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HomeMy WebLinkAbout10-1470THE FRO 1I?11? 1810 MAR -2 PM 2: 2S 0WRLN'40 t wry i'?-AfIVg?, IN RE: : IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY, PENNSYLVANIA BRIAN DEAN OLSON, II :No. 2010- ILI7O l; I? ] CHANGE OF NAME PETITION FOR NAME CHANGE TO THE HONORABLE, THE JUDGES OF SAID COURT: AND NOW, TO WIT, this oVAY)' day of re i y , 2010, comes the Petitioner, Jo Ruch, on behalf of her son, Brian Dean Olson, II, by and through her attorneys, CGA Law Firm, PC, and respectfully represents that: 1. Brian Dean Olson, II, is a minor child residing with his biological mother, Jo Ruch and step-father, Kevin L. Ruch, at 604 Allenview Drive, Mechanicsburg, PA 17055. 2. The minor child, Brian Dean Olson, II, was born in 1996. 3. The minor child, Brian Dean Olson, II, is a citizen of the United States of America. 4. The minor child, Brian Dean Olson, II, has also resided at the following addresses during the preceding five years: a. 404 Gale Street, Mechanicsburg, Pennsylvania 17055 from June, 2003 until July 2007. QO 3y1,rz.) (2e% OVOLa L&'C -r. b. 604 Allenview Drive, Mechanicsburg, Pennsylvania 17055 from July 2007 to the present. 5. Petitioner, Jo Ruch, and the step-father of Brian Dean Olson, II, Kevin Ruch, have been married since 2003. 6. Kevin Ruch, the minor child's step-father, has been involved in his life since 2001, when the minor child was five years old. 7. Petitioner, Jo Ruch, was married to Brian D. Olson, the biological father of the minor child, Brian Dean Olson, II; the parties were divorced in 2002. 8. Petitioner, Jo Ruch and her current husband, Kevin Ruch, also reside with Emily Ruch, step-sibling to the minor child, Brian Dean Olson, II. 9. Since the age of six (6), the minor child has been known by the first name Hollywood. It is a name given to the child by an athletic coach. 10. The minor child is a national speaker for Mothers Against Drunk Driving (M.A.D.D.), the Pennsylvania Liquor Control Board, the Kiwanis Club International and other groups including engagements at schools across the country about the dangers of drinking and driving. At all of these events he is introduced and referred to as "Hollywood". 11. The minor child has founded and appears at his Run Sober Drive Sober race each year where he is referred to as "Hollywood". 12. The minor child has spoken to and has spoken before a United States Senate subcommittee on the issues related to drunk driving. In such capacity he is always introduced as "Hollywood". 13. The minor child identifies closely with the first name Hollywood, his family, friends, teachers refer to him as "Hollywood". 14. The minor child's step-sibling, the Petitioner and the Petitioner's husband all have the surname, Ruch, and the minor child has expressed a desire to share in the Ruch surname. 15. The minor child closely identifies with the Ruch family surname. 16. There is a significantly close bond between the minor child and the step- father, Kevin Ruch, and the extended members of the Ruch family. 17. The minor child has had no visitation with the biological father, Brian Olson since August, 2006, when a supervised visit was terminated due to the inappropriate behavior of the biological father. 18. The Court Order of April 25, 2007, which is attached hereto, only provides rights of supervised visits in a counseling setting, which the biological Father has not exercised since 2006. 19. The biological father's involvement with the minor child is extremely limited. There have been only two attempted telephone calls in more than twelve (12) months. 20. Although the biological Father is not involved in the minor child's life, the Petitioner Mother, Jo Ruch does receive sporadic child support payments through a Court Ordered wage attachment against the biological Father's wages through the Domestic Relations Office in Cumberland County. 21. The minor child intelligently and rationally understands the significance of the request of the change and desires that his name be changed to HOLLYWOOD DEAN OLSON-RUCH. 22. Such request comports with good sense, common decency and fairness to all concerned. 23. Such request has no public ramifications. 24. Such request is not for the purpose of avoiding any type of payment, taxes or other debts, which would be in violation of 54 Pa.C.S.A. Section 702. 25. Such request to change the minor child's name from Brian Dean Olson, II, to Hollywood Dean Olson-Ruch is in the child's best interest, In re: Grimes, 530 Pa. 388. 