . ORDER ~,' ..; 15fih day of ,~,i ~_, 2010, upon consideration of the attached Iite, it is hereby ORDERED and DIRECTED that the parties and before at the Cumberland County Domestic Relation's Office, on 2010, for a Conference at 13 North Hanover Street, Carlisle, Pennsylvania 17013, after which the conference officer may recommend that an Order for Alimony Pendente Lite t This Conference scheduled Conference fo entered. The conference will be held at 10:30AM. Alimony Pendente Lite will be held on the same day as the previously ild Support, PACSES Case No. 010111756, Docket No. 00502 S 2010. BY THE CgJU~T, ~~ J.~~Wesley Oler, Jr. , J' Distribution• Michelle L. Sommer, 2 West High Street Carlisle, PA 17013 Attorney for Petitioner Jane Adams, Esquire 17 W. South Street Carlisle, PA 17013 Attorney for Ke.~ondent DRO: R.J. Shadday TERRY DEITCH, IN THE COURT OF COMMON PLEAS OF Plaintiff/Respondent CUMBERLAND COUNTY, PENNSYLVANIA VS. CIVIL ACTION -DIVORCE c =~- r ---r NO. 10-291 CIVIL TERM - ~, ~_~ BRIDGET A. DEITCH, IN DIVORCE c Defendant/Petitioner PACSES CASE: 318111795 --- - ORDER OF COURT -" ~ ~ -- :.~.~ c~, C:- AND NOW, this 21st day of July, 2010, based upon the Court's determination that the Petitioner's monthly net income/earning capacity is $ 1,476.72 and the Respondent's monthly net income/earning capacity is $ 3,193.25 , it is hereby ordered that the Respondent pay to the Pennsylvania State Collection and Disbursement Unit Three Hundred Forty-two and 00/100 Dollars ($ 342.00) per month payable weekly as follows: $ 311.00 per month for Alimony Pendente Lite and $ 31.00 per month on arrears. First payment due: in accordance with Respondent's pay schedule. The effective date of the order is July 14, 2010. Arrears set at $ 184.04 as of July 21, 2010. Failure to make each payment on time and in full will cause all arrears to become subject to immediate collection by all of the means as provided by 23 Pa.C.S.§ 3703. Further, if the Court finds, after hearing, that the Respondent has willfully failed to comply with this Order, it may declare the Respondent in civil contempt of Court and, at its discretion, make an appropriate Order, including, but not limited to, commitment of the Respondent to prison for a period not to exceed six months. Said money to be turned over by the PA SCDU to: Bridget A. Deitch. Payments must be made by check or money order. All checks and money orders must be made payable to PA SCDU and mailed to: PA SCDU P.O. Box 69110 Harrisburg, PA 17106-9110 Payments must include the Respondent's name with their PACSES Member Number or Social Security Number in order to be processed. Do not send cash by mail. cc360 The monthly support obligation includes cash medical support in the amount of $250 annually for unreimbursed medical expenses incurred for each child and/or spouse. Unreimbursed medical expenses of the obligee or children that exceed $250 annually shall be allocated between the parties. The party seeking allocation of unreimbursed medical expenses must provide documentation of expenses to the other party no later than March 31 S` of the year following the calendar year in which the final medical bill to be allocated was received. The unreimbursed medical expenses are to be paid as follows: 0 % by Respondent and 100 % by Petitioner. [X] Respondent [] Petitioner [] Neither party to provide medical insurance coverage. Within thirty (30) days after the entry of this order, the [] Petitioner [X] Respondent shall submit written proof that medical insurance coverage has been obtained or that application for coverage has been made. Proof of coverage shall consist, at a minimum, of: 1) the name of the health care coverage provider(s); 2) any applicable identification numbers; 3) any cards evidencing coverage; 4) the address to which claims should be made; 5) a description of any restrictions on usage, such as prior approval for hospital admissions, and the manner of obtaining approval; 6) a copy of the benefit booklet or coverage contract; 7) a description of all deductibles and co-payments; and 8) five copies of any claim forms. Other conditions: This Order considers that the Respondent has a child support obligation under PACSES Case # 010111756. This Order shall become final twenty (20) after the mailing of the notice of the entry of the Order to the parties unless either party files a written demand with the Prothonotary for a hearing de novo before the Court. Consented: Petitioner Respondent Petitioner's Attorney Respondent's Attorney Mailed copies on:J~L 2 3 210 DRO: R. J. Shadday to: Petitioner Respondent Michele L. Sommer, Esq. Jane Adams, Esq. BY THE COURT, J. ORDER/NOTICE TO WITHHOLD INCOME FOR SUPPORT 10-291 CIVIL OOriginal Order/Notice State Commonwealth of Pennsy vania 010111756 OAmended Order/Notice Co./City/Dist. of CUMBERLAND 502 S 2010 Date of Order/Notice 07/21/10 OTerminate Order/Notice Case Number (See Addendum for case summary) QOne-Time Lump Sum/Notice RE: DEITCH, TERRY E . Employer/Withholder's Federal EIN Number Employee/Obligor's Name (Last, First, Mp 177-42-1850 Employee/Obligor's Social Security Number VOLVO BUSINESS SERVICES 0588102283 C/O HR SERVICE CENTER Employee/Obligor's Case Identifier DR 2 (See Addendum for plaintiff names 7900 NATIONAL SERVICE RD associated with cases on attachment) GREENSBORO NC 27409-9416 Custodial Parent's Name (Last, First, Mp See Addendum for dependent names and birth dates associated with cases on attachment. ORDER INFORMATION: This is an Order/Notice to Withhold Income for Support based upon an order for support from CUMBERLAND County, Commonwealth of Pennsylvania. By law, you are required to deduct these amounts from the above-named employee's/obligor's income until further notice even if the Order/Notice is not issued by your State. $ 422 . oo per month in current child support $ 42 . oo per month in past-due child support Arrears 12 weeks or greater Qyes ®no $ o . oo per month in current medical support _ t-- ~.~ $ o . oo per month in past-due medical support ~~ ~?~ $ iii. oo per month in current spousal support ~' .~ ~,:-.. $ o.oo per month in past-due spousal support - ~~= -':nom $ o . oo per month for genetic test costs ~ --: $ o . oo per month in other (specify) _ "~' $ one-time lump sum payment ._.. _,-, for a total of $ 775.00 per month to be forwarded to payee below. ~- You do not have to vary your pay cycle to be incompliance with the support order. If your pay cycle rf"oes rtot mat the ordered support payment cycle, use the following to determine how much to withhold: $ 178.85 per weekly pay period. $ 387.50 per semimonthly pay period (twice a month) $ 357.69 per biweekly pay period (every two weeks) $ 775 • oo per monthly pay period. REMITTANCE INFORMATION: You must begin withholding no later than the first pay period occurring ten (10) working days after the date of this Order/Notice. Send payment within seven (7) working days of the paydate/date of withholding. You are entitled to deduct a fee to defray the cost of withholding. Refer to the laws governing the work state of your employee for the allowable amount. The total withheld amount, and your fee, cannot exceed 55% of the employee's/ obligor's aggregate disposable weekly earnings. For the purpose of the limitation on withholding, the following information is needed (See #9 on page 2). Pennsylvania law (23 PA C.S. § 4374(b)) requires remittance by an electronic payment method if an employer is ordered to withhold income from more than one employee and employs 15 or more persons, or if an employer has a history of two or more returned checks due to nonsufficient funds. Please call the Pennsylvania State Collections and Disbursement Unit (PA SCDU) Employer Customer Service at 1-877-676-9580 for instructions. PA FIPS CODE 42 000 00 Make Remittance Payable to: PA SCDU Send check to: Pennsylvania SCDU, P.O. Box 69112, Harrisburg, Pa 17106-9112 IN ADDITJON, PAYMENTS MUST INCLUDE THE DEFENDANT'S NAME AND THE PACSES MEMBER 1D (shown above as the Employee/Obligor's Case Identif'er) R SOCIAL CURITY MBER /N ORDER TO BE PROCESSED. DO NOT SEND CASH BY MALI. BY THE COURT: ,~ ~ ~, ~ _ ~ _ Z DRO: R.J. Shadday ~WesYey/ Oler, Jr. , Judge Form EN-028 Rev.S Worker I D $ IATT Service Type M ornsNo.:09~o-oisa ADDITIONAL INFORMATION TO EMPLOYERS AND OTHER WITHHOLDERS ~ If hecke~ you are required, to provide a opy of this form to your. m loyee. If your employee works in a state that is di~ferent from the state that issued this or~er, a copy must be provideedpto your employee even if the box is not checked. 1. Priority: Withholding under this Order/Notice has priority over any other legal process under State law against the same income. Federal tax levies in effect before receipt of this order have priority. If there are Federal tax levies in effect please contact the requesting agency listed below. 2. Combining Payments: You can combine withheld amounts from more than one employee/obligor's income in a single payment to each agency requesting withholding. You must, however, separately identify the portion of the single payment that is attributable to each employee/obligor. 3.* Reporting the Paydate/Date of Withholding: You must report the paydate/date of withholding when sending the payment. The paydate/date of withholding is the date on which amount was withheld from the employee's wages. You must comply with the law of the state of the employee's/obligor's principal place of employment with respect to the time periods within which you must implement the withholding order and forward the support payments. 4.* Employee/Obligor with Multiple Support Holdings: If there is more than one Order/Notice to Withhold Income for Support against this employee/obligor and you are unable to honor all support Order/Notices due to Federal or State withholding limits, you must follow the law of the state of employee's/obligor's principal place of employment. You must honor all Orders/Notices to the greatest extent possible. (See #9 below) 5. Termination Notification: You must promptly notify the Requesting Agency when the employee%bligor is no longer working for you. Please provide the information requested and return a copy of this Order/Notice to the Agency identified below. 2904100255 THE PERSON HAS NEVER WORKED FOR THIS EMPLOYER : D THE EMPLOYEE/OBLIGOR NO LONGER WORKS FOR: ~ EMPLOYEE'S/OBLIGOR'S NAME:DEITCH EMPLOYEE'S CASE IDENTIFIER: 0588102283 LAST KNOWN HOME ADDRESS: DATE OF SEPARATION LAST KNOWN PHONE NUMBER: FINAL PAYMENT AMOUNT NEW EMPLOYER'S NAME/ADDRESS: 6. Lump Sum Payments: You may be required to report and withhold from lump sum payments such as bonuses, commissions, or severance pay. If you have any questions about lump sum payments, contact the person or authority below. 7. Liability: If you fail to withhold income as the Order/Notice directs, you are liable for both the accumulated amount you should have withheld from the employee/obligor's income and other penalties set by Pennsylvania State law. Pennsylvania State law governs unless the obligor is employed in another State, in which case the law of the State in which he or she is employed governs. 8. Anti-discrimination: You are subject to a fine determined under State law for discharging an employee%bligor from employment, refusing to employ, or taking disciplinary action against any employee/obligor because of a support withholding. Pennsylvania State law governs unless the obligor is employed in another State, in which case the law of the State in which he or she is employed governs. 9.* Withholding Limits: You may not withhold more than the lesser of: 1) the amounts allowed by the Federal Consumer Credit Protection Act (CCPA) (15 U.S.C. 1673 (b)); or 2) the amounts allowed by the State or Tribe of the employee's/obligor's principal place of employment. Disposable income is the net income left after making mandatory deductions such as: State, Federal, local taxes, Social Security taxes, statutory pension contributions and Medicare taxes. The Federal limit is 50% of the disposable income if the obligor is supporting another family and 60% of the disposable income if the obligor is not supporting another family.However, that 50% limit is increased to 55% and that 60°/° limit is increased to 65% if the arrears are greater than 12 weeks. If permitted by the State, you may deduct a fee for administrative costs. The support amount and the fee may not exceed the limit indicated in this section. Arrears greater than 12 weeks : If the Order Information does not indicate whether the arrears are greater than 12 weeks, then the employer should calculate the CCPA limit using the lower percentage. For Tribal orders, you may not withhold more than the amounts allowed under the law of the issuing Tribe. For Tribal employers who receive a State order, you may not withhold more than the lesser of the limit set by the law of the jurisdiction in which the employer is located or the maximum amount permitted under section 303(d) of the CCPA (15 U.S.C. 1673 (b)). Depending upon applicable State law, you may need to take into consideration the amounts paid for health care premiums in determining disposable income and applying appropriate withholding limits. 10. Additional info: * NOTE: If you or your agent are served with a copy of this order in the state that issued the order, you are to follow the law of the state that issued this order with respect to these items. 1 t .Send Termination Notice and other correspondence to: If you or your employee/obligor have any questions, DOMESTIC RELATIONS SECTION contact WAGE ATTACHMENT UNIT 13 N. HANOVER ST by telephone at (717) 240-6225 or P.O. BOX 320 by FAX at (717) 240-6248 or CARLISLE PA 17013 by Internet www.childsupport.state.pa.us Service Type M TERRY E Page 2 of 2 OMB No.: 0970-015-0 Form EN-028 Rev.5 Worker ID $IATT ADDENDUM Summary of Cases on Attachment Defendant/Obligor: DEITCH, TERRY E . PACSES Case Number 010111756 PACSES Case Number 318111795 Plaintiff Name Plaintiff Name BRIDGET A. DEITCH BRIDGET A. DEITCH Docket Attachment Amount Docket Attachment Amount 00502 S 2010 $ 464.00 10-291 CIVIL $ 311.00 Child(ren)'s Name(s): DOB Child(ren)'s Name(s): DOB NATHANIAL C. DEITCH 11/11/97 PACSES Case Number Plaintiff Name Docket Attachment Amount $ o.oo Child(ren)'s Name(s): DOB PACSES Case Number Plaintiff Name Docket Attachment Amount $ o.oo Child(ren)'s Name(s): DOB Service Type M Addendum OMB No.: 0970.0154 PACSES Case Number Plaintiff Name Docket Attachment Amount g o.oo Child(ren)'s Name(s): DOB PACSES Case Number Plaintiff Name Docket Attachment Amount $ o.oo Child(ren)'s Name(s): DOB Form EN-028 Rev.5 Worker I D $ IATT k '~ ORDER/NOTICE TO WITHHOLD INCOME FOR SUPPORT State Commonwealth of Pennsylvania Co./City/Dirt. Of CUMBERLAND Date of Order/Notice os/02/10 Case Number (See Addendum for case summary) Employer/Withholder's Federal EIN Number VOLVO BUSINESS SERVICES 0588102283 C/O HR SERVICE CENTER Employee/Obligor's Case Identifier DR 2 (See Addendum for plaintiff names 7900 NATIONAL SERVICE RD associated with cases onattacbment) GREENSBORO NC 27409-9416 Custodial Parent's Name (Last, First, MQ See Addendum for dependent names and birth dates associated with cases on attachment. ORDER INFORMATION: This is an Order/Notice to Withhold Income for Support based upon an order for support from CUMBERLAND County, Commonwealth of Pennsylvania. By law, you are required to deduct these amounts from the above-named employee's/obligor's income until further notice even if the Order/Notice is not issued by your State. $ $ 422 . oo per month in current child support reaten' ort Arrears 12 weeks or hild s e th i t d ~ ~-~ ~ ces ~ na'~~. 42. oo g r mon n pas - ue c upp p ~ $ o . oo per month in current medical support - _t i-: __~ =" ~ ~ $ o . oo per month in past-due medical support : _, , S` .~ _ !~, $ iii. oo per month in current spousal support f ~ ~ $ $ 31. oo per month in past-due spousal support er month for enetic test costs - . ~ -^ o . oo g p ~ ~" $ o . oo per month in other (specify) ~ ~., a $ one-time lump sum payment °" ' ~-t ~ .ri ~ ~. for a total of $ So6.00 per month to be forwarded to payee below. You do not have to vary your pay cycle to be incompliance with the support order. If your pay cycle does not match the ordered support payment cycle, use the following to determine how much to withhold: $ 186.00 Per weekly pay period. $ 403 . oo per semimonthly pay period (twice a month) $ 372.00 per biweekly pay period (every two weeks) $ sob . oo per monthly pay period. REMITTANCE INFORMATION: You must begin withholding no later than the first pay period occurring ten (10) working days after the date of this Order/Notice. Send payment within seven (7) working days of the paydate/date of withholding. You are entitled to deduct a fee to defray the cost of withholding. Refer to the laws governing the work state of your employee for the allowable amount. The total withheld amount, and your fee, cannot exceed 55% of the employee's/ obligor's aggregate disposable weekly earnings. For the purpose of the limitation on withholding, the following information is needed (See #9 on page 2). Pennsylvania law (23 PA C.S. § 4374(b)) requires remittance by an electronic payment method if an employer is ordered to withhold income from more than one employee and employs 15 or more persons, or if an employer has a history of two or more returned checks due to nonsufficient funds. Please call the Pennsylvania State Collections and Disbursement Unit (PA SCDU) Employer Customer Service at 1-877-676-9580. for instructions. PA FIPS CODE 42 000 00 Make Remittance Payable to: PA SCDU Send check to: Pennsylvania SCDU, P.O. Box 69112, Harrisburg, Pa 17106-9112 IN ADDITION, PAYMENTS MUST INCLUDE THE DEFENDANT'S NAME AND THE PACSES MEMBER ID (shown above as the Employee/Obligor's Case Identifiej) j R SOC/AL,,,B't¢C / 1 Y NUMBER IN ORDER TO BE PROCESSED. DO NOT SEND CASH BY MAIL. ~ ~ /' ~ 010111756 502 S 2010 RE:DEITCH, TERRY E. Empfoyee/Obligor's Name (Last, First, MI) 177-42-1850 Employee/Obligor's Social Security Number 10-291 CIVIL OOrigina) Order/Notice OAmended Order/Notice OTerminate Order/Notice (One-Time Lump Sum/Notice BY THE COURT: DRO: R.J. Shac7day J. WJe~y Ol~r, Jr. , Form EN-028 Rev.S Worker I D $ IATT Service Type M (/ OMB No.: 0970-O15J ADDITIONAL INFORMATION TO EMPLOYERS AND OTHER WITHHOLDERS If ~hecke~i you are required, to provide a~opy of this form to your~mployee. If yo~r employee vyorks in a state that is di Brent rrom the state that issued this or er, a copy must be provi edd to your emp ogee even if the box is not checked 1. Priority: Withholding under this Order/Notice has priority over any other legal process under State law against the same income. Federal tax levies in effect before receipt of this order have priority. If there are Federal tax levies in effect please contact the requesting agency listed below. 2. Combining Payments: You can combine withheld amounts from more than one employee%bligor's income in a single payment to each agency requesting withholding. You must, however, separately identify the portion of the single payment that is attributable to each employee/obligor. 3.* Reporting the Paydate/Date of Withholding: You must report the paydate/date of withholding when sending the payment. The paydate/date of withholding is the date on which amount was withheld from the employee's wages. You must comply with the law of the state of the employee's/obligor's principal place of employment with respect to the time periods within which you must implement the withholding order and forward the support payments. 4.* Employee/Obligor with Multiple Support Holdings: If there is more than one Order/Notice to Withhold Income for Support against this employee/obligor and you are unable to honor all support Order/Notices due to Federal or State withholding limits, you must follow the law of the state of employee's/obligor's principal place of employment. You must honor all Orders/Notices to the greatest extent possible. (See #9 below) 5. Termination Notification: You must promptly notify the Requesting Agency when the employee%bligor is no longer working for you. Please provide the information requested and return a copy of this Order/Notice to the Agency identified below. 2904100255 THE PERSON HAS NEVER WORKED FOR THIS EMPLOYER : O THE EMPLOYEE/OBLIGOR NO LONGER WORKS FOR: O EMPLOYEE'S/OBLIGOR'S NAME:DEITCH, TERRY E. EMPLOYEE'S CASE IDENTIFIER: 0588102283 DATE OF SEPARATION: LAST KNOWN HOME ADDRESS: LAST KNOWN PHONE NUMBER: FINAL PAYMENT AMOUNT. NEW EMPLOYER'S NAMElADDRESS: 6. Lump Sum Payments: You may be required to report and withhold from lump sum payments such as bonuses, commissions, or severance pay. If you have any questions about lump sum payments, contact the person or authority below. 7. Liability: If you fail to withhold income as the Order/Notice directs, you are liable for both the accumulated amount you should have withheld from the employee%bligor's income and other penalties set by Pennsylvania State law. Pennsylvania State law governs unless the obligor is employed in another State, in which case the law of the State in which he or she is employed governs. 8. Anti-discrimination: You are subject to a fine determined under State law for discharging an employee%bligor from employment, refusing to employ, or taking disciplinary action against any employee%bligor because of a support withholding. Pennsylvania State law governs unless the obligor is employed in another State, in which case the .law of the State in which he or she is employed governs. 9.* Withholding Limits: You may not withhold more than the lesser of: 1) the amounts allowed by the Federal Consumer Credit Protection Act (CCPA) (15 U.S.C. 1673 (b)); or 2) the amounts allowed by the State or Tribe of the employee's/obligor's principal place of employment. Disposable income is the net income left after making mandatory deductions such as: State, Federal, local taxes, Social Security taxes, statutory pension contributions and Medicare taxes. The Federal limit is 50% of the disposable income if the obligor is supporting another family and 60% of the disposable income if the obligor is not supporting another family.However, that 50% limit is increased to 55% and that 60% limit is increased to 65% if the arrears are greater than 12 weeks. If permitted by the State, you may deduct a fee for administrative costs. The support amount and the fee may not exceed the limit indicated in this section. Arrears greater than 12 weeks : If the Order Information does not indicate whether the arrears are greater than 12 weeks, then the employer should calculate the CCPA limit using the lower percentage. For Tribal orders, you may not withhold more than the amounts allowed under the law of the issuing Tribe. For Tribal employers who receive a State order, you may not withhold more than the lesser of the limit set by the law of the jurisdiction in which the employer is located or the maximum amount permitted under section 303(d) of the CCPA (15 U.S.C. 1673 (b)). Depending upon applicable State law, you may need to take into consideration the amounts paid for health care premiums in determining disposable income and applying appropriate withholding limits. 10. Additional info: *NOTE: If you or your agent are served with a copy of this order in the state that issued the order, you are to follow the law of the state that issued this order with respect to these items. 11. Send Termination Notice and other correspondence to: DOMESTIC RELATIONS SECTION If you or your employee/obligor have any questions, contact WAGE ATTACHMENT UNIT 13 N. HANOVER ST by telephone at (717) 240-6225 or P.O. BOX 320 by FAX at (717) 240-6248 or CARLISLE PA 17013 by Internet www.childsupport.state.pa.us Page 2 of 2 Form EN-028 Rev.S Service Type M OMBNO.:0970.0154 Worker ID $IATT ADDENDUM Summary of Cases on Attachment Defendant/Obligor: DEITCH, TERRY E . PACSES Case Number 010111756 PACSES Case Number 318111795 Plaintiff Name Plaintiff Name BRIDGET A. DEITCH BRIDGET A. DEITCH Docket Attachment Amount Docket Attachment Amount 00502 S 2010 $ 464.00 10-291 CIVIL $ 342.00 Child(ren)'s Name(s): DOB Child(ren)'s Name(s): DOB NATHANIAL C. DEITCH 11/11/97 PACSES Case Number Plaintiff Name Docket Attachment Amount $ o.oo Child(ren)'s Name(s): PACSES Case Number Plaintiff Name Docket Attachment Amount $ o.oo Child(ren)'s Name(s): Service Type tv( PACSES Case Number Plaintiff Name Docket Attachment Amount $ o.oo DOB Child(reN's Name(s): DOB PACSES Case Number Plaintiff Name Docket Attachment Amount $ o.oo DOB Child(ren)'s Name(s): DOB Addendum Form EN-028 Rev.S OMB NO.: 0970.0154 Worker I D $ IATT iANE ADAMS ATTORNEY AT LAW ~~~ =' Attorney LD. No. 79465 ~ ' ~- ' ' 17 W. South St. ~ l' ~~ Carlisle, Pa. 17013 1 ~i ~ ~ F u ~ ~ r `. ~ f ~ ~ :: (717) 245-8508 ~jJ(r ~( ~M esgadamsQ~mail.com G't~" ,,,;,_ _ '.?~'` :~. TERRY DEITCH, : IN THE COURT OF COMMON PLEAS Plaintiff :CUMBERLAND COUNTY, PENNSYLVANIA V. : NO. 2010 - 291 CIVIL TERM BRIDGET A. DEITCH, : IN DIVORCE Defendant : PACSES CASE: 318111795 REQUEST FOR A HEARING DE NOVO To the Prothonotary/Domestic Relations: Plaintiff, Respondent, Terry Deitch, requests a hearing De Novo regarding Alimony Pendente Lite. ~•~ ~ I fo I to Respectfully Submitted: J Adams, Esquire .D No. 79465 17 est South St. C lisle, Pa. 17013 17)245-8508 ATTORNEY FOR RESPONDENT TERRY DEITCH Cop y ~ ~~D In the Court of Common Pleas of CUMBERLAND County, Pennsylvania DOMESTIC RELATIONS SECTION BRIDGET A. DEITCH, ) Docket Number 2010-291 CIVIL Defendant/Petitioner ) VS. ) PACSES Case Number 318111795 TERRY E. DEITCH, ) Other State ID Number Plaintiff/Respondent ) ORDER OF COURT You, Terry E. Deitch, of 88 Hilltop Lane, Newville, Pennsylvania are ordered to appear at the DOMESTIC RELATIONS hearing room, c/o Hearing Room, DOMESTIC RELATIONS OFFICE, 13 North Hanover Street, Carlisle, Pennsylvania 17013 on the 16`h of September, 2010, at 8:30 a.m. for a hearing. You are further required to bring to the hearing: 1. a true copy of your most recent Federal Income Tax Return, including W-2s, as filed, 2. your pay stubs for the preceding six (6) months, 3. the Income Statement and the appropriate Expense Statement, if required, attached to this order, completed as required by Rule 1910.11(c), 4. verification of child care expenses and, 5. proof of medical coverage which you may have, or may have available to you, 6. information relating to professional licenses, 7. other: z w ?, bI o for . 1 DEITCH V. DEITCH PACSES Case Number 318111795 If you fail to appear for the hearing or to bring the required documents, the court may issue a warrant for your arrest and/or enter an interim Support order. THE APPROPRIATE COURT OFFICER MAY ENTER AN ORDER AGAINST EITHER PARTY BASED UPON THE EVIDENCE PRESENTED WITHOUT REGARD TO WHICH PARTY INITIATED THE SUPPORT ACTION. BY THE COURT: Date of Order: U, p P IIJI, Oler, Jr , . JUDGE jesley- YOU HAVE THE RIGHT TO A L YER, WHO MAY ATTEND THE HEARING AND REPRESENT YOU. IF YOU DO NOT HAVE A LAWYER, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW. THIS OFFICE CAN PROVIDE YOU WITH INFORMATION ABOUT HIRING A LAWYER. IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE TO PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE. Cumberland County Bar Association 32 Bedford Street Carlisle, PA 17013-3302-32 (717) 249-3166 AMERICANS WITH DISABILITIES ACT OF 1990 The Court of Common Pleas of Cumberland County is required by law to comply with the Americans with Disabilities Act of 1990. For information about accessible facilities and reasonable accommodations available to disabled individuals having business before the Court, please contact our office at (717)240-6225. All arrangements must be made at least 72 hours prior to any hearing or business before the court. You must attend the scheduled hearing. CM-509 In the Court of Common Pleas of CUMBERLAND County, Pennsylvania DOMESTIC RELATIONS SECTION BRIDGET A. DEITCH, ) Docket Number 2010-291 CIVIL Defendant/Petitioner ) VS. ) PACSES Case Number 318111795 TERRY E. DEITCH, ) Other State ID Number Plaintiff/Respondent ) ORDER OF COURT You, Bridget A. Deitch, of 500 Carlisle Road, Newville, Pennsylvania are ordered to appear at the DOMESTIC RELATIONS hearing room, c/o Hearing Room, DOMESTIC RELATIONS OFFICE, 13 North Hanover Street, Carlisle, Pennsylvania 17013 on the 16th of September, 2010, at 8:30 a.m. for a hearing. You are further required to bring to the hearing: 1. a true copy of your most recent Federal Income Tax Return, including W-2s, as filed, 2. your pay stubs for the preceding six (6) months, 3. the Income Statement and the appropriate Expense Statement, if required, attached to this order, completed as required by Rule 1910.11(c), 4. verification of child care expenses and, 5. proof of medical coverage which you may have, or may have available to you, 6. information relating to professional licenses, 7. other: ¦ _ , - DEITCH V. DEITCH PACSES Case Number 318111795 If you fail to appear for the hearing or to bring the required documents, the court may issue a warrant for your arrest and/or enter an interim Support order. THE APPROPRIATE COURT OFFICER MAY ENTER AN ORDER AGAINST EITHER PARTY BASED UPON THE EVIDENCE PRESENTED WITHOUT REGARD TO WHICH PARTY INITIATED THE SUPPORT ACTION. Date of Order: u ( V BY THE COURT: J. esley Oler, Jr., J. JUDGE YOU HAVE THE RIGHT TO A LAWYER, WHO MAY ATTEND THE HEARING AND REPRESENT YOU. IF YOU DO NOT HAVE A LAWYER, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW. THIS OFFICE CAN PROVIDE YOU WITH INFORMATION ABOUT HIRING A LAWYER. IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE TO PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE. Cumberland County Bar Association 32 Bedford Street Carlisle, PA 17013-3302-32 (717) 249-3166 AMERICANS WITH DISABILITIES ACT OF 1990 The Court of Common Pleas of Cumberland County is required by law to comply with the Americans with Disabilities Act of 1990. For information about accessible facilities and reasonable accommodations available to disabled individuals having business before the Court, please contact our office at (717)240-6225. All arrangements must be made at least 72 hours prior to any hearing or business before the court. You must attend the scheduled hearing. CM-509 In the Court of Common Pleas of CUMBERLAND County, Pennsylvania DOMESTIC RELATIONS SECTION BRIDGET A. DEITCH, Defendant/Petitioner vs. TERRY E. DE ITCH, Plaintiff/Respondent Docket Number PACSES Case Number Other State I D Number ORDER OF COURT 2010-291 CIVIL 318111795 You, Terry E. Deitch, of 88 Hilltop Lane, Newville, Pennsylvania are ordered to appear at the DOMESTIC RELATIONS hearing room. c/o Hearing Room, DOMESTIC RELATIONS OFFICE, 13 North Hanover Street, '.? <L' x• r c? N Cn -v z N Carlisle. Pennsylvania 17013 on the 29th`' of September, 2010, at 8:30 a.m. for a hearing. This date replaces the previous hearing date of September 16`', 2010. You are further required to bring to the hearing: I . a true copy of your most recent Federal Income Tax Return, including W-2s. as tiled, 2. your pay stubs for the preceding six (6) months, 3. the Income Statement and the appropriate Expense Statement, if required, attached to this order, completed as required by Rule 1910.11(c), 4. verification of child care expenses and, 5. proof of medical coverage which you may have. or may have available to you, 6. information relating to professional licenses, 7. other: .3, c DEITCH V. DEITCH PACSES Case Number 318111795 If you fail to appear for the hearing or to bring the required documents, the court may issue a warrant for your arrest and/or enter an interim Support order. THE APPROPRIATE COURT OFFICER MAY ENTER AN ORDER AGAINST EITHER PARTY BASED UPON THE EVIDENCE PRESENTED WITHOUT REGARD TO WHICH PARTY INITIATED THE SUPPORT ACTION. BY THE COURT: Date of Order: 4 y Z T7 010 J esley Oler, ., J. JUDGE YOU HAVE THE RIGHT TO A LAWYER, WHO MAY ATTEND THE HEARING AND REPRESENT YOU. IF YOU DO NOT HAVE A LAWYER, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW. THIS OFFICE CAN PROVIDE YOU WITH INFORMATION ABOUT HIRING A LAWYER. IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE TO PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE. Cumberland County Bar Association 32 Bedford Street Carlisle, PA 17013-3302-32 (717) 249-3166 AMERICANS WITH DISABILITIES ACT OF 1990 The Court of Common Pleas of Cumberland County is required by law to comply with the Americans with Disabilities Act of 1990. For information about accessible facilities and reasonable accommodations available to disabled individuals having business before the Court, please contact our office at (717)240-6225. All arrangements must be made at least 72 hours prior to any hearing or business before the court. You must attend the scheduled hearing. CM-509 In the Court of Common Pleas of CUMBERLAND County, Pennsylvania DOMESTIC RELATIONS SECTION BRIDGET A. DEITCH, Defendant/Petitioner vs. TERRY E. DEITCH, Plaintiff/Respondent Docket Number PACSES Case Number Other State ID Number 2010-291 CIVIL 318111795 C) t. ? cn :: cn c RESCHEDULING ORDER OF COURT You, Bridget A. Deitch, of 500 Carlisle Road, Newville, Pennsylvania are ordered to appear at the DOMESTIC RELATIONS hearing room. c/o Hearing Room, DOMESTIC RELATIONS OFFICE, 13 North Hanover Street, Carlisle, Pennsylvania 17013 on the 29`x' of September, 2010, at 8:30 a.m. for a hearing. This date replaces the hearing date previously scheduled for September 16th, 2010. You are further required to bring to the hearing: L a true copy of your most recent Federal Income Tax Return, including %V-2s, as tiled, 2. your pay stubs for the preceding six (6) months, 3. the Income Statement and the appropriate Expense Statement, if required, attached to this order, completed as required by Rule 1910.11(c), 4. verification of child care expenses and, 5, proof of medical coverage which you may have, or may have available to you, 6. information relating to professional licenses, 7. other: DEITCH V. DEITCH PACSES Case Number 318111795 If you fail to appear for the hearing or to bring the required documents, the court may issue a warrant for your arrest and/or enter an interim Support order. THE APPROPRIATE COURT OFFICER MAY ENTER AN ORDER AGAINST EITHER PARTY BASED UPON THE EVIDENCE PRESENTED WITHOUT REGARD TO WHICH PARTY INITIATED THE SUPPORT ACTION. BY THE COURT: Date of Order: 2. '1. 2 o/o J. Wesley Oler, Jr , JUDGE YOU HAVE THE RIGHT TO A LAWYER, WHO MAY ATTEND THE HEARING AND REPRESENT YOU. IF YOU DO NOT HAVE A LAWYER, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW. THIS OFFICE CAN PROVIDE YOU WITH INFORMATION ABOUT HIRING A LAWYER. IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE TO PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE. Cumberland County Bar Association 32 Bedford Street Carlisle, PA 17013-3302-32 (717) 249-3166 AMERICANS WITH DISABILITIES ACT OF 1990 The Court of Common Pleas of Cumberland County is required by law to comply with the Americans with Disabilities Act of 1990. For information about accessible facilities and reasonable accommodations available to disabled individuals having business before the Court, please contact our office at (717)240-6225. All arrangements must be made at least 72 hours prior to any hearing or business before the court. You must attend the scheduled hearing. CM-509 In the Court of Common Pleas of CUMBERLAND County, Pennsylvania DOMESTIC RELATIONS SECTION BRIDGET A. DEITCH, Defendant/Petitioner vs. TERRY E. DEITCH, PlaintifffRespondent } Docket Number } PACSES Case Number Other State ID Number ORDER OF COURT 2010-291 CIVIL 318111795 You, Terry E. Deitch, of 88 Hilltop Lane, Newville, Pennsylvania are ordered to appear at the DOMESTIC RELATIONS hearing room, c/o Hearing Room, DOMESTIC RELATIONS OFFICE, 13 North Hanover Street, Carlisle, Pennsylvania 17013 on the 25th of October, 2010, at 10:30 a.m. for a hearing. This date replaces the previous hearing date of September 29, 2010. You are further required to bring to the hearing: 1. a true copy of your most recent Federal Income Tax Return, including W-2s, as filed, 2. your pay stubs for the preceding six (6) months, 3. the Income Statement and the appropriate Expense Statement, if required, attached to this order, completed as required by Rule 1910.11(c), 4. verification of child care expenses and, 5. proof of medical coverage which you may have, or may have available to you, 6. information relating to professional licenses, 7. other: L-i ~ ~ ~ A ~ ~ "..$ `~T ~ 19~ ~..~ f~\ j wo .a6 r ~ ~C ~ n.. F I ~ ~ ~ ~ y ` 5.N In the Court of Common Pleas of CUMBERLAND County, Pennsylvania DOMESTIC RELATIONS SECTION BRIDGET A. DEITCH, ) Defendant/Petitioner ) vs. ) TERRY E. DEITCH, ) Plaintiff/Respondent ) Docket Number PACSES Case Number Other State ID Number RESCHEDULING ORDER OF COURT 2010-291 CIVIL 318111795 You, Bridget A. Deitch, of S00 Carlisle Road, Newville, Pennsylvania are ordered to appear at the DOMESTIC RELATIONS hearing room, c/o Hearing Room, DOMESTIC RELATIONS OFFICE, 13 North Hanover Street, Carlisle, Pennsylvania 17013 on the 25th of October, 2010, at 10:30 a.m. for a hearing. This date replaces the hearing date previously scheduled for September 29, 2410. You are further required to bring to the hearing: 1. a true copy of your most recent Federal Income Tax Return, including W-2s, as filed, 2. your pay stubs for the preceding six (6) months, 3. the Income Statement and the appropriate Expense Statement, if required, attached to this order, completed as required by Rule 1910.11(c), 4. verification of child care expenses and, 5. proof of medical coverage which you may have, or may have available to you, 6. information relating to professional licenses, 7. other: n o -~ ~ ..r, ~. a ~ .... -•r'~ 'c.~. 4'° ~~ ~~ ~~~ ~ ~~ ~- ~ tv °~rn J, ~- ..Y w ~'. ,a 't DEITCH V. DEITCH PACSES Case Number 318111795 If you fail to appear for the hearing or to bring the required documents, the court may issue a warrant for your arrest and/or enter an interim Support order. THE APPROPRIATE COURT OFFICER MAY ENTER AN ORDER AGAINST EITHER PARTY BASED UPON THE EVIDENCE PRESENTED WITHOUT REGARD TO WHICH PARTY INITIATED THE SUPPORT ACTION. BY THE COURT: Date of Order: ~~ ? o ~ d ~/ J. esley Oler, Jr., JUDGE YOU HAVE THE RIGHT TO A LAWYER, WHO MAY ATTEND THE HEARING AND REPRESENT YOU. IF YOU DO NOT HAVE A LAWYER, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW. THIS OFFICE CAN PROVIDE YOU WITH INFORMATION ABOUT HIRING A LAWYER. IF YOU CANNOT AFFORD TO HIRE A LAWYER, THIS OFFICE MAY BE ABLE TO PROVIDE YOU WITH INFORMATION ABOUT AGENCIES THAT MAY OFFER LEGAL SERVICES TO ELIGIBLE PERSONS AT A REDUCED FEE OR NO FEE. Cumberland County Bar Association 32 Bedford Street Carlisle, PA 17013-3302-32 (717) 249-3166 AMERICANS WITH DISABILITIES ACT OF 1990 The Court of Common Pleas of Cumberland County is required by law to comply with the Americans with Disabilities Act of 1990. For information about accessible facilities and reasonable accommodations available to disabled individuals having business before the Court, please contact our office at (717)240-6225. All arrangements must be made at least 72 hours prior to any hearing or business before the court. You must attend the scheduled hearing. CM-509 In the Court of Common Pleas of CUMBERLAND County, Pennsylvania DOMESTIC RELATIONS SECTION ~ f . ~ ~ --r TERRY E. DEITCH, ) ~~ o ~~+ Plaintiff ) :.~y ~" -'° `~'~' No. 10-291 Civil Term ~- ^' v. ) PACSES Case Number 318111795 _ ~ ~ ~ . BRIDGET A. DEITCH, )Civil Action -Divorce --.i ~~ ,,,~ r*r ~, Defendant ) °-' =?? _.., STIPULATION REGARDING ALIMONY PENDENTE LITE ~~ AND NOW, the ~~ Day of , 2010, based upon the parties' agreement, it is hereby stipulated as follows: The parties agree that the Interim Alimony Pendente Lite Order is affirmed, but closed and discontinued as of August 18, 2010. Any arrearage or credit will be transferred to the spousal support case, which is listed under Pacses No. 010111756. Consented: J Adams, Esquire 7 .South St. lisle, Pa. 17013 (717) 245-8508 Attorney for Obligor Date: (~ ~ ~ ~ .- ~- Michelle Sommer, Es ire 2 West High St. Carlisle, Pa. 17013 (717) 249-0900 Attorney for Obligee Date: ((' -~ -CQ TERRY DEITCH, IN THE COURT OF COMMON PLEAS OF Plaintiff/Respondent :CUMBERLAND COUNTY, PENNSYLVANIA V. DOMESTIC RELATIONS SECTION : ~ -~,~ ~ Q fz BRIDGET A. DEITCH, PACSES NO. 318111795 ~,~; ~ ~~~ Defendant/Petitioner :DOCKET NO. 10-291 CIVIL TERM ~~ ---~ -~!`- ~ _~ ~ ~ ~ ~ ~r ~ ~~ f ~~ ORDER OF COURT ~ ~~a~ ti-- ~' ~' AND NOW, this ~6{"~day of October, 2010, this matter having be~~ ~ t~' --^--a ~~ scheduled for a hearing de novo before the Support Master on the Wife's {~tit~n for alimony pendente lite, and the parties having reached an agreement on ~' outstanding issues, upon recommendation of the Master, it is ordered and decreed as follows: 1. The interim order entered July 21St, 2010 is affirmed as a final order. 2. Said order is suspended effective August 18, 2010. 3. Any arrearage or credit on this case shall be transferred to the spousal support action docketed to 502 Support 2010. By the Court, v c.7 ~ J. esley Oler, ., J. Cc: Bridget A. Deitch Terry E. Deitch Michelle L. Sommer, Esquire For the Defendant/Petitioner Jane Adams, Esquire For the Plaintiff/Respondent DRO/rjs ~' C: -'rl c~ Q 30 m3'"- O ~..,~~rn~=- n -~ . ~, _ zoo ~~ ~ D~*s Z~ N --+0 .. -G Z srG1Ri ~' w 31811].795 ORDER/NOTICE TO WITHH~Q~1C~fILFOR SUPPORT 10-291 CIVIL State ('nmmonwealth of Pennsylvania Co./City/Dirt. Of CUMBERLAND Date of Order/Notice l0/22/io Case Number (See Addendum for case summary) Employer/Withholder's Federal EIN Number VOLVO BUSINESS SERVICES C/O HR SERVICE CENTER DR 2 7900 NATIONAL SERVICE RD GREENSBORO NC 27409-9416 OOriginal Order/Notice OAmended Order/Notice [~ Terminate Order/Notice QOne-Time Lump SumlNotice Employee/Obligor's Name (Last, First, Mq 177-42-1850 Employee/Obligor's Social Security Number 0588102283 Employee/Obligor's Case Identifier (See Addendum for plaintiff names associated with cases on attachment) Custodial Parent's Name (Last, First, MI) See Addendum for dependent names and birth dates associated with cases on attachment. ORDER INFORMATION; This is an Order/Notice to Withhold Income for Support based upon an order for support from CUMBERLAND County, Commonwealth of Pennsylvania. By law, you are required to deduct t hese amounts from the above-named employee's/obligor's income until further n otice even if the Order/Notice is not issued by your State. ~-a ~.~ ' ~ -r; $ sso.oo per month in current child support 12 _ v~~ ~ --t ater? ~~ ~no~-~ r k $ 30. oo per month in past-due child support Arrears s or g e wee $ o. oo per month in current medical support ~ ~ '~ ~' $ o.oo per month in past-due medical support °'~ ~ ~~ $ 220 . oo per month in current spousal support a ~ ~=~ ' =°'~~ $ o. oo per month in past-due spousal support ~~c" ~ '~ ~' $ o . oo per month for genetic test costs ?~~;, '•.~+ ~~ $ o . oo per month in other (specify) ~'=•Y ~. ~.~, $ one-time lump sum payment ~ A :d,~ ~-~ for a total of $ 580.00 per month to be forwarded to payee below. You do not have to vary your pay cycle to be in compliance with the support order. If your pay cycle does-not match the ordered support payment cycle, use the following to determine how much to withhold: $ ~33.85per weekly pay period. $ z9o. oo per semimonthly pay period itwice a month) $ ~ti7 tipper biweekly pay period (every two weeks) $ 5so . oo per monthly pay period. REMITTANCE INFORMATION: You must begin withholding no later than the first pay period occurring ten (10) working days after the date of this Order/Notice. Send payment within seven (7) working days of the paydate/date of withholding. You are entitled to deduct a fee to defray the cost of withholding. Refer to the laws governing the work state of your employee for the allowable amount. The total withheld amount, and your fee, cannot exceed 55°!0 of the employee's/ obligor's aggregate disposable weekly earnings. For the purpose of the limitation on withholding, the following information is needed (See #9 on page 2). Pennsylvania law (23 PA C.S. § 4374(b)) requires remittance by an electronic payment method if an employer is ordered to withhold income from more than one employee and employs 15 or more persons, or if an employer has a history of two or more returned checks due to nonsufficient funds. Please call the Pennsylvania State Collections and Disbursement Unit (PA SCDU) Employer Customer Service at 1-877-676-9580 for instructions. PA FIPS CODE 42 000 00 Make Remittance Payable to: PA SCDU Send check to: Pennsylvania SCDU, P.O. Box 69112, Harrisburg, Pa 17106-9112 !N ADDITION, PAYMENTS MUST INCLUDE THE DEFEN ANT`S~NAME AND THE PACSES MEMBER 1D (shown above as the Employee/Obligor's Case ~d~tifier) OR lAL SEi'// 1TY NUMBER /N ORDER TO BE PROCESSED. DO NOT SEND CASH BY Mf11L. / BY THE COURT: / Q ~ C7 J. Wesley Jr., Ju ge ~ Form EN-028 Rev.5 010111756 502 S 2010 RE:DEITCH, TERRY E. D~eivicelypeh~dday~' OMBNo.:0970-0154 Worker ID $IATT N ADDITIONAL INFORMATION TO EMPLOYERS AND OTHER WITHHOLDERS If~hecketl you are required to provide a copy of this form to your~mployee. If yo r employee works in a state that is di Brent rrom the state that issued this order, a copy must be provi eccii to your emp~oyee even if the box is not checked. 1. Priority: Withholding under this Order/Notice has priority over any other legal process under State law against the same income. Federal tax levies in effect before receipt of this order have priority. If there are Federal tax levies in effect please contact the requesting agency listed below. 2. Combining Payments: You can combine withheld amounts from more than one employee%bligor's income in a single payment to each agency requesting withholding. You must, however, separately identify the portion of the single payment that is attributable to each employee/obligor. 3.* Reporting the Paydate/Date of Withholding: You must report the paydate/date of withholding when sending the payment. The paydate/date of withholding is the date on which amount was withheld from the employee's wages. You must comply with the law of the state of the employee's/obligor's principal place of employment with respect to the time periods within which you must implement the withholding order and forward the support payments. 4.* Employee/Obligor with Multiple Support Holdings: If there is more than one Order/Notice to Withhold Income for Support against this employee%bligor and you are unable to honor all support Order/Notices due to Federal or State withholding limits, you must follow the law of the state of employee's/obligor's principal place of employment. You must honor all Orders/Notices to the greatest extent possible. (See #9 below) 5. Termination Notification: You must promptly notify the Requesting Agency when the employee%bligor is no longer working for you. Please provide the information requested and return a copy of this Order/Notice to the Agency identified below. 2904100255 THE PERSON HAS NEVER WORKED FOR THIS EMPLOYER : ~ THE EMPLOYEE/OBLIGOR NO LONGER WORKS FOR: 0 EMPLOYEE'S/OBLIGOR'S NAME:DEITCH, TERRY E. EMPLOYEE'S CASE IDENTIFIER: 0588102283 DATE OF SEPARATION: LAST KNOWN HOME ADDRESS: LAST KNOWN PHONE NUMBER: NEW EMPLOYER'S NAME/ADDRESS: FINAL PAYMENT AMOUNT 6. Lump Sum Payments: You may be required to report and withhold from lump sum payments such as bonuses, commissions, or severance pay. If you have any questions about lump sum payments, contact the person or authority below. 7. Liability: If you fail to withhold income as the Order/Notice directs, you are liable for both the accumulated amount you should have withheld from the employee/obligor's income and other penalties set by Pennsylvania State law. Pennsylvania State law governs unless the obligor is employed in another State, in which case the law of the State in which he or she is employed governs. 8. Anti-discrimination: You are subject to a fine determined under State law for discharging an employee%bligorfmm employment, refusing to employ, or taking disciplinary action against any employee%bligor because of a support withholding. Pennsylvania State law governs unless the obligor is employed in another State, in which case the law of the State in which he or she is employed governs. 9.* Withholding Limits: You may not withhold more than the lesser of: 1> the amounts allowed by the Federal Consumer Credit Protection Act (CCPA) (15 U.S.C. 1673 (b)); or 2) the amounts allowed by the State or Tribe of the employee's/obligor's principal place of employment. Disposable income is the net income left after making mandatory deductions such as: State, federal, local taxes, Social Security taxes, statutory pension contributions and Medicare taxes. The Federal limit is 50% of the disposable income if the obligor is supporting another family and 60% of the disposable income if the obligor is not supporting another family.However, that 50% limit is increased to 55°/° and that 60% limit is increased to 65% if the arrears are greater than 12 weeks. If permitted by the State, you may deduct a fee for administrative costs. The support amount and the fee may not exceed the limit indicated in this section. Arrears greater than 12 weeks : If the Order Information does not indicate whether the arrears are greater than 12 weeks, then the employer should calculate the CCPA limit using the lower percentage. For Tribal orders, you may not withhold more than the amounts allowed under the law of the issuing Tribe. For Tribal employers who receive a State order, you may not withhold more than the lesser of the limit set by the law of the jurisdiction in which the employer is located or the maximum amount permitted under section 303(d) of the CCPA (15 U.S.C. 1673 (b)). Depending upon applicable State law, you may need to take into consideration the amounts paid for health care premiums in determining disposable income and applying appropriate withholding limits. 10. Additional info: * NOTE: If you or your agent are served with a copy of this order in the state that issued the order, you are to follow the law of the state that issued this order with respect to these items. 11. Send Termination Notice and other correspondence to: DOMESTIC RELATIONS SECTION 13 N. HANOVER ST P.O. BOX 320 CARLISLE PA 17013 If you or your employee/obligor have any questions, contact WAGE ATTACHMENT UNIT by telephone at (717) 240-6225 or by FAX at (717) 240-6248 or by Internet www.childsupport.state.pa.us Page 2 of 2 Service Type M OMB No.: 0970-0154 Form EN-028 Rev.5 Worker I D $ IATT ~ } ADDENDUM Summary of Cases on Attachment Defendant/Obligor: DEITCH, TERRY E . PACSES Case Number 010111756 Plaintiff Name BRIDGET A. DEITCH Docket Attachment Amount 00502 S 2010 $ 580.00 Child(ren)'s Name(s): DOB NATHANIAL C. DEITCH 11/11/97 PACSES Case Number Plaintiff Name Docket Attachment Amount $ 0.00 Child(ren)'s Name(s): DOB PACSES Case Number Plaintiff Name Docket Attachment Amount $ o.oo Child(ren)'s Name(s): DOB PACSES Case Number Plaintiff Name Docket Attachment Amount $ o.oo Child(ren)'s Name(s): DOB PACSES Case Number Plaintiff Name Docket Attachment Amount $ o.oo Child(ren)'s Name(s): DOB PACSES Case Number Plaintiff Name Docket Attachment Amount $ o.oo Child(ren)'s Name(s): DOB Addendum Form EN-028 Rev.S Service Type M OMB No.: 0970-0154 Worker I D $ IATT JANE ADAMS n -?3 N ATT01kNEY AT LAW aM `Y' Attorne' I.D. No. 79465 Q 17 W. uth St. r-- --o Carlisle Pa. 17013 p 3 p (717) 245-8508 ca c-y m esoadarns@gmail.co I> N f s `' TERRY DEITCH, : IN THE COURT OF COMMON PLEAS Plaintiff : CUMBERLAND COUNTY, PENNSYLVAN IA V. : NO. 2010 - 291 CIVIL TERM BRIDOET A. DEITCH, : IN CUSTODY Defendant NOTICE If you wish to deny any of the statements set forth in this Affidavit, you must lie a counter-affidavit within twenty days after this affidavit has been served on yo or the statements will be admitted. AFFIDAVIT OF SEPARATION 1. The parties to this action separated on January 2009, and have continued to live separate and apart for a period of at least two years. 2. The marriage is irretrievably broken. 3. 1 understand that I may lose my 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. understand that false statements herein are made subject to the penalties of 18 Pa.C. . §4904 relating to unsworn falsification to authorities. Date Terry Deitch, laintiff TERRY DEITCH, : IN THE COURT OF COMMON PLEAS Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA V. : NO. 2010 - 291 CIVIL TERM BRIDGET A. DEITCH, : IN DIVORCE Defendant AFFIDAVIT OF SERVICE I, Jane Adams, Esquire, do hereby certify that on February 1. 2011. 1 served a true and correct copy of the AFFIDAVIT OF SEPARATION AND COUNTER- AFFIDAVIT in the above-captioned matter upon the following individual(s) by certified mail, restricted, return receipt requested, addressed as follows: Michelle Sommer, Esquire 2 W. High St. Carlisle, Pa. 17013 DEFENDANT'S ATTORNEY ? LIJ } C) © I s ? U? tom] tn ? z Z ta: La. ? U_ t.t.I tLL._ a eV.a -? ¦ Complete Items 1, 2, and 3. Also complete Rem 4 If Restricted Delivery Is desired. ¦ Print your name and address on the reverse so that we can return the card to you. ¦ Attach this card to the back of the mallpiece, or on the front If space permits. 1. Article Addressed to: W C 1el0\3 2. Article Number Mwnolrrfrom Samoa tabo 7006 0810 0000 7879 4292 Ps Form 3811, February 2004 Domestic Return Receipt 102565-02-WI540 J21 Agent ? Addressee B. by (Prl ) 12 _ C. of tjwy < ? D. Is delhrery address different from Item 11 ? Yea If YES, eater delivery address below: ? No 3. Service Type IlLOertined mail ? Express mail ? Registered ? Return Receipt for Merchandise 0 hwAnd Mail ? C.O.D. 4. Roe- IN DeNwwyP (Extra Fee) ? Yes Respectfully Submitted: Date: It, ne Adams, Esquire I. . No. 79465 7 West South St. Carlisle, Pa. 17013 (717) 245-8508 ATTORNEY FOR PLAINTIFF TERRY DEITCH, : IN THE COURT OF COMMON PLEAS Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA V. : NO. 2010 - 291 CIVIL TERM BRIDGET A. DEITCH, : IN DIVORCE Defendant Check E C" t f, ;3 -rt r? `? rr CO _ (a) I do not oppose the entry of a divorce decree.=P ID -ri a (b) I oppose the entry of a divorce decree because (Check (i), (ii) or both): 'z _ (i) The parties to this action have not lived separate and apart for a period ofat Ie?ist .. two years. (ii) The marriage is not irretrievably broken. 2. Check either (a) or (b): _ (a) I do not wish to make any claims for economic relief. 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. (b) I wish to claim economic relief which may include alimony, division of property, lawyer's fees or expenses or other important rights. I understand that in addition to checking (b) above, I must also file all of my economic claims with the prothonotary in writing and serve them on the other party. If I fail to do so before the date set forth on the Notice of Intention to Request Divorce Decree, the divorce decree may be entered without further delay. I verify that the statements made in this counter-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: r dget A. itch, efendant IF YOU DO NOT WISH TO OPPOSE THE ENTRY OF A DIVORCE DECREE, AND YOU DO NOT WISH TO MAKE ANY CLAIM FOR ECONOMIC RELIEF, YOU SHOULD NOT FILE THIS COUNTER- AFFIDAVIT. I _?P' TERRY DEITCH, IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PA ?2 ^: t VS. NO. 10-291 -CIVIL TERM , - C3 BRIDGET A. DEITCH, ACTION IN DIVORCE Defendant ' DEFENDANT'S PRE-TRIAL STATEMENT The Defendant, Bridget A. Deitch, files the following Conference Memorandum. LIST OF ASSETS - MARITAL AND NON-MARITAL The Defendant, Bridget A. Deitch, requests a stipulation that the date of final separation was January 15, 2009. The inventory is supplemented with the values of the marital and non-marital property on the attached charts: 0 4-4 aJ ^C3 aJ U) 4-4 .n aJ ? ?D cam, ?? o z o o? o oc) O o J ? \ \ \ \ N M 1, N y N N \ - CIA \ O M O '? 0 O O M N O M 0 C Lin 619= r- 00 Z v 7 z z z a Lr) 6 00 61 V U O U U U GJ U F ? U U U H ? H f--I ? Q ? Q Q Q (U yy ICJ 4-J U ' U u u u ? L z o 4? U o aA 0 .4 00 P ? 4-d -d P -? O 4-1 Q ? 4-d ? Q 4 d O C R V4 4-J - `~ ' w? 0 L) . a; V u O v ' O vry) ' W P.4 .9 N O b-C W O U bA bA 71 Q Q O i u u u p4 3, m P-4 o j o F 1 o J., Z ? CL ? . U?, Uzm ci z 0 z N N E Ln v v °?° N z N cn tt Un V 00 G1 O ? •' ? 0 H C4 4-4 U 'd U 4-1 U O O c? O O ? O Q ? G1 O C14 z z CL4 t 4-1 u U ,-4 O 4 m 4-4 4.4 ' W V4 VI v ? 0 , H O v H ?i U . Q t, 'I A rt. _ rL u Q O ? z N ? cl, N O z - N M A 0 H -1 CC u U .O 'G U O O A 0 A w z o z z wo z" O t"r it U Q ?z 0 z EXPERT WITNESSES: None at this time. Defendant reserves the right to call expert witnesses, if necessary. OTHER WITNESSES Bridget A. Deitch, Defendant Terry E. Deitch, Plaintiff, as on cross. Defendant reserves the right to call additional witnesses, if necessary. EXHIBITS: Exhibit A American Funds IRA Statement with Vectron International Exhibit B - Inventory Form for the Defendant Exhibit C - Income and Expense Statement DEFENDANT'S GROSS INCOME: See attached pay stub from 2/17/2011, for the Defendant, Exhibit D. See attached 2010 W-2 for the Defendant, Exhibit E. PERSONAL PROPERTY: The Defendant has previously removed most of her personal property from the marital home; however, there still are some personal items in which she needs to remove form the home. As for the 1997 GMC Jimmy, the Plaintiff has previously indicated that since he had purchased that for the Defendant as a gift during the marriage and she had taken that vehicle with her when she left the marriage and is continuing to drive the vehicle which is paid in full. The Plaintiff had previously indicated that he would sign the title over to the Defendant when the divorce was final. MARITAL DEBTS: NONE. PROPOSED RESOLUTION OF ECONOMIC ISSUES: The Plaintiff purchased the marital home only 8 months prior to their marriage on August 12, 2000. The parties had been together for several years prior to marriage, conceiving a son, Nathanial in November 1997. The Plaintiff is requesting her share of the equity from the martial home for the nine (9) years the parties were married. Plaintiff is requesting that she receive her marital share of Plaintiff's Pension, Retirement and 401(k). Plaintiff is also requesting that the 1997 GMC Jimmy that was given to her as a gift from the Defendant remain hers as the Plaintiff had previously indicated that he would sign the title over to the Defendant when the divorce was final. DATE Respectfully submitted, ABOM & KUTULA"S, L.L.P , &,A a) Michelle L. Somme , Esquire Supreme Court ID # 93034 2 West High Street Carlisle, Pennsylvania 17013 (717) 249-0900 Attorney for Defendant The right choice for the long term American Funds' PO Box 2560 Norfolk VA 23501-2560 AV 01 173066 7356OH606 A**5DGT InIIIIIII IIII Iloll II81 111111111111111116111???1'1?'1111'I??I?111 CB&T CUST IRA/ROLLOVER BRIDGET A DEITCH 500 CARLISLE RD NEWVILLE PA 17241-9567 Annual fee due A $10 annual fee will be deducted in December from traditional IRAs, Roth IRAs, SIMPLE IRAs, 403(b)s, 457s, money-purchase plans, profit-sharing plans, Coverdell ESAs and 529 accounts. If you prefer to pay by check, we must receive it by November 30. Fax number change ........................................................................................................ When faxing transaction-related requests and other correspondence to the American Funds service center, please use our new fax number, 888/421-4351. Quarterly summary (July 1 -September 30, 2010) Quarterly statement September 30, 2010 Your financial adviser BISTLINE (717) 249-4441 SAGEPOINT FINANCIAL, INC. 301 S HANOVER ST CARLISLE PA 17013-3933 For more account information Page 1 of 3 ¦ Call your financial adviser ¦ Automated information and services Website - americanfunds.com American FundsLine ° - 800/325-3590 ¦ Personal assistance - 8 a.m. to 8 p.m. Eastern time M-F Shareholder Services - 800/421-0180 Reinvested Change in Value on dividends and account Value on Ending 0EVW10 + Additions + capital gains - Withdrawals +/- value 091300 share balance .............. ....................................................................................................................................................................................................... CBRT CUST nWROILOVER BRIDGET A DEITCB The Growth Fund of America-A Account # 746 +5 $6,361.60 $0,00 $0.00 $0.00 $680.70 $7,042.30 253.047 The Investment Company of America-A Account # 75 $2,064.80 $0.00 $11.45 $0.00 $130.03 $2,306.28 88.499 Totals $0,426.40 $0.00 $11.45 $0.00 $910.73 $9.340.58 AF '%1? '01617690ft"" y.66699.0N5AFMZINVMGt.....-AF1...._.0Z6055663151TE107 EXHIBIT A 173066/000000 lip American Funds Your investment portfolio ..................................................................... M Growth 75.3396 The Growth Fund of America-A. Quarterly Statement Page 2 of 3 September 30, 2010 Growth-and-income 24.67% The Investment Company of America-A Year-to-date dividends and capital gains ......................................................... ............................................ ................. Account# Fund i Dividends ................................................................................................................................................... Short-tern capitalgains ........................ .. .... Long-term capitalgains CB&T CUST IR"OLLOVER . .............................. .......................... BRMGET A DEFTCH The Investment Company of America-A 74641915 04 $34.17 $0.00 $0.00 Totals $34.17 $0.00 $0.00 Beneficiary information ....... ............................................. Account# Primary ......................................... .......................................................... ........ ........ .......... Contingent CUTCUSTDIA/ UDVER 74641915 TERRY E DEITCH 100% BRMETAD8rPi33 ......................................... 1 ELAINE JONES 100% ......................... To update and read important legal information about your beneficiary designations, please go to americanfunds.com/beneficiary Year-to-date history ........................................................................ .............. CB&T CUST IRA/ROIIAVER .................... .................. ............. ........................................ ............................. BRE GET A DIMCH The Growth Fund of America - Class A Account # 74641915 Fund # 05 Symbol AGTHX Trade date Description ................................................................................................... Dollaramount .......... ........................ Share price Shares transacted Share balance 01/01/10 Beginning balance .......... $6,915.77 ........................................ $27 33 .................................................... ...... No activity this period . 253.047 09/30/10 Ending balance $7,042.30 $27 83 . 253.047 The Investment Company of America - Class A Account # 74641915 Fund # 04 Symbol AIVSX Trade data Description ............................................................................................. ....... Dollar amount ........................... Share price Shares transacted Share balance 01/01/10 Beginning balance ............... $2,261.65 ...................................... $25 95 ..................................................... ................................... 03/05/10 Income Dividend 0.13 $11.33 . $26 09 87.154 06/11/10 Income Dividend 0.13 $11.39 . $24 61 0.434 87.588 09/17/10 Income Dividend 0.13 $11.45 . $25 53 0.463 88.051 09/30/10 Ending balance $2,306.28 . $26 06 0.448 88.499 . 88.499 DST 00066823W TERRY DEITCH, plaintiff vs. BRIDGET A. DEITCH, Defendant IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PA : NO. 10-291 -CIVIL TERM : ACTION IN DIVORCE Defendant, Bridget A. Deitch, files the following inventory of all property owned or possessed by either party at the time this action was commenced and all property transferred within the preceding three years. ASSETS OF THE PARTIES Defendant marks on the list below those items applicable to the case at bar and itemizes the assets on the following pages. (3p 1. Real Property (X) 2. Motor Vehicles ( ) 3. Stocks, Bonds, Securities and Options 4. Certificates of Deposit 5. Checking Accounts, Cash (JP 6. Savings Accounts, Money Market and Savings Certificates ( ) 7. Contents of Safe Deposit Boxes ( ) 8. Trusts 9. Life Insurance Policies (indicate face value, cash surrender value , and current beneficiaries) ( ) 10. Annuities ( ) 11. Gifts ( ) 12. Inheritances ( ) 13. Patents, Copyrights, Inventions, Royalties ( ) 14. Personal Property Outside the Home ( ) 15. Business (list all owners, including percentage of ownership, and officer/director positions held by a party with company) ( ) 16. Employment Termination Benefits -- Severance Pay, Worker's Compensation Claim/Award EXHIBIT ( ) 17. Profit Sharing Plans (X) 18. Pension Plans (indicate employee contribution and date plan vests) (X) 19. Retirement Plans, Individual Retirement Accounts ( ) 20. Disability Payments ( ) 21. Litigation Claims (matured and um-natured) () 22. Military/V.A. Benefits ( ) 23. Education Benefits (3q 24. Debts Due, including Loans, Mortgages held ()q 25. Household Furnishings and Personalty (include as a total category and attach itemized list if distribution of such assets is in dispute) () 26. Other MARITAL PROPERTY Defendant lists all marital property in which either or both spouses have a legal or equitable interest individually or with any other person as of the date this action was commenced: ITEM DESCRIPTION OF PROPERTY NAMES OF ALL NUMBER OWNERS 1 Marital Home: Property located at Terry Deitch 88 Hilltop Lane, Newville, PA 2 1997 GMC Jimmy Bridget & Terry Deitch 2 ???? Chevrolet Malibu Terry Deitch 5 Checking Account w/ Waypoint Bank - Terry Deitch Plaintiff 5 Checking Account w/ Adams County Bridget Deitch National Bank - Defendant 6 Savings Account w/ Waypoint Bank - Terry Deitch Plaintiff 6 Savings Account w/ Adams County Bridget Deitch National Bank - Defendant 18 International Union of Operating Terry Deitch En ' eers Pension - Plaintiff 19 Volvo Retirement - Plaintiff Terry Deitch 19 Wells Fargo 401(k) Terry Deitch 25 Marital Property Bridget & Terry Deitch NON-MARITAL PROPERTY Defendant lists all property in which a spouse has a legal or equitable interest which is claimed to be excluded from marital property: ITEM DESCRIPTION OF REASON FOR EXCLUSION NUMBER PROPERTY 2 ???? Dodge Durango - Acquired After Marriage plaintiff 19 Vectron International 401(k) Acquired Prior to Marriage - Defendant 24 Mortgage Solely in Plaintiff s Name LIABILITIES ITEM NUMBER DESCRIPTION OF PROPERTY NAME OF CREDITORS NAMES OF ALL DEBTORS NONE In the Court of Common Pleas of CUMBERLAND County, Pennsylvania DOMESTIC RELATIONS SECTION 13 N. HANOVER ST, P.O. BOX 320, CARLISLE, PA. 17013 Phone: (717) 240-6225 FEBRUARY 9, 2011 Fax: (717) 240-6248 BRIDGET A. DEITCH ) Docket Number: 00502 S 2010 ) vs. Plaintiff . PACSES Case Number: 010111756 TERRY E. DEITCH Defendant ) Other State ID Number: Please note: All correspondence must include the PACSES Case Number. Income Statement THIS FORM MUST BE FILLED OUT AND YOU MUST PROVIDE DOCUMENTS TO SUPPORT ALL AMOUNTS PROVIDED IN THIS INCOME STATEMENT (If you are self-employed or if you are salaried by a business of which you are owner in whole or in part, you must also fill out the Supplemental Income Statement which appears below.) E STATEMENT OF e) () 10 (PACSES Number) I verify that the statements made in this Income Statement are true and correct. I understand that false statements herein are made subject to the penalties of 18 Pa. C.S.A. § 4904 relating to unsworn falsification to authorities. Date:° Plaintiff or Defendant INCOME Employer.- `- Address: Type of Work: S Payroll Number: Pay Period (weekly, biweekly, etc): Gross Pay per Pay Period $ _?a0, 0() - Itemized Payroll Deductions: Federal Withholding $ y FICA Local Wage Tax State Income Tax Mandatory Retirement Union Dues Health Insurance Other (specify) ?I ?t1`?Ci?C Li k;0L,146, LA; Net Pay per Pay Period: Service Type M 40 "'. n EXHIBIT Form IN-008 Worker ID 21205 Cr Income Statement (Continued) Other Income: Interest Dividends Pension Distributions Annuity Social Security Rents Royalties Unemployment Comp. Workers Comp. Employer Fringe Benefits Other TOTAL INCOME PROPERTY OWNED Cheering accounts Savings accounts Credit Union Stocks/bonds Real Estate Other Week PACSES Case Number: 010111756 Month Year (Fill in Appropriate Column) Description Total INSURANCE Company Hospital Blue Cross SSS 6;T 1 Other Other *H=Husband; W=Wife; J=Joint; C=Child Value $ SY 3 9 a. ?S' $%1'/,2.33 Policy No. DV RS ?(. 101 Medical Blue Shield T 5%? ' aV.q t Other Health/Accident Disability Income Dental Dvl[?. asst Service Type M Page 2 of 3 Ownership* H W J x x Coverage* H W C x Form IN-008 Worker ID 21205 Income Statement (Continued) PACSES Case Number: 010111756 SUPPLEMENTAL INCOME STATEMENT (You only need to complete the below portion if you are self- employed or if you are salaried by a business of which you are owner in whole or in part) (a) This form is to be filled out by a person (check one): O (1) who operates a business or practices a profession, or O (2) who is a member of a partnership or joint venture, or O (3) who is a shareholder in and is salaried by a closed corporation or similar entity. (b) Attach to this statement a copy of the following documents relating to the partnership, joint venture, business, profession, corporation or similar entity: (1) the most recent Federal Income Tax Return, and (2) the most recent Profit and Loss Statement. (c) Name of business: Address and telephone number: (d) Nature of business (check one) O (1) partnership O (2) joint venture O (3) profession O (4) closed corporation O (5) other (e) Name of accountant, controller or other person in charge of financial records: (f) Annual income from business: (1) How often is income received? (2) Gross income per pay period: (3) Net income per pay period: (4) Specific deductions, if any: Form IN-008 Service Type M Page 3 of 3 Worker ID 21205 Expense Statement EXPENSE STATEMENT OF A. L (Name) (Pacses Number) I verify that the statements made in this Expense Statement are true and correct. I understand that false statements herein are made subject to the penalties of 18 Pa. C.S.A. § 4904 relating to unsworn falsification to authorities. Date: d Plaintiff or De ndant EXPENSES MONTHLY TOTAL MONTHLY CHILDREN MONTHLY PARENT Medical Medical Insurance f o0 Doctor Dentist Ho s ital Medication Counseling/Therapy Orthodontist Special Needs (glasses, etc.) EDUCATION Tutorin Lessons Other -- EXPENSES MONTHLY MONTHLY Mol TOTAL CHILDREN PAR TAXES Real Estate Personal PronPriv INSURANCE Homeowners/Renters ?? p 0 Automobile ure 2S, 00 AcciclenlJDis ability Excess Coverage Lonq-Term Care AUTOMOBILE Lease or Loan Payments Fuel d Repairs Membershios THLY =NT EXPENSES MONTHLY TOTAL MONTHLY CHILDREN MONTHLY PARENT PERSONAL Debt Service -Clothing Groceries Q? po Haircare Memberships MISCELLANEOUS Child Care Household Help Summer Cam -Pape rslBooks/Ma azines Entertainment Pet Ex enses 'ats co Vacations Gifts Legal Fees/Prof. Fees Charitable Contributions Children's Parties Children's Allowances Other Child Su ort Alimony Payments TOTAL MONTHLY EXPENSES CO, FILE DEPT, CLOCK VCHR, NO, 010 WN 108095 001120 F -F1 0000070069 1 VECTRON INTERNATIONAL, INC. 100 WATTS STREET MOUNT HOLLY SPRINGS, PA 17065 Taxable Marital Status: Single Exemptions/Allowances: Federal: 035 Additional Tax PA: N/A Social Security Number: XXX-XX-8411 Earninas rate hours this period year to date Regular 12.5000 40.00 500.00 2,800.00 Over Time 18.7500 1.20 22.50 364.07 Holiday 184.00 Personal 184.00 Vacation 184.00 3,716.07 Deductions Statutory Federal Income Tax -69.15 489.18 Social Security Tax -21.95 156.08 Medicare Tax -7.57 53.88 PA State Income Tax -16.04 114.07 Carlisle Asd Income Tax -5.75 40.88 Mt Holly Spr Income Tax -2.61 18.57 PA SUI/SDI Tax -0.42 2.97 Other Checking 1 -398.27 Suppl Life -0.74 5.18 Occ Priv Tax 52.00 ?!Y. , .... ........::::.:.:.........:..::.::.::.::;:..:x#1:..40 Your federal taxable wages this period are $522.50 VECTRON INTERNATIONAL , INC. 100 WATTS STREET MOUNT HOLLY SPRINGS , PA 17065 BRIDGET DEITCH SANK KayBank N.A. Portland, ME 04101 1-800-KEY2YOU NOT VALID AFTER 180 DAYS Earnings Statement Period Beginning: 02/07/2011 Period Ending: 02/13/2011 Pay Date: 02/17/2011 BRIDGET DEITCH 500 CARLISLE ROAD NEWVILLE, PA 17241 m Other Benefits and Information this period Grp Trm Life 0.05 Pto Balance Vacation Bal Advice number: Pay date_ account number xxx2563 EXHIBIT total to date 0.05 8.00 73.00 00000070069 02/17/2011 transit ABA amount xxxx xxxx $398,27 NON-NEGOTIABLE PAGE Safe, scarabs, the IM5 e FAST! Use at www.irs.govleffle City or Local Reference Copy W 2 Wage and Tax 2010 Statement No. 15450008 d Control number Dept. Corp. Employer use only 108095 46iU4N 00112 A 90 c Employer's name, address, and ZIP code VECTRON INTERNATIONAL INC 267 LOWELL RD HUDSON NH 03051 Batch #01189 all Employee's name, address, and ZIP code BRIDGET DEITCH 500 CARLISLE ROAD NEWVILLE,PA 17241 b Employees FED I number 6-1420936 a Employee's SSA number 192-54-8411 1 Wages, tips, other comp. 2 Federal Income tax withheld 16158.50 1916.89 3 Social security wages 4 Social security tax withheld 16158.50 1001.83 5 Medicare wages and Ups 6 Medicare tax withheld 16158.50 234.30 7 Social security tips 8 Allocated Ups 9 Advance EIC payment 10 Dependent care benefits 11 Nonqualified plans 12a See instmc ions for box 12 I 14 Other 12b 12 93 SUI 12c I . 12d I 13 Stat emP Ret. plan rd party sick pa 15 State Employer's state ID no. 16 State wages, tips, eta 17 State income tax 18 Local wages, tips, etc. 16158.50 19 Local income tax 0 Locality name 80.79 MT HOL S 1 Wages, Ups, other comp. 2 Federal income tax withheld 16158.50 1916.89 3 Social security wages 4 Social security tax withheld 16158.50 1001.83 5 Medicare wages and tips 6 Medicare tax withheld 16158.50 234.30 d Control number Dept. Corp. Employer use only 108095 46/U4N 00112 A 90 c Employer's name, address, and ZIP code VECTRON INTERNATIONAL INC 267 LOWELL RD HUDSON NH 03051 b Employer's FED ID number a Employee's SSA number 16-1420936 192-54-8411 7 Social security tips 8 Allocated tips 9 Advance EIC payment 10 Dependent care benefits 11 Nonqualified plans 12a See instructions for box 12 14 Other 12b 12.93 SUI c 13 Stat amp Ret. plan rd party sick pay eM Employee's name, address and ZIP code BRIDGET DEITCH 500 CARLISLE ROAD NEWVILLE,PA 17241 15 State Employer's state to no. 6 State wages, tips, eta 17 State income tax 18 Local wages, tips, eta 16158.50 19 Local income tax 20 Locality name 80.79 MT HOL S City or Local Filing Copy W-2 Wage and Tax 2010 Statement Ogg No Copy 2 to be filed with employee's City or Loral Income Tex &inl545-0008 2010 W-2 and EARNINGS SUMMARY This blue Earnings Summary section is included with your W-2 to help describe portions in more detail The reverse side includes general information that you may also find helpful. 1. The following information reflects your final 2010 pay stub plus any adjustments submitted by your emDlover. MT HOL S W-2 CARLISLE W-2 Gross Pay 161.58.50 16158.50 Federal Income Tax Withheld Box2 of W-2 1916.89 1916.89 Social Security Tax Withheld Box4 of W-2 1001.83 1001.83 Medicare Income Tax Withhold Box6ofW-2 234.30 234.30 Local Income Tax Box19ofW-2 80.79 173.10 SUUSDI Box 14 of W-2 Box 14 of W-2 12.93 12.93 2. Your Gross Pay was adjusted as follows to produce your W-2 Statement. MT HOL S CARLISLE Local Wages, Local Wages, Tips, Etc. Tips, Etc. Box 18 of W-2 Box 18 of W-2 GrossPay Reported W-2 Wages 16,158.50 16,158.50 16,158.50 16,158.50 3. Employee W-4 Profile. To change your Employee W-4 Profile Information file a new W-4 with your payroll dept. BRIDGET DEITCH 500 CARLISLE ROAD NEWVILLE,PA 17241 Social Security Number:192-54-8411 Taxable Marital Status: SINGLE Exemptions/Allowances: FEDERAL: 0 $5 Additional Tax LOCAL: °O 2010 ADP, INC. 1 Wages, tips, other comp. 2 Federal income tax withheld 16158.50 1916.89 3 Social security wages 4 Social security tax withheld 16158.50 1001.83 5 Medicare wages and Ups 6 Medicare tax withheld 16158.50 234.30 d Control number Dept. Corp. Employer use only 108095 46/1.14N 00112, A 90 c Employer's name, address, and ZIP code VECTRON INTERNATIONAL INC 267 LOWELL RD HUDSON NH 03051 b Employer's FED ID number a Employee's SSA number 16-1420936 192-54-8411 7 Social security Ups 8 Allocated Ups 9 Advance EIC payment 10 Dependent care benefits 11 Nonqualified plans 2a 14 Other 12.93 SUI 12C 13 Stet emp Ret. plan 3rd party sick pa elf Employee's name, address and ZIP code BRIDGET DEITCH 500 CARLISLE ROAD NEWVILLE,PA 17241 15 State Employer's state ID no. 16 State wages, tips, etc. 17 State income tax 18 Local wages, tips, etc- 161 58.50 19 Local income EXHIBIT city W-2 COPY 2 it, be filed 8 ? 1 Wages, tips, other comp. 2 Federal income tax withhold 16158.50 1916.89 3 Social security wages 4 Social security tax withheld 16158.50 1001.83 5 Medicare wages and tips 6 Medicare tax withheld 16158.50 234.30 d Control number Dept. Corp. Employer use only 108095 461U4N 001120 A 90 c Employer's name, address, and 21P code VECTRON INTERNATIONAL INC 267 LOWELL RD HUDSON NH 03051 b Employer's FED ID number a Employee's SSA number 16-1420936 192-54-8411 7 Social security Ups 8 Allocated tips 9 Advance EIC payment 10 Dependent care benefits 11 Nonqualified plans 12a 14 Other 12.93 SUI c 13 Stat emP Ret. plan rd party sick pa elf Employee's name, address and ZIP code BRIDGET DEITCH 500 CARLISLE ROAD NEWVILLE,PA 17241 15 State Employer's state to no. 16 State wages, tips, etc. 17 State income tax 16 Local wages, tips, eta 16158.50 19 Local income tax 0 Locality name 173.10 CARLISLE City or Local Filing Copy W-2 Wage and Tax ' Statement 10 Copy 2 to be filed with employee's Cky or Loral Income?.M81 m TERRY DEITCH, Plaintiff VS. BRIDGET A. DEITCH, Defendant IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA NO. 10-291 -CIVIL TERM ACTION IN DIVORCE DEFENDANT'S PRE-TRIAL STATEMENT I, Bridget A. Deitch, verify that the statements made in this Pre-Trial Statement 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 I 1 Bridget A. l9eitch AND NOW, this 28th day of February, 2011, I, Michelle L. Sommer, Esquire, of ABOM & KUTULAKIS, LLP., hereby certify that I did serve a true and correct copy of the foregoing Pre-Trial Statement by depositing, or causing to be deposited, same in the United States Mail, First-class mail, postage prepaid addressed to the following: Jane Adams, Esquire 17 West South Street Carlisle, PA 17013 Attorney for Plaintiff E. Robert Elicker Office of Divorce Master Cumberland County Court of Common Pleas 9 North Hanover Street Carlisle, PA 17013 Cumberland County Divorce Master Respectfully submitted, ABoM & KUTULA"S, L.L.P G Michelle L. Somme ,Esquire Supreme Court ID: 93034 2 West High Street Carlisle, Pennsylvania 17013 (717) 249-0900 Attorney for Defendant Fron 03/07/2011 10:32 #170 P.002/004 TERRY DEITCH, IN THE COURT OF COMMON PLEAS OF Plaintiff CUMBERLAND COUNTY, PENNSY4,VjTIA VS. t e _ CIVIL ACTION - LAW °= { BRIDGET A. DEITCH, NO. 2010 - 291 ( 6.F Defendant IN DIVORCE AFFIDAVIT OF CONSENT -- . i m 1. A complaint in Divorce under §3301(c) of the Divorce Code was filed on January 1 f 2010. 2. The marriage of Plaintiff and Defendant is irretrievably broken and ninety (90) days have elapsed from the date of the filing of the Complaint. I consent to the entry of the final Decree in Divorce after service of Notice of Intention to request entry of the decree. I VERIFY THAT THE STATEMENTS MADE IN THE FOREGOING 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. -3-?- k ? - C' .1 Date Bridget A. D tch 'k' Ci F rom 03/07/2011 10:32 #170 P.003/004 TERRY DEITCH, VS. IN THE COURT OF COMMON PLEAS OF Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW NO. 2010 - 291 IN DIVORCE BRIDGET A. DEITCH, Defendant WAIVER OF INTENTION TO REQUEST ENTRY OF A DIVORCE DECREE UNDER 3301 OF THE DIVORCE CODE CIVILER. 7: n? 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 THE FOREGOING 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. J-?- Date Bridget A. itch +I? F rori 0310712011 10:32 #170 P.001/004 TERRY DEITCH, IN THE COURT OF COMMON PLEAS OF Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA VS. CIVIL ACTION - LAW BRIDGET A. DEITCH, : NO. 2010 - 291 CIVIL TERM Defendant : IN DIVORCE AFFIDAVIT OF CONSENT I . A complaint in Divorce under §3301(c) of the Divorce Code was filed on Januar -P-% ; .,. 2010. 2. The marriage of Plaintiff and Defendant is irretrievably broken and ninety (90) c#a3:hav?- c. elapsed from the date of the filing of the Complaint. 3. I consent to the entry of the final Decree in Divorce after service of Notice of Intention to request entry of the decree. I VERIFY THAT THE STATEMENTS MADE IN THE FOREGOING 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. 3 // Date/ Terry De *A F roro 03/0712011 10:32 #170 P.004/004 TERRY DEITCH, IN THE COURT OF COMMON PLEAS OF Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA vs. CIVIL ACTION - LAW- = av' BRIDGET A. DEITCH, NO. 2010 - 291 CIV BERM w;f Defendant IN DIVORCE > o -. ... i WAIVER OF INTENTION TO REQUEST - ENTRY OF A DIVORCE DECREE UNDER 43301(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 THE FOREGOING AFFIDAVIT ARE TRUE AND CORRECT. I UNDERSTAND THAT FALSE STATEMENTS HEREIN ARE MADE SUBJECT TO THE PENALTIES OF 18 PzLC.S. §4904 RELATING TO UNSWORN FALSIFICATION TO AUTHORITIES. ,3& Date Terry Deitc TERRY DEITCH, IN THE COURT OF COMMON PLEAS OF Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA VS. NO. 10 - 291 CIVIL BRIDGET A. DEITCH, Defendant IN DIVORCE ORDER OF COURT AND NOW, this day of , 2011, counsel and the parties having entered into an agreement and stipulation resolving the economic issues on March 7, 2011, the date set for a pre-hearing conference, the agreement and stipulation having been transcribed, the appointment of the Master is vacated and counsel can conclude the proceedings by the filing of a praecipe to transmit the record with the affidavits of consent of the parties so that a final decree in divorce can be entered. BY THE COURT, K In A. Hess, P.J. cc: ? Jane Adams Attorney for Plaintiff ? Michelle L. Sommer Attorney for Defendant C 18 ?? ?"''? , to a go TERRY DEITCH, IN THE COURT OF COMMON PLEAS OF Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA VS. NO. 10 - 291 CIVIL BRIDGET A. DEITCH, Defendant IN DIVORCE THE MASTER: Today is Monday, March 7, 2011. This is the date set for a conference in the above-captioned divorce proceedings. The notice was sent to counsel only but counsel requested that the parties appear as well which is certainly satisfactory to the Master and the Master has been advised that they have reached an agreement with respect to the outstanding economic issues in the divorce. Present in the hearing room are the Plaintiff, Terry Deitch, and his counsel Jane Adams and the Defendant, Bridget A. Deitch, and her counsel Michelle L. Sommer. This action was commenced by the filing of a complaint in divorce on January 11, 2010, raising grounds for divorce of irretrievable breakdown of the marriage. Although an affidavit averring a two-year separation was filed, nevertheless, the parties are going to proceed under Section 3301(c) of the Domestic Relations Code based on their mutual consents and waivers. The Master has been provided affidavits of consent and waivers of notice of intention to request entry of divorce decree which have been 1 Y signed by both parties. The affidavits and waivers will be filed with the Prothonotary by the Master's office so that the divorce can conclude under Section 3301(c) of the Domestic Relations Code. The complaint in divorce raised an economic claim of equitable distribution. No claims were raised by either party for counsel fees or alimony. The Master has been advised that the parties have reached an agreement with respect to the divorce and the outstanding claim of equitable distribution. Counsel are going to place on the record, in the presence of the parties, the agreement of the parties. The agreement as stated on the record will be considered the substantive agreement of the parties, not subject to any changes or modifications except for correction of typographical errors which may be made during the transcription. Consequently, when the parties leave the hearing room today they are bound by the terms of the agreement even though there has been no subsequent signing of the agreement. The Master has been advised that the parties are going to return to the Domestic Relations Office on Monday, March 14, 2011. At that time they will stop by the Master's office and review the transcribed agreement, make any typographical corrections as necessary, and then sign the agreement affirming the terms of settlement as stated on the record. 2 Upon receipt by the Master of a completed agreement, the Master will prepare an order vacating his appointment and counsel can then file a praecipe transmitting the record to the Court requesting a final decree in divorce. Ms. Adams. MS. ADAMS: 1. Wife shall relinquish all spousal interest in the property and home located at 88 Hilltop Lane, Newville, Pennsylvania, and husband shall have sole and exclusive possession of said property. 2. By June 7th 2011, husband shall pay wife the lump sum of $10,000.00 cash in consideration of her waiving all right, title, and interest in and to the property. Wife shall cooperate with signing any documents required to effectuate such a payment and/or transfer including a quitclaim deed or any other documents requested by the bank. If the parties decide to have wife's interest relinquished by a quitclaim deed, counsel for husband will prepare the deed and present that to wife at the time of the signing of the agreement. Furthermore, the deed will be held in escrow until such time as wife receives the $10,000.00 payment on June 7th 2011. 3. All spousal support shall terminate as of today. 4. Each party relinquishes all interest in any personal property which is in the possession of the other and each party shall retain their respective accounts. 5. Husband shall sign a limited power of attorney or execute the title to the Jimmy GMC and the parties will cooperate in transferring that vehicle into the name of wife. 6. Husband has two accounts, one account with the Central Pension Fund of the International Union of Operating Engineers. The parties will cooperate in the preparation of a Domestic Relations Order to transfer 550 of the marital portion of the pension into an account in favor of wife. Husband has also a second account which is a 401(k) account which was held with Wells Fargo but is now held with 3 Fidelity. The parties shall cooperate in the preparation of a Domestic Relations Order, if necessary, to transfer 55% of the marital portion of this account into wife's American fund account. 7. Husband has a 401(k) account with Volvo Group North America. The parties agree that this account is non-marital, therefore such account shall not be divided. 8. The parties agree that there currently is no marital debt and the parties agree that any debt incurred in their names shall be their sole responsibility. 9. Except as herein otherwise provided, each party may dispose of his or her property in any way and each party hereby waives and relinquishes any and all rights he or she may now have or hereafter acquire under the present or 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, statutory allowance, widow's allowance, right of intestacy, right to take against the will of the other, and right to act as administrator or executor in the other's estate. 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 interest, rights, and claims. MS. ADAMS: Mr. Deitch, you heard me dictate the agreement into the record? MR. DEITCH: Yes. MS. ADAMS: Do you understand the agreement? MR. DEITCH: Yes. MS. ADAMS: Do you voluntarily agree to its terms? MR. DEITCH: Yes. MS. ADAMS: Do you have any other questions? MR. DEITCH: Not at this time, no. 4 MS. ADAMS: Thank you. MS. SOMMER: Mrs. Deitch, did you hear the agreement entered into the record? MS. DEITCH: I did. MS. SOMMER: Do you understand the agreement as it was entered into the record? MS. DEITCH: I do. MS. SOMMER: Do you have any questions? MS. DEITCH: I do not. THE MASTER: You understand that you are both bound when you leave here today even though you have not signed anything? And that you will be back here next Monday morning to review it with your counsel and make any typographical corrections, if there are any to be made, and then sign affirming the settlement that we have put on the record? MS. DEITCH: I understand. MR. DEITCH: I understand. THE MASTER: Thank you very much. I acknowledge that I have read the above stipulation and agreement, that I understand the terms of settlement as set forth herein, and that by signing below I ratify and affirm the agreement previously made and intend to bind myself to the settlement as a contract obligating myself to the terms of settlement and subjecting myself to 5 . the methods and procedures of enforcement which may be imposed by law and in particular Section 3105 of the Domestic Relations Code. WITNESS: DATE: ne A ams Terry eitch torney for Plaintiff h Michelle L ,,,Sommer Bridget Deitch Attorney for Defendant 6 C-) N ? -? rn- rn U ?'? TERRY DEITCH, : IN THE COURT OF COMMON PLEAS r c Plaintiff : CUMBERLAND COUNTY, PENNSYLvP015 --+o fir) 320 3 CD-n _.. V. : NO. 10 - 291 Civil Term 5;= w , ?s 70 BRIDGET A. DEITCH, : CIVIL ACTION - LAW Defendant : DIVORCE PRAECIPE TO TRANSMIT RECORD TO THE PROTHONOTARY: Please accept this request to transmit the record, together with the following information to the Court for entry of a divorce Decree: 1. Grounds for divorce: irretrievable breakdown under §3301(c) of the Divorce Code. 2. Date and Manner of the service of the Complaint: via first class mail, certified mail, Acceptance of service signed by Defendant on January 23, 2010. 3. Date of execution of the Affidavit of Consent required by 3301(c) of the Divorce Code: By Plaintiff: March 7, 2011. By Defendant: March 7, 2011. 4. Related claims pending: None. 5. Date Defendant's Waiver of Notice under §3301(c) of the Divorce Code was filed with the Prothonotary: March 8, 2011. 6. Date Plaintiff's Waiver of Notice under §3301(c) of the Divorce Code was filed with the Prothonotary: March 8, 2011. Date: 1? y subm rlisle, Pa. 17013 (717) 245-8508 ATTORNEY FOR PLAINTIFF 3ano` dams, Esquire I.1''. o. 79465 Y7 W. South St. IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA TERRY DEITCH, V. BRIDGET A. DEITCH, NO. 10 - 291 Civil Term DIVORCE DECREE AND NOW, , 2 of I , it is ordered and decreed that TERRY DEITCH, BRIDGET A. DEITCH, bonds of matrimony. plaintiff, and defendant, are divorced from the 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 marriage settlement agreement which was filed on March 29, 2011 is incorporated and not merged into this Decree. By the Court, #A/It - (2&f. &pq ry%oL;ied 46 attq Adams No-hw+&Py rraijad-6 nq c,,, TERRY DEITCH, Plaintiff V. BRIDGET A. DEITCH, Defendant c? IN THE COURT OF COMMON PLEAS X CUMBERLAND COUNTY, PENNSYLVAN w NO. 10 - 291 Civil Term CIVIL ACTION - LAW :;Cc DIVORCE y DOMESTIC RELATIONS ORDER N i? :ac N3 N n This cause, coming before the Court for the purpose of entry of a Qualified Domestic Relations Order, as that term is defined in Section 206(d)(3) of the Employee Retirement Income Security Act of 1974, as amended ("ERISA"), and Section 414(p) of the Internet Revenue Code ("Code"); the court on April 6, 2011, having entered a Judgment approving a Marital Settlement Agreement dated March 14, 2011; and the Court being fully advised in the premises, the Court hereby makes the following Findings of Fact and Conclusions of Law and enters them as an Order in this proceeding: A. On April 6, 2011, this Court entered a Divorce Decree incorporating the Marital Settlement Agreement, of March 14, 2011, resolving property distribution issues pursuant to the Pennsylvania Divorce Code and the above-captioned case, relating to the marital property rights of Bridget A. Deitch (hereinafter referred to as "Alternate Payee"), who is the former spouse of Terry Deitch, (hereinafter referred to as the "Participant"), and who has potential retirement benefits from the Central Pension Fund of the International Union of Operating Engineers and Participating Employers (hereinafter referred to as the "Plan"). B. The Participant's accrued normal retirement benefit under the Plan is expressed as a monthly benefit payable for the life of the Participant, commencing at the Participant's normal retirement age and continuing until the date of death of the Participant, with a sixty payment minimum guarantee. However, such guarantee applies only to that portion of the accrued benefit attributable to contributions for all period endings on or before July 31, 2005. C. The amount of the benefit awarded to the Alternate Payee hereunder shall be 55% of that portion of the Participant's "accrued benefit", as defined in Section 411(a)(7) of the Code, attributable to credited service under the Plan during the period August 12, 2000 through and including January 1, 2009, which is determined to be marital property. The Alternate Payee may begin receiving the benefits awarded to her hereunder on or after the Participant's "earliest retirement age," as that term is defined under Section 414(p)(4) of the code, subject to the Alternate Payee furnishing z Fn i= "0rn C° °1Q =': -r; t_j q appropriate notification to the Board of Trustees of the Plan (hereinafter referred to as "Board of Trustees"), of her desire to commence receiving benefits. Payments to the Alternate Payee shall be subject to any adjustments for early payment as provided in the Plan based on the age of the Alternate Payee (and the age of the Participant, if the Participant has not attained his normal retirement age under the Plan) on the date payments to the Alternate Payee are scheduled to commence. D. The Alternate Payee shall receive payment of her interest in the Participant's accrued benefit, as set forth above, in the form of a separated single life annuity, with a sixty payment guarantee. However, such guarantee applies only with respect to that portion of the accrued benefit attributable to contributions for all period endings on or before July 31, 2005. Payments shall be made in a manner consistent with the terms and conditions of the Plan, but not in the form of a joint and survivor annuity for the lives of the Alternate Payee and the Alternate Payee's subsequent spouse. Payments to the Alternate Payee shall continue until her death, subject to the Plan's sixty payment minimum guarantee. E. The Alternate Payee shall not be considered the qualified spouse of the Participant for purposes of Section 205 of ERISA and Section 401(a)(11) of the Code for the purpose of determining Alternate Payee's eligibility for a Qualified Joint and Survivor Annuity ("QJSA") and/or a Qualified Pre-Retirement Survivor Annuity. ("QPSA"). F. The monthly income amount paid to the Alternate Payee is a gross amount, which is subject to federal income tax and other taxes. The Alternate Payee will be responsible for payment of all taxes due as a consequence of the payment by the Plan of any benefits to the Alternate Payee under this Order. G. The death of the Alternate Payee shall have no effect on the Plan benefits that are payable to the Participant. The death of the Participant shall have no effect on the Plan benefits that are payable to the Alternate Payee. If the Alternate Payee dies after commencing her benefit, but before her Plan benefits, as determined under this Order, have been distributed in full, any death benefits payable under the form of benefit selected by the Alternate Payee shall be paid to the Alternate Payee's beneficiary. If the Alternate Payee has not designated a beneficiary, or if the designated beneficiary does not survive the Alternate Payee, any death benefits shall be paid to the Alternate Payee's estate. H. The Board of Trustees shall have full discretionary and final authority to implement and interpret this Order, including any uncertain or ambiguous terms, in order to comply with the terms of the Plan and all legal requirements. I. General provisions: (1) It is intended that this Order shall qualify as a qualified domestic Relations Order ("QDRO"), within the meaning of Section 414(p) of the Code and Section 206(d)(3) of ERISA. The provisions of this Order shall be administered in compliance with such provisions. (2) A certified copy of this Order shall be served upon the Board of Trustees by counsel of record forthwith. The Board of Trustees shall, within a reasonable time after receipt of this Order, determine whether this Order is a QDRO and shall so notify the Participant and the Alternate Payee, and/or their respective counsel. During the period while the determination is being made, the Board of Trustees shall take such action as is authorized or required by Section 414(p)(7) of the Code and Section 206(d)(3)(H) of ERISA. (3) If the Board of Trustees determines that this Order is a QDRO, they shall so notify the parties. If the Board of Trustees determines that this Order is not a QDRO, they shall inform the parties of the reasons for the determination. (4) The Court shall retain jurisdiction to make changes in this Order to the extent necessary to case the Order to qualify as a QDRO and to effect the intent of the parties. No change to this Order shall be effective until the Board of Trustees determines that the changes do not adversely affect the Order's status as a QDRO. (5) The Court also finds as follows: (a) The last known address of the Participant is: 303 Old State Road Shermansdale, Pa. 17090 Participant's date of birth is: October 8, 1955. Participant's social security number will be provided in a -separate Document to protect his confidential information (b) The last known address of Alternate Payee is: 7 Maple Avenue Walnut Bottom, PA 17266-9701 Participant's date of birth is: October 12, 1968. Participant's social security number will be provided in a separate Document to protect her confidential information. STIPULATED: Michelle Sommer squire Attorney for Alternate Payee an Adams, Esquire At rney for Participant SO ORDERED, THIS 2-4 DAY OF 'L?, cis?x ?- (f ?), 0 ?01 Bridget A. 04itch, Alternate Payee Terry Deit anticipant P ov , 2011. ac Michelle Sommer, Esquire pies M? ?? C ? Jane Adams, Esquire P 11/ oh OKB By the Court: ?J TERRY DEITCH, V. IN THE COURT OF COMMON PLEAS Plaintiff : CUMBERLAND COUNTY, PENNSYLVANIA NO. 10 - 291 Civil Term BRIDGET A. DEITCH, : CIVIL ACTION - LAW Defendant : DIVORCE DOMESTIC RELATIONS ORDER It is the interest of the Court that the provisions of this Domestic Relations Order operate as an effective assignment for the Alternate Payee's interest in the IACNA Hourly Employees' Retirement Savings Plan as set forth below under both state and federal laws, for all purposes, and constitute a Qualified Domestic Relations Order in compliance with section 414(p) of the Internal Revenue Code of 1986, as amended (Code) and section 206(d)(3) of the Employee Retirement Income Security Act of 1974, as amended (ERISA). A. Identification of the Parties: 1. Plan Participant. The Plan participant is: Terry Deitch Participant's address is: 303 Old State Road Shermansdale, Pa. 17090 Participant's date of birth is: October 8, 1955 Participant's social security no. shall be provided in a separate document to the Plan Administrator, to protect the parties' privacy. 2. Alternate Payee. The Alternate Payee is: Bridget A. Deitch Alternate Payee's address is: 7 Maple Ave Newville, Pa. 17241 Alternate Payee's date of birth is: October 12, 1968 Alternate Payee's social security no, shall be provided in a separate document to the Plan Administrator, to protect the parties' privacy. B. Name of Plan to which this Order applies: This Domestic Relations Order shall apply to the IACNA Hourly Employees' Retirement Savings Plan. C. Plan Sponsor: The Plan Sponsor is: IACNA D. Plan Administrator: The Plan Administrator is: AON Hewitt QDRO Department 400 Atrium Drive, 5th Floor South Somerset, NJ 98873 E. Award to Alternate Payee: 1. The Alternate Payee will obtain $15,204.19 of the value of the Participant's vested account balance under the Plan as of March 31, 2011. 2. The determined amount will not be credited or debited with any gains or losses attributable to such amount for the period from the date of determination to the date of assignment of the calculated award to a separate account in the Alternate Payee's name under the Plan. 3. Any outstanding loan balances will not be considered as part of the Participant's vested account balance for purposes of determining the amount to be assigned to the Alternate Payee. Participant shall retain the responsibility for payment of any such outstanding loan balances. 4. The calculated award determined above shall be transferred to a separate account under the Plan in the name of the Alternate Payee as soon as administratively feasible. The income, accruals, gains, and losses experienced by such account maintained for the Alternate Payee are to accrue to such account. The Alternate Payee shall have investment management rights pursuant to the provisions of the Plan for her account under the Plan. The Alternate Payee may elect to receive distribution from her separate account in accordance with the terms of the Plan without reference to the Participant's attainment of "earliest retirement age," as defined in Section 414(p)(4)(B) of the Internal Revenue Code of 1986, as amended. The Plan administrator will forward a distribution form to the Alternate Payee as soon as administratively feasible after the date of assignment of the calculated award to a separate account in the Alternate Payee's name under the Plan. 5. After assignment of the calculated award to the Alternate Payee's account under the Plan, the Participant shall be awarded all right, title, and interest in and to the Participant's account balance, as reduced above, under the Plan free and clear of any interest of the Alternate Payee. 6. In the event of the Participant's death, there will be no effect on the payment of the benefit assigned to the Alternate Payee hereunder. With respect to the Participant's account balance under the Plan not assigned to the Alternate Payee under this order, the Alternate Payee will not be entitled to any survivor benefits. 7. In the event of Alternate Payee's death before receipt of the assigned benefit, such benefit shall be payable to the designated beneficiary of the Alternate Payee or, if there is no designated beneficiary, to the Alternate Payee's estate, provided, however, that once benefits have commenced to the Alternate Payee, the form of benefit elected shall determine if any additional amounts shall be paid upon the Alternate Payee's death. F. Compliance with the Provisions of the Law: It is this Court's intention that the provisions of the Order operate as an effective assignment of said interest under both state and federal law, for all purposes, and constitute a "Qualified Domestic Relations Order," in compliance with Section 414(p) of the Internal Revenue Code of 1986, as amended and Section 206(d)(3) of the Employee Retirement Income Security Act of 1974, as amended. This QDRO is granted in accordance with the Divorce Code of Pennsylvania, which relates to marital property rights; child support, and/or spousal support between spouses and former spouses in matrimonial action. In the event that it is subsequently determined by the Plan Administrator for the Plan, by a court of competent jurisdiction, or otherwise, that the provisions of this Order fail to meet the requirements of a "Qualified Domestic Relations Order," both parties shall cooperate fully and shall execute any and all documents necessary to obtain an Amended Judgment and Decree containing an Order of this Court, meeting all requirements of a "Qualified Domestic Relations Order," and this court expressly reserves jurisdiction over the Participant's benefits in the above named Plan as of the date of entry of the Judgment and Decree, in order to effectuate the assignment of benefits ordered above. This Order supercedes all previously filed Orders in this matter relating to this subject. G. Savings Clause: This Order is not intended, and shall not be construed in such a manner as, to require the Plan: (1) to provide any type or form of benefit option not otherwise provided under the terms of the Plan; (2) to increased benefits, other than through the accumulations of earnings; (3) to require the payment of any benefits to the Alternate Payee which are required to be paid to another Alternate Payee under another Order which was previously deemed to be a QDRO. H. Plan Administraton/Recovery of Excess Amounts: 1. The Alternate Payee is ordered to report any retirement payments received on any applicable income tax return. The Plan Trustee is authorized to issue a 1099-R on any direct payments made to the Alternate Payee. 2. The Alternate Payee shall keep the Plan Sponsor advised of their current address. Notice of change of address shall be made in writing, witnessed by a Notary, and mailed to: IAC 5300 Autoclub Drive Dearborn Michigan 48126 3. In the event that the Plan Trustee inadvertently pays to the Participant any benefits that are assigned to the Alternate Payee pursuant to the terms of this Order, the Participant shall immediately reimburse the Alternate Payee to the extent that he or she has received such benefit payment and shall forthwith pay such amount so received directly to the Alternate Payee within ten (10) days of receipt. 4. The Participant and the Alternate Payee shall hold the Plan, and any fiduciary harmless from any liabilities, which arise from this domestic relations Order, including all reasonable attorney's fees, which may be incurred in connection with any claims which are asserted because the Plan honors this Order. 1. Copy. A certified copy of this domestic relations Order shall be served upon the Plan Administrator. STIPULATED: Michelle Somme ./, Esquire Bridget Deitch, Alternate Payee Attorney for Alternate Payee Ja Adams, Esquire Terry Deit h, Participant ?M A ney for Participant F????:7,? ry 201; -. SO ORDERED, THIS DAY 0 // ;Z C:? By the Court: C-D J. cc: ? Michelle Sommer, Esquire Jane Adams, Esquire ?? ? e5 r11Ci. . ?G