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HomeMy WebLinkAbout10-2168DORIS H. LllTfij MAR 29 PM 3: 34 IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA V CuhR ?, ;?IJNEY NO.: 0 - R&W CIVIL TERM rc DANIEL R. LITTLE, CIVIL ACTION - LAW Defendant IN DIVORCE NOTICE TO DEFEND YOU HAVE BEEN SUED IN COURT. If you wish to defend against the claims set forth in the following pages, you must take prompt action. You are warned that if you fail to do so, the case may proceed without you and a decree of divorce or annulment may be entered against you by the Court. A judgment may also be entered against you for any other claim or relief requested in these papers by the Plaintiff. You may lose money or property or other rights important to you, including custody or visitation of your children. When the ground for the divorce is 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 at the Cumberland County Court House, Carlisle, Pennsylvania. IF YOU DO NOT FILE A CLAIM FOR ALIMONY, DIVISION OF PROPERTY, LAWYERS FEES OR EXPENSES BEFORE A DECREE OF DIVORCE OR ANNULMENT IS GRANTED, YOU MAY LOSE THE RIGHT TO CLAIM ANY OF THEM. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW TO FIND OUT WHERE YOU CAN GET LEGAL HELP. Cumberland County Bar Association 32 South Bedford Street Carlisle, PA 17013 (717) 249-3166 or 800-990-9108 SAIDIS, FLOWER & LINDSAY SAIDIS, Mary1IvdVXas,-Esqutrer' FLOWER & Attorney 4919 LINDSAY 26 West High Street 26 West High Street Carlisle, PA 17013 Carlisle, PA (717) 243-6222 Counsel for Plaintiff 31. 5-0 31. sG 34 - SW Peo" - 4;r4 '411 /?Zf S Ikd X 709 7 v„ w ?3 ??v3 DORIS H. LITTLE, Plaintiff V. DANIEL R. LITTLE, Defendant IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA NO.. CIVIL TERM CIVIL ACTION - LAW IN DIVORCE COMPLAINT IN DIVORCE UNDER SECTION 3301(c) or (d) OF THE DIVORCE CODE 1. The Plaintiff is Doris H. Little, an adult individual currently residing at 25 Pine Creek Drive, Cumberland County, Pennsylvania 17013. 2. The Defendant is Daniel R. Little, an adult individual currently residing at, 6020 B Fairfield Rd, Fairfield, Cumberland County, Pennsylvania 17320 3. The Plaintiff and Defendant both have been bona fide residents in the Commonwealth of Pennsylvania for at least six months immediately prior to the filing of this Complaint. 4. The Plaintiff and Defendant were married on June 28, 1984, in Roskil, Denmark. 5. There have been no prior actions of divorce or for annulment between the parties in this or in any other jurisdiction. 6. Neither the Plaintiff nor the Defendant are members of the United States Armed Forces or its Allies. 7. The Plaintiff has been advised that counseling is available and that she has SAMIS, FLOWER & LINDSAY 26 West High Street Carlisle, PA the right to request that the court require the parties to participate in counseling. Knowing this, Plaintiff does not desire to pursue counseling at this time. 8. Plaintiff and Defendant are citizens of the United States of America. 9. The parties' marriage is irretrievably broken. 10. Plaintiff desires a divorce based upon the belief that the Defendant will, ninety (90) days from the date of service of this Complaint, consent to this divorce. WHEREFORE, Plaintiff requests entry of a divorce decree in her favor in accordance with §3301 (c) or (d) of the Pennsylvania Divorce Code. COUNTI INDIGNITIES 11. The averments in paragraphs 1 through 11 are incorporated hereto as if fully set forth herein. 12. Plaintiff is the innocent and injured party, and Defendant has offered such indignities to the person of the Plaintiff so as to make her life burdensome and her condition intolerable, in violation of the marriage vows and of the laws of the Commonwealth. WHEREFORE, Plaintiff requests this Court to enter a decree in divorce in accordance with the Pennsylvania Divorce Code. COUNT II EQUITABLE DISTRIBUTION 13. The averments in paragraphs 1 through 12 are incorporated hereto as if fully set forth herein. 14. During their marriage, the parties have acquired certain property, both personal and real. WHEREFORE, Plaintiff requests this Court to equitably divide the marital property. FLOWER ? LINDSAY 26 West High Street Carlisle, PA COUNT III SUPPORT, ALIMONY PENDENTE LITE AND ALIMONY 15. The averments in paragraphs 1 through 14 are incorporated hereto as if fully set forth herein. 16. Plaintiff is unable to provide for her/his reasonable needs in the standard of living established during the marriage. WHEREFORE, Plaintiff requests an award of Support, Alimony and Alimony Pendente Lite. COUNT IV ATTORNEY'S FEES AND COSTS 17. The averments in paragraphs 1 through 16 are incorporated hereto as if fully set forth herein. 18. Plaintiff is unable to sustain herself during the course of this litigation or to pay the necessary and reasonable attorney's fees and reasonable costs and expenses. WHEREFORE, Plaintiff requests an award of counsel's fees and expenses. Respectfully submitted, SAIDIS, FLOWER & LINDSAY a tas, Esq ' Attorne 84919 26 West High Street Carlisle, PA 17013 (717) 243-6222 Dated: Counsel for Plaintiff SAIDIS, FLOWER & LINDSAY 26 West High Street Carlisle, PA DORIS H. LITTLE, IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA V. NO.: CIVIL TERM DANIEL R. LITTLE, CIVIL ACTION - LAW Defendant IN DIVORCE VERIFICATION I verify that the statements made in the foregoing document 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 falsifications to authorities. DORIS H. LITTLE Date: SAIDIS, FLOWER & LllVDS" 26 West High Street Carlisle, PA DORIS H. LITTLE, Plaintiff IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW NO. ap I b -X(( g DANIEL R. LITTLE, - Defendant IN DIVORCE NOTICE TO RESUME PRIOR SURNAME a Notice is hereby given that the Plaintiff in the above matter, DORIS-`H. LITTLE,[select one by marking "x"] L X prior to the entry of a Final Decree in Divorce, u; or after the entry of a Final Decree in Divorce dated , hereby elects to resume the prior surname of and gives this written notice avowing her intention pursuant to the provisions of 54 P.S. 704. Dater I(? COMMONWEALTH OF PENNSYLVANIA) SAIDIS, FLOWER & LINDSAY ATR)RN?AT tww 26 West High Street Carlisle, PA COUNTY OF CUMBERLAND )SS. On the day of A 2010, before me, the -Aq Prothonotary or the notary public, personally appeared the above affiant 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 Official Seal. DORIS H. LITTLE, Signature DORIS H. GATTERER, ignature of name being resumed 4 l Notary Public i...J ,1 STEEL, NotatY Public BARBARA L 11 Carlisle Bore, Cmnbectand Ce 7, 20, PA 00 11 ?7 t7? M Cmnmission ices home 7, 2 DORIS H. LITTLE, IN THE COURT OF COMMON PLEAS Plaintiff ~ CUMBERLAND COUNTY, PENNSYL~AN~Q o c ~ -*Y v. NO.: 2010-2168 CIVIL TERM ~~~ ~ ~-,~ . -~, ~ ~i .~ ~r DANIEL R. LITTLE CIVIL ACTION -LAW ~'_~. w .~ ~ , Defendant IN DIVORCE r'°'' ~~ ~ ~ --+o ~ ~ `" ~ ' a ~i ~'- -- ` S AFFIDAVIT OF CONSENT PLAINTIFF =~c w ~ r 1. A Complaint in Divorce under § 3301(c) of the Divorce Code vas ~d I~rch 29, -.~ 2010. 2. The marriage of plaintiff and defendant is irretrievably broken and ninety days have elapsed from the date of filing and service of the Complaint. 3. I consent to the entry of a final Decree in Divorce after service of notice of intention to request entry of the Decree. I verify that the statements made in this Affidavit 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. 4904 relating to unsworn falsification to authorities. Date: ~~ GZ Zo1 u DORIS H. GATTERER fka Little PLAINTIFF'S WAIVER OF NOTICE OF INTENTION TO REQUEST ENTRY OF A DIVORCE DECREE UNDERB 3301 (cl 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 SAIDIS SULLIVAN LAW 26 West High Street Culisle, PA 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 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. 4904 relating to unsworn falsification to authorities. Date: I 6L~ o DORIS H. GATTERER fka Little DORIS H. LITTLE, IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PENNSYL~4N~ ° ~4~ ~.. ~ ~ v. NO.: 2010-2168 CIVIL TERM r r~~a ~ rn~ 4 = ~,-~ DANIEL R. LITTLE, CIVIL ACTION -LAW "' ~ ' ~° Defendant IN DIVORCE ~° 2010. -a ~~ ~'~'' C°? DEFENDANT'S AFFIDAVIT OF CONSENT "~ ~' ~,,~ ~~ ~' nd D 1. A Complaint in Divorce under § 3301(c) of the Divorce Code wa~filetuMa~h 29, 2. The marriage of plaintiff and defendant is irretrievably broken and ninety days have elapsed from the date of filing and service of the Complaint. 3. I consent to the entry of a final Decