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HomeMy WebLinkAbout10-1120"ennsy'vania ";ling Forms Page I of 1 Joshua Reynolds, IN THE COURT OF COMMON PLEAS PLAINTIFF, ) CUMBERLAND COUNTY, c.? PENNSYLVANIA '^ r =? -17 fr7 V. ) CIVIL DIVISION - Diana Reynolds, ) NO. - I ao aivi I Tarm DEFENDANT ) NOTICE TO DEFEND AND CLAIM RIGHTS YOU HAVE BEEN SUED IN COURT. IF YOU WISH TO DEFEND AGAINST THE CLAIM 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 CHILD(REN). WHEN THE GROUND FOR THE DIVORCE ARE INDIGNITIES OR IRRETRIEVABLE :BREAKDOWN OF THE MARRIAGE, YOU MAY REQUEST MARRIAGE COUNSELING. A LIST OF :MARRIAGE COUNSELORS IS AVAILABLE IN THE OFFICE OF THE PROTHONOTARY IN :PENNSYLVANIA. IF YOU DO NOT FILE A CLAIM FOR ALIMONY; DIVISION OF PROPERTY, LAWYERS FEES, OR EXPENSES BEFORE A DIVORCE OR ANNULMENT IS GRANTED, YOU MAY LOSE THE RIGHT TO CLAIM ANY OF THEM. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A :LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW TO :FIND OUT WHERE YOU CAN GET LEGAL HELP. LAWYE S REFERRAL SERVICE Bedfwl r le PA 17o/3 Telephone: etitioner Signa e 25 south 24th street CampHill, PA 17011 763-244-7835 35a .oo PQ PtFF MR a5162a :https://www.ourdivorceagreement.com/ssl/States/StateForms/Pennsylvania/PA-NoticeToC... 8/21/2009 Pennsy'varia T';., ing Forms Joshua Rgmolds. PLAINTIFF, V. Diana Reynolds, DEFENDANT COMPLAINT IN DIVORCE Page 1_ of 1 COMES, the Plaintiff, Joshua Reynolds, by FILING PRO SE, who files this Complaint in Divorce a statement of which is as follow: 1. The Plaintiff is Joshua Reynolds, an adult individual currently residing at 25 south 24th street CampHill, PA 17011. 2. The Defendant is Diana Reynolds, an adult individual currently residing at 241 B Hummle ave. Lemoyne, PA 17043. 3. The Plaintiff has been a bona fide resident of the Commonwealth of Pennsylvania for at least six (6) months previous to the filing of this Complaint. 4. The Plaintiff and Respondent were married on 9/7/2006, in the State of Pennsylvania. 5. There are no minor children born to or adopted by the parties; the wife is not now pregnant. 6. There have been no prior actions of divorce or for annulment between the parties. 7. Neither party is a member of any branch of military. 8. The imarriage is irretrievably broken. 9. Plairiff has been advise that counseling is available and that Plaintiff may have the right to request that the Court require the parties to participate in counseling. 10. The Plaintiff, Joshua Reynolds, respectfully requests that this Court grant this Divorce pursuant to Section 3301 (c), or in the alternative, Section 3301 (d) of the Divorce Code and that a Decree of Divorce be entered. I verify that the statements made in the Complaint are true and correct. I understand that false statements made herein are subject to penalties of 18 Pa. C.S..A Section 4904, relating to unworn falsification to authorities. Respectfully submitted, COMMONWEALTH OF PENNSYLVANIA ) )ss. County of CUMBERLAND ) AFFIDAVIT Before me, the subscriber; a Notary Public in and for said Commonwealth and Cumberland County, personally appeared Joshua Reynolds, who, being duly sworn according to law, deposes and says that the facts contained within the foregoing Complaint in Divorce are true and convect to the best of his/her knowledge, information, and belief, and that he/she is authorized to make this Affidavit. IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION NO. /0- Q C'I,'-/ ignature of Plainti Joshua Reynolds Dated: / O ,l '3 . /U ? Name??aS?t.r.c? ?EGYw-r?L Swom to and subscribed before me this 2001 a ;Yof OF PENNSYLVANIA Notarial Seal Nathan R. Kelso, Notary Public Lemoyne Boro, Cumberland County My Commission Expires March 28, 2012 Member, Pennsylvania Association of Notaries https://www.ourdivorceagreement.com/ssUStates/StateForms/Pennsylvania/PA-Complaint.... 8/21/2009 7,:?l cia' Summary f .? Item Assets Total Assets: Liabilities Total Liabilities: Net Assets: Financial Summary Page 1 of l Value Wife/M Husb/M Wife/NM Husb/NM 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 Note: Amounts above represent net values of assets that have loans against them (i.e. vehicles, real estate, etc.) Liabilities do not include mortgages or auto loans as they have been subtracted in net asset calculations. https://wNvw.ourdivorceagreement.com/ssl/dev/financial summary.asp 8/21/2009 F,?; anc-a' Swrma-y Item Assets Total Assets: Liabilities; Total Liabilities: Net Assets: Financial Summary Page 1 of 1 Value WHOM Husb/M Wife/NM Husb/NM 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 0.00 Note: Amounts above represent net values of assets that have loans against them (i.e. vehicles, real estate, etc.) Liabilities do not include mortgages or auto loans as they have been subtracted in net asset calculations. https://wwvw.ourdivorceagreement.com/ssl/dev/fmancial_summary.asp 8/21/2009 CT Fr:N T 7NANCIA, DISCLOSURE FINANCIAL DISCLOSURE STATEMENT Petitioner's Name: Address: Joshua Reynolds 25 south 24th street CampHill, PA 17011 Children: INCOME: Page, 1 of 5 10 - Ila.o T&^ C-) t` - t r., Employer/Employment Name: Years Employed: Pay Schedule: weekly Deductions Claimed: 0 Gross Wages Per Pay Period: 0.00 PAYROLL DEDUCTIONS (per pay period): Social Security Tax (FICA, CCP, NI): 0.00 Federal Withholding Tax: 0.00 State/Province Withholding Tax: 0.00 City/County Withholding Tax: 0.00 Medicare if applicable: 0.00 Union Dues: 0.00 Total Deductions (pay period): 0.00 Net Pay (pay period): 0.00 Gross Monthly Wages: 0.00 Total Deductions (month): 0.00 Net Pay (month): 0.00 ADDITIONAL INCOME: Average Gross Per Month, All Sources: 0.00 Average Net Per Month, All Sources: 0.00 BUSINESS PERQUISITES ("Pergs" ?: https://www.ourdivorceagreement.com/sslldev/client financial disclosure wife.asp 8/21/2009 C ?'E'T7 NA CIA r DISCLOSURE Page 2 of 5 Average Monthly Value: 0.00 Total Additional Income: 0.00 Total Average Monthly Gross: 0.00 Total Average Monthly Net: 0.00 Gross Annual Income (reported on last years 0.00 Federal tax return): If income has fluctuated significantly, enter 0.00 Average Annual Gross Income in last 5 years: EXPENSES: Housing: Rent or Mortgage Payments: 0.00 Second Mortgage/Home Equity Loan: 0.00 Real Estate Taxes (prorated monthly): 0.00 Maintenance: 0.00 Repairs: 0.00 Other: 0.00 Subtotal, Housing: 0.00 UTILITIES: Electricity: 0.00 Gas: 0.00 Water: 0.00 Telephone-Local Service: 0.00 Telephone-Long Distance: 0.00 Telephone-Mobile/Pager: 0.00 Sewer Service: 0.00 Garbage Service: 0.00 Cable TV: 0.00 Internet Service: 0.00 Subtotal, Utilities: 0.00 AUTOS/VEHICLES/TRANSPORTATION: https://www.ourdivorceagreement.comisslldev/client financial_disclosure wife.asp 8/21/2009 C TT - :-INTANCIA DISCLOSURE Page ? of 5 Auto Lo,m/Lease Payments: 0.00 Taxes and Licenses: 0.00 Gas and Oil: 0.00 Maintenance: 0.00 Other: Boat, RV, Plane, Motorcycle 0.00 Other: Bus Fare, Taxi, Parking: 0.00 Subtotal, Vehicles/Transportation: 0.00 INSURANCE PREMIUMS: Health (Medical, Dental, Optical): 0.00 Accident and Disability: 0.00 Auto Insurance: 0.00 Homeowners or Renters Insurance: 0.00 Life Insurance: 0.00 Other, Total: 0.00 Subtotal, Insurance: 0.00 OTHER: Credit Card/Other Debt: 0.00 Maintenance or Alimony to former spouse: 0.00 Child Support for previous children: 0.00 Subtotal, Other Debt: 0.00 DISCRETIONARY EXPENSES (average monthly): Petitioner Kids W/Petitioner Food: 0.00 0.00 Clothing: 0.00 0.00 Out of Pocket: 0.00 0.00 Recreation and Cultural Events 0.00 0.00 Laundry/Dry Cleaning 0.00 0.00 Alterations 0.00 0.00 Barber/Beauty Shop, Cosmetics 0.00 0.00 https://www.ourdivorceagreement.com/ssl/dev/client financial_disclosure wife.asp 8/21/2009 C 1 E'?T 1,INA\TCIAT., DISCLOSURE School, Books, Fees, Room, Board 0.00 0.00 Memberships/Dues 0.00 0.00 Lessons 0.00 0.00 Gifts 0.00 0.00 Vacations or Camps 0.00 0.00 Children's Allowance 0.00 0.00 Newspaper/Magazine Subscriptions 0.00 0.00 Charitable Contributions 0.00 0.00 Out of Pocket Expense for Counseling, Therapy, Support Groups 0.00 0.00 Work Related Child Care 0.00 0.00 Non-Work Related Child Care/Sitters 0.00 0.00 Pet Expenses 0.00 0.00 Health Insurance Children 0.00 0.00 Life Insurance/Children 0.00 0.00 Auto Insurance/Children 0.00 0.00 Miscellaneous: 0.00 0.00 Other: 0.00 0.00 Subtotal, Discretionary Expenses: 0.00 0.00 Total Average Monthly Expenses: 0.00 Total Average Monthly Income: 0.00 ASSETS: Total Assets: 0.00 LIABILITIES: Total Liabilities: 0.00 1, __ , certify that the information herein is complete and accurate. Page 4 of -5 htlps://www.ourdivorceagreement.com/sslldevlclient fmancial disclosure wife.asp 8/21/2009 CLIENT FINANCIAL DISCLOSURE Signature Date State of Notary Page 5 of 5 I, , certify that this document was executed by the above individual in my presence. Notary Signature https:llwww.ourdivorceagreement.comisslldev/client financial disclosure wife.asp 8/21/2009 T?ennW.vania riling Forms Page I of 1 Joshua Reyno ds, IN THE COURT OF COMMON PLEAS PLAINTIFF, ) CUMBERLAND COUNTY, C- ' PENNSYLVANIA; =' -i m r CIVIL DIVISION ) lds R Di NO. 10 - 11 i V i I Term , ana eyno DEFENDANT ACCEPTANCE OF SERVICE AND ENTRY OF APPEARANCE PLEASE take notice that I, Diana Reynolds, Defendant, was provided with a Copy of the Notice to Defend and Claim Rights and Complaint for Div a and do accept service of same. I further enter my appearance in this action for all purposes. a Reynolds 241 B Hummle ave. Lemoyne, PA 17043 717-856-5304 https:llwww.ourdivorceagreement.comisslIStatesIStateFormsIPennsylvanialPA-Acceptanc... 8/21/2009 Pe^^:sylvania. Filing Forms Joshua Reynolds, V. PLAINTIFF, ) DEFENDANT ) IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION NO. I - 11 ON&I Term ACKNOWLEDGEMENT Diana Reynolds, Ll'? .- Page '_ of 1 nJ C-j w? c-1 n.> .c- r.; zz T t A complaint :in Divorce under Section 3301(c) of the Divorce Code was filed on d- -1 c? - lU I agree that the marriage of the Plaintiff and Defendant is irretrievably broken and ninety clays have elapsed from the date of filing the Complaint. All information contained within the attached documentation is true and correct to the best of my knowledge, information, and belief It is my desire to file with the Cumberland County Court of Common Pleas the attached Property Settlement Agreement and to be bound fully and completely by the terms and conditions as set forth within said Property Settlement Agreement documentation. IN" WITNESS WHEREOF oc- h:;' e 2 200' J 3 Rol day of hand and seal this SIGNATURE NAME: On this P3,-Rcl day of De-l-DbZQ 9- , 20 0 `'1 , before me, a Notary Public, the undersigned officer, personally appeared Diana Reynolds, known to me to be the person whose name is subscribed to the written instrument, and acknowledged that he/she executed the same for the purposes therein contained. IN WITNESS WHEREOF I hereunto set my hand and official seal. Notary Public COMMONWEALTH OF PENNSYLVANIA Notarial Seal Gwendolen Steward, Notary Public Lower Paxl on Twp., Dauphin County My Commission Expires July 23, 2o11 Member, Pennsylvania Association of Notaries https://www.ourdivorceagreement. com/ssilStates/StateForms/Pennsylvania/PA-Acknowle... 8/21/2009 Fennsy vania 7i1_ing Forms Page 1 of 1 Joshua Reynol ds, IN THE COURT OF COMMON PLEAS PLAINTIFF, ) CUMBERLAND COUNTY, PENNSYLVANIA V. ) CIVIL DIVISION ) 'C7 ii Diana Reynolds, ) NO. 16 r DEFENDANT ) 2 N-1 } rv -< ACKNOWLEDGEMENT A complaint in Divorce under Section 3301(c) of the Divorce Code was filed on a,`16 - (6 . I agree that the marriage of the Plaintiff and Defendant is irretrievably broken and ninety days have elapsed from the date of filing the Complaint. All information contained within the attached documentation is true and correct to the best of my knowledge, information, and belief It is my desire to file with the Cumberland County Court of Common Pleas the attached Property Settlement Agreement and to be bound fully and completely by the terms and conditions as set forth within said Property Settlement Agreement documentation. IN WITNESS WHEREOF I set my hand and seal this day of 20. NATURE NAME: e On this '30 day of OcMbelr , 20 (`j- before me, a Notary Public, the undersigned officer, personally appeared Joshua Reynolds, known to me to be the person whose name is subscribed to the written instrument, and acknowledged that he/she executed the same for the purposes therein contained. IN WITNESS WHEREOF I hereunto set my hanVoffi eal. I t il,11, COMM ONWEALTH OF PENNSYLVANIA NOtNotarial Seal https://www.ourdivorceagreement.com/ssl/States/StateForms/Pennsylvania/PA-Acknowle... 8/21/2009 Nathan R. Kelso, Notary Public Lemoyne Boro, Cumberland County My Commission Expires March 28, 2012 Member Per?sui?+arria 4ssociation of Notaries Property Settlement Agreement Page 1 of S ?10 - l I ao civ ? t Terra PROPERTY SETTLEMENT AGREEMENT This Property Settlement Agreement, which will be referred to as the "Agreement," is made by Joshua Reynolds, resident of PA, and Diana Reynolds, resident of PA, who will be referred to as Joshua Reynolds and Diana Reynolds, or as the "parties" or "parents" in this Agreement. INTRODUCTION: THE BASES FOR THIS AGREEMENT The parties have decided and agree that they can no longer live together because of irreconcilable differences; there is no reasonable likelihood that their marriage can be preserved, and therefore, the marriage is irretrievably broken. The parties have no minor children. A petition for divorce has been filed in the court with family/divorce jurisdiction in Cumberland County in the state of Pennsylvania, in the country of United States. Both parties wish to reach a settlement concerning the issues presented by their dissolution. This agreement sets out the process they have used to arrive at settlement and the decisions they have reached together. Those agreements and decisions are organized as follows: INTRODUCTION: The Bases for This Agreement. DEFERRED COMPENSATION PLANS: Annuities, Pension, Retirement, Individual Retirement Accounts (IRA's), and Profit Sharing Plans. PERSONAL PROPERTY AND MARITAL DEBTS: Motor Vehicles, Household Furnishings, Bank Accounts, Certificates of Deposit, Securities, Miscellaneous Fiucial° Assets, Pending Litigation and Tax Liabilities. M I? M - F7 REAL PROPERTY: Family Residence and Other Real Property. BUSINESS INTERESTS. n, SPOUSAL MAINTENANCE. ADMINISTRATIVE PROVISIONS, PROFESSIONAL FEES AND COSTS TAX STATUS AND OTHER RESPONSIBILITIES UNDER THIS AGREEMENT. The parties have reached this Agreement with the consultation of their attorneys in order to obtain a settlement they consider fair and reasonable for themselves. The parties stipulate and promise that they have fully disclosed to each other all marital and non- marital property held by each of them and all other matters relevant to their respective financial conditions. They have disclosed to and received from each other no less than the following information or documents: their respective financial disclosure statements, income and expenses statements. If either desired or requested appraisals as to the value of any real property or any other asset, those documents were provided. Both parties have had the opportunity to seek professional consultation and advice with accountants, attorneys, or other experts deemed appropriate to make informed decisions. Each party expressly represents to the other that they have relied upon the full and complete disclosure of the other person in entering into this Agreement. https://www.ourdivorceagreement.com/ssl/dev/memUnderstand.asp 8/21/2009 Property Settlement Agreement Page 2 of 5 The parties believe this Agreement is fair and equitable, and agree to submit it to the Court and. request that the Court accepts this Agreement. They understand that the Agreement is subject to the final approval of the Court as required by law and contingent upon the Court entering a final Decree of Dissolution of their marriage. Diana Reynolds and Joshua Reynolds agree that the following provisions, terms, and conditions shall be applicable and binding upon both of them in the complete settlement of the dissolution of their marriage: DEFERRED COMPENSATION PLANS: Annuities, Pension, Retirement, Individual Retirement Accounts (IRA's), and Profit Sharing Plans. PERSONAL PROPERTY AND MARITAL DEBTS: Motor Vehicles, Household Furnishings, Bank Accounts, Certificates of Deposit, Securities, Miscellaneous Financial Assets, Pending Litigation and Tax Liabilities. Automobiles and Other Motor Vehicles Household Furnishings and Furniture Bank Accounts and Certificates of Deposit Cash On Hand The parties agree that whatever cash the parties have on hand at the dissolution date is to be considered non-marital property and is to remain with the respective party. Securities Cash Value Life Insurance Miscellaneous Financial Assets Pending Litigation: Potential Recients of Award The parties have no pending litigation. https://www.ourdivorceagreement.com/ssl/dev/memUnderstand.asp 8/21/2009 Property Settlement Agreement t Debts and Credit Card Accounts Tax Liabilities Pending Litigation: Potential Pavers of Award The parties have no pending litigation. REAL PROPERTY: Family Residence and Other Real Property BUSINESS INTERESTS SPOUSAL MAINTENANCE Page 3 of 5 ADMIMSTRATIVE PROVISIONS PROFESSIONAL FEES AND COSTS, TAX STATUS AND RESPONSIBILITIES UNDER THIS AGREEMENT, CHANGE OF NAME Change of Name. Wife shall retain the name of Morrison upon the dissolution of the marriage. Time. Where some act is required to be performed under the terms of this Agreement and no time is specified for its performance, it shall be done as soon as practical. Release. The parties mutually release each other from any and all obligations, debts, duties, and causes of action arising out of the marriage, and out of their joint ownership of real or personal property, except those specifically set out in this Agreement. Execution of Documents. The parties agree to sign and execute any and all documents and instruments required if any, to effectuate any of the purposes of this Agreement. Beneficiaries. This Agreement is binding upon and shall inure to the benefit of heirs, executors, administrators, and assigns of the parties. Definition of Terms. Any term defined in any section of this Agreement is applicable as defined in every other section of the Agreement. The parties agree that failure of either party to insist upon strict performances of one or more of the terms and provisions of this Agreement shall not be construed as a waiver or relinquishment in the future of any term or provision which shall continue in full force and effect. Settlement of Disagreements: Mediation A. Mediation. The parties agree that if any disagreement should arise concerning this Agreement that cannot be settled directly between themselves https://www.ourdivorceagreement.com/ssl/dev/memUnderstand.asp 8/21/2009 Property Sett'.ement Agreement Page 4 of 5 by negotiation, they will first attempt in good faith to mediate the dispute with the services of a professional mediator of mutual choice. 11. This section shall not be construed to abridge or deny either party from any other remedy available at law. Review and Modification of This Agreement No modification or waiver of any of the terms of this Agreement shall be valid unless it is in writing and executed with the same formality as this Agreement and where necessary, approved by a Court of competent jurisdiction as required by law. Entire Agreement. Neither parry has been induced to execute this Agreement by reason of any representation or promise by or on behalf of the other party that is not contained in this Agreement, and both have had the opportunity to consult with legal counsel. Neither party shall assert or claim that this Agreement or any provision is invalid by reason of any such representation or promise. The parties have incorporated in this Agreement their entire understanding. Professional Fees and Costs Court Costs. Attorney's Fees. Mediator's Fees. Tax Status and Responsibilities The parties will file separate federal and state income tax returns for the 2009 calendar year. IN WITNESS WHEREOF, THESE PARTIES HAVE SIGNED THIS AGREEMENT AS THEIR FREE ACT AND DEED ON THIS 21 ST DAY OF AUGUST, 2009. , Petitioner By Attorney for the Petitioner 1 I l esponden By: Attorney for the Respondent https://www.ourdivorceagreement.com/ssl/dev/memUnderstand.asp 8/21/2009 Pronerty Sett?.ement Agreement Date iv1231©? Date Page 5 of 5 https://www.ourdivorceagreement.com/ssl/dev/memUnderstand.asp 8/21/2009 Pennsylvania Filing Forms Joshua Reynolds, IN THE COURT OF COMMON PLEAS PLAINTIFF, ) CUMBERLAND COUNTY, PENNSYLVANIA V. ) CIVIL DIVISION NO. 10 - 1/120 (IvaTerv% Diana Reynolds, ) DEFENDANT ) MILITARY AFFIDAVIT Page I of I I, Diana Reynolds, Defendant, being sworn, certify that the following information is true: I am not on active duty in the armed services of the United States. I understand that I am swearing or affirming under oath to the truthfulness of the claims made in this affidavit and that the punishment for knowing/ 'ng a false s e includes fines and/or imprisonment. DATED: I Cy (2 3 1 D `1 9rg'?3?ature of DeTendant Diana Reynolds d 241 B Hummle ave. Lemoyne, PA 17043 ?, 717-856-5304 - 11? rn .7 C-) ,r ?? -5 C STATE OF PENNSYLVANIA COUNTY OF CUMBERLAND -' rv --? °? before me, a Notary Public, personally On the 23i-'? day of Oc k-0 }QeZ , 20 0 appeared Diana Reynolds, known to me to be the person whose name is subscribed to the within document and acknowledged that she executed the foregoing for the purpose therein contained. IN WITNESS WHEREOF, I have hereunto set my hand and seal. Notary Public v COMMONWEALTH OF PENNSYLVANIA Notarial Seal Gwendolen Steward, Notary Public Lower Paxton Twp., Dauphin County Member, Pennsylvania Assodsf;nr, of https://www.ourdivorceagreement.com/ssVStates/StateFormsIPennsylvanialPA-NonMilitar... 8/21/2009 Pennsylvania Filing Forms Page 1. of 1 Joshua Reynolds, IN THE COURT OF COMMON PLEAS PLAINTIFF, ) CUMBERLAND COUNTY, ' PENNSYLVANIA- ; .•• :` r-1-1 CsJ r:r V. j CIVIL DIVISION ) = C ` Diana Reynolds, ) iv• t Ted` NO. - ?? f; # C.) DEFENDANT ) N) AFFIDAVIT OF CONSENT 1. A complaint in Divorce under Section 3301 (c) of the Divorce Code was filed on (date:) 2. The marriage of the Plaintiff and Defendant is irretrievably broken and ninety days have elapsed from the date of filing and Complaint. 3 I consent to the entry of a final decree of Divorce after service of notice of intention to request entry of the decree. Date: L116 za6 / y shua Reynold https://www.ourdivorceagreement.comissVStates/StateFormsIPennsylvanialPA-AffidavitO... 8/21/2009 Pennsylvania Filing Forms Page 1 of ]. Joshua Reynolds, IN THE COURT OF COMMON PLEAS PLAINTIFF, CUMBERLAND COUNTY, PENNSYLVANIA - ' ' -T•rtt V. ) CIVIL DIVISION 5. _ y c7 rn ) Diana Reynolds, ) NO. lO - 11c20 C!vit DEFENDANT ) WAIVER OF NOTICE OF INTENTION TO REQUEST ENTRY OF A DIVORCE DECREE UNDER SECTION 3301(c) OF THE DIVORCE CODE 1. I consent to the entry of a final decree of Divorce without notice. 2. I understand that I may lose rights concerning alimony, division of property, lawyer's fees, or expenses if I do not claim them before a Divorce is granted. 3. 1 understand that I will not be divorced until a Divorce decree is entered by the Court and that a copy of the decree will be sent to me immediately after it is filed with the prothonotary. I verify that the statements made in this affidavit are true and correct. I understand that false statements here-in are made subject to the penalties of 18 Pa C.S. Section 4904 relating to unworn falsification to authorities. Date: J ua Reynolds https://www.ourdivorceagreement.com/ssIlStates/StateForms/Pennsylvania/PA-Waiverl.asp 8/21/2009 Pennsylvania Filing Forms Joshua Reynolds. PLAINTIFF, ) ) V. ) ) Diana Reynolds, ) DEFENDANT ) IN THE COURT OF COMMON PLEAS Page 1. of I CUMBERLAND COUNTY, PENNSYLVANIA CIVIL DIVISION --- "'" F:, cr) _ 3 l0 -ll ap lei v i I NO I erM ? t rn . ; AFFIDAVIT OF CONSENT 1. A complaint in Divorce under Section 3301 (c) of the Divorce Code was filed on (date:) 2. The marriage of the Plaintiff and Defendant is irretrievably broken and ninety days have elapsed from the date of filing and Complaint. 3 I consent to the entry of a final decree of Divorce after service of notice of intention to request entry of the decree. /1 Date: https://www.ourdivorceagreement.comissilStates/StateFormsIPennsylvanialPA-AffidavitO... 8/21/2009 Pennsy'vania Fi'ing Forms Page 1 of 1 Joshua Reynolds, IN THE COURT OF COMMON PLEAS PLAINTIFF, ) CUMBERLAND COUNTY, PENNSYLVANIA N Cm 1 -1 V. ) CIVIL DIVISION Diana Reynolds., ) NO. lb - (a0 tvi l (PXIH ; .' DEFENDANT ) " c N) -, ' ` c- '.'` N WAIVER OF NOTICE OF INTENTION TO REQUEST ENTRY OF A DIVORCE DECREE UNDER SECTION 3301(c) OF THE DIVORCE CODE I consent to the entry of a final decree of Divorce without notice. 2. I undersimid 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. 1 understand that I will not be divorced until a Divorce decree is entered by the Court and that a copy of the decree will be sent to me immediately after it is filed with the prothonotary. I verify that the statements made in this affidavit are true and correct. I understand that false statements here-in are made subject to the penalties of 18 Pa C Section 4904 relating to unworn falsification to authorities. Z) I _.-? Date: [0 ?n 1 01 https://www.ou.rdivorceagreement.com/ssIlStates/StateFormsIPennsylvanialPA-Waiver2.asp 8/21/2009 ~Ac ~~~ ~ ~,\( ~ ~ IN THE COURT OB COMMON PLEAS VV ~-~.J~d :CUMBERLAND COUNTY, PENNSYLVANIA VS. . CIVII. DIVISION l C!`I/L4~, ~ ~S NO.~f/S/ QS ~~~`~_ CIVII. TERM PRAECIPE TO TRANSNIIT RECORD To the Prothonotary: Transnut the record, together with the following information to the court for entry of a divorce decree: 1. r ° Ground for divorce: ~ o bntrievable brr~aladown under 3301 c ~; ; f ; c -` ~ ~~~'~ 3301 (d) (1) of the Divorce Code. _ . ~ i ^ ~ .~ --~ (3take Olit mapphcsble sCCtion) - ~~ ~~ J `-_ l 2 - f ~ h r~~~ ~ 2. o ~ ~, e camp ai~ - Date and moor of service of t -; - ~. t--' rn 3. ~ Complete either p~ragcaph (a) or (b). ~ a. Date of execution of the affidavit of coasa~at required by 3301 (c) of the ~ c-; Divorce coda: byplainti$~~ 2 ~ ~,~. ds b. (1) Date of exc~ion of the affidavit required by 3301 (d) of the Divorce (2) Date of filing and service of the plaintiff a affidavit upon the respondent: 4. Relatrd claims pending: ~4 /1 °~ S. Complete either (a) or (b) m to 51e praecipe to hsasnrrit a. Date and rnarmer of service of the notice of intentia tt record, a copy of which is attached: ! n ~ (~" 1 1-~ ~ t~ ~ l IIOYC~„ b. Date of plaintiff's Waiver of Notice in 3301 {c) Divorce was filed with the Prothonotary: Date defendant's Waiver of Notice is 3301 (c) divorce was filed with the Prothonotary: Attorney or Piaintiff/Defeadant \^ IN THE COURT OF COMMON PLEAS OF OS'( ~Lx~ ~~S : CUMBERLAND COUNTY, PENNSYLVANIA V. t,GY\G.~~ I~~c~ DIVORCE DECREE AND NOW, ~y'nL ~~ ~,~~~ , it is ordered and decreed that ,plaintiff, and Sdefendant, are divorced from the bonds of matrimony. Any existing spousal support order shall hereafter be deemed an order for alimony pendente lite if any economic claims remain pending. The court retains jurisdiction of any claims raised by the parties to this action for which a final order has not yet been entered. Those claims are as follows: (If no claims remain indicate "None.") By the Court, Attest: J. Prothonotary ,, . .~.