26. Brian Dean Olson, II's biological father, identified herein as, Brian D. Olson, whose last known address is 212 Conoy Avenue, Elizabethtown, Pennsylvania, 17022. 27. Petitioner, Jo Ruch, concurs with the minor child and desires and requests the Court to change the legal name of the minor child from, Brian Dean Olson, II, to HOLLYWOOD DEAN OLSON-RUCH on the basis of 54 Pa.C.S.A. Section 701, et sea. 28. The change of name of the minor child from Brian Dean Olson, II, to HOLLYWOOD DEAN OLSON-RUCH, would not be harmful to the rights of others or prejudicial to the public good. 29. There are no judgments or decrees of any nature outstanding against the minor child, Brian Dean Olson, II. 30. It is requested that the minor child be exempted from providing his fingerprints as otherwise required by 54 Pa. C. S. A. Section 701 et sea. WHEREFORE, your Petitioner, Jo Ruch, on behalf of the minor child, Brian Dean Olson, II, prays that this Honorable Court enter an Order changing his legal name from Brian Dean Olson, II, to HOLLYWOOD DEAN OLSON-RUCH. Respectfully submitted, LAW FIRM Supreme C_dwr I.D. #x'66654 135 North George Street York, PA 17401 717-848-4900 Attorney for Petitioner VERIFICATION 1, the undersigned, Jo Ruch, hereby affirm that the facts contained in the foregoing are true and correct to the best of their knowledge, information, and belief. This statement is made subject to the penalties of 18 Pa.C.S. Section 4904 relating to unworn falsification to authorities. Dated: Qh J1d U ? Jo ch IN RE: : IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY, PENNSYLVANIA BRIAN DEAN OLSON, II No. 2010- CHANGE OF NAME CERTIFICATE OF SERVICE I hereby certify that on this date a copy of the foregoing Petition for Name Change on the following individual by first class mail, postage prepaid, and addressed as follows: Brian D. Olson 212 Conoy Avenue Elizabethtown, PA 17022 Dated: 311 1 Zv I'D CGA LAW FIRM Michelle Pekritka, Esquire PA 66654 135 North George Street York, Pennsylvania 17401 Tel: (717) 848-4900 3 IN RE: : IN THE COURT OF COMMON PL : CUMBERLAND COUNTY, PENNS N1? M BRIAN DEAN OLSON, II ? I, N n/k/a BRIAN DEAN RUCH No. 2010-1470 -v CHANGE OF NAME ORDER AND NOW, this day of 2011, upon consi deration of the Petitioners' Petition for Name Change, it is ORDERED that a hearing on Petitioners' request be held on the day of ! V ` , 2011, at X30 a4n? / p.m., in Court Room No. Cumberland County Courthouse, Carlisle, Pennsylvania. IT IS FURTHER ORDERED that the notice of the filing of said Petition and the aforesaid date, time and place of the hearing be published once in the Cumberland County Law Journal and a newspaper of general circulation in the County at least ten (10) days prior to the hearing; in addition, Petitioners shall comply with all other requirements of C.C.R.P. 5, and the Act of December 16, 1982, P.S. 1309, Section 6, and 54 Pa. C.S. Section 701 et seq. (1995 Supp.). / THE CO T, Michelle 6rik, k ro. It 1?14740 J. FILED-OFFICE OF THE PROTHONOTARY 2011 jUL -1 AM 11: 14 IN RE: BRIAN DEN OLSON, II n/k/a BRIAN DEAN RUCH CUPENNS LDVANIA TY : IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY, PENNSYLVANIA No. 2010-1470 CHANGE OF NAME AFFIDAVIT OF SERVICE COMMONWEALTH OF PENNSYLVANIA COUNTY OF YORK ss. Befo e me, the undersigned officer, personally appeared Michelle Pokrifka, Esquire, counsel for Petitioner who, being duly sworn according to law, deposes and says that all parties of interest, were notified of the hearing scheduled for July 8, 2011, at 9:30 a.m., with regard to Petitioner's Petition for ame Change, by way of publication explaining the contents thereof, which publication was printed n The Sentinel on June 17, 2011. Proof of publication of the legal notice for The Sentinel is arked Exhibit "A", attached hereto and incorporated by reference herein. I further state that the Noti e of Hearing was also printed in the Cumberland County Law Journal on June 24, 2011. Proof of publication of the legal notice for the Cumberland Law Journal is marked Exhibit «B„ Sworn and me this I hereto and incorporated by reference herein. bed to before day of .2011. COMMONWEALTH OF PENNSYLVANIA My commis, ion expires: L ? Notarial Seal Agatha C. Puleo, Notary Public Nota y Public City of York, York County My Commission Expires June 19, 2014 PROOF OF PUBLICATION State of Pennsylvania, County of Cumberland Jackie Cox, Sales Director, of The Sentinel, of the County and State aforesaid, being duly sworn, deposes and says that THE SENTINEL, a newspaper of general cirCUllation in the Llorougli of Carlisle, County and State aforesaid, was established December 13th, 1881, since which date THE SENTINEL has been regularly issued in said County, and that the printed notice or publication attached hereto is exactly the same as was printed and published in the regular editions and issues of [HE SENTINEL on the following day(s): Lwne 17,_ 2011 COPY OF NOTICE OF PUBLICATION Affiant further deposes that he/she is not ?` -- - interested in the subject matter of the LEGAL NOTICE aforesaid notice or advertisement, and that IN RE: : IN THE COURT OF COMMON PLEAS all allegations in the foregoing statement as BRIAN DEAN OL30 , II CUMBERLAND COUNTY, PENNSYLVANIA n/k/a BRIAN DEAN R CH : No.2010-1470 t0 time, place and character of publication CHANGE OF NAME are true. NOTICE IS HEREBY IVEN that on the 28th day of April, 2011, the Petition of Kevin K. Ruch and J Ruch was filed in the above-named Court, praying for 4 ' r t ?-_. s a Decree to change a name of Brian Dean Olson, II n/k/a Brian Dean Ruchf - Is Hollywood Dean uch. The Court has fixed th 8th day of July, 2011, at 9:30 a. m., in Court Room No. `Y 3, as tie time and pl ce for the Hearing of said Petition, when and where all persons interested ay appear and show cause, if any they have, why the prayer of said Petitio ers should not be granted. Michelle Pokrifka, Esquire Sworn to and subscrlhed before me this Supreme Court I.D. No. 66654 I CGA Law Firm 135 North George Street York, Pennsylvania 17401 J / M ` X tlJ (717) 848-4900 --"'-' r Notary Public My commission expires: NOTARIAL. SEAL BAMBI ANN HECKENDORN Notary Public CARLISLE BOROUGH, CUMBERLAND CNrY My Commission Expires Ja'i 27. 2014 PROOF OF PUBLICATION OF NOTICE IN CUMBERLAND LAW JOURNAL (Under Act No. 587, approved May 16, 1929), P. L.1784 COMMON WEALTH OF PENNSYLVANIA ss. COUNTY F CUMBERLAND Lis Marie Coyne, Esquire, Editor of the Cumberland Law Journal, of the County and State afores aid, being duly sworn, according to law, deposes and says that the Cumberland Law Journal, a le gal periodical published in the Borough of Carlisle in the County and State aforesaid, was establis hed January 2, 1952, and designated by the local courts as the official legal periodical f r the publication of all legal notices, and has, since January 2, 1952, been regularly issued week ly in the said County, and that the printed notice or publication attached hereto is exactly the same as was printed in the regular editions and issues of the said Cumberland Law Journal on t he following dates, Viz_ Jun 24, 2011 Affi t further deposes that he is authorized to verify this statement by the Cumberland Law Journa , a legal periodical of general circulation, and that he is not interested in the subject matter of th aforesaid notice or advertisement, and that all allegations in the foregoing statements a s to time, place and character of publication are true. ,; ' a Marie Coyne ditor SWORN TO AND SUBSCRIBED before me this 24 day of June, 2011 C Notary NOTARIAL SEAL DEBORAH A COLLINS Notary Public CARLISLE BOROUGH, CUMBERLAND COUNTY i My Commission Expires Apr 28, 2014 6e--l CUMBERLAND LAW JOURNAL LEGAL NOTICE In the Court of Common Pleas Cumberland County, Pennsylvania No. 2010-1470 IN RE: BRIAN DEAN OLSON, II n/k/a BRIAN DEAN RUCH CHANGE OF NAME NOTICE IS HEREBY GIVEN that on April 28, 2011, the Petition of Kevin L. Ruch and Jo Ruch was filed in the above-named Court, praying for a Decree to change the name of Brian Dean Olson, II n/k/a Brian Dean Ruch to Hollywood Dean Ruch. The Court has fixed July 8, 2011 at 9:30 a.m., in Court Room No. 3, as the time and place for the Hearing of said Petition, when and where all persons interested may appear and show cause, if any they have, why the prayer of said Petitioners should not be granted. MICHELLE POKRIFKA, ESQUIRE Supreme Court I.D. No. 66654 CGA LAW FIRM 135 North George Street York, PA 17401 (717) 848-4900 June 24 FIL€O-OFFICE OF THE PROTHONOTARY 2011 JUL -8 AM 9: 45 CUPENYLT? NVANA IN RE: : IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY, PENNSYLVANIA BRIAN DEAN OLSON, II n/k/a BRIAN DEAN RUCH No. 2010-1470 : CHANGE OF NAME ORDER AND DECREE AND NOW, TO WIT, this day of , 2011, upon the Petition Kevin L. Ruch and Jo Ruch in regard to their son, Brian Dean Ruch, and hearing thereon, and upon presentation of proof of publication of notice as required by law, together with proof that there are no judgments or decrees of record or any other matter of like effect against the Petitioners, IT IS ORDERED AND DECREED that the name of the minor child be and is hereby changed to HOLLYWOOD DEAN RUCH. BY T COURT J. Cne,j - I a,r`c1 delivered 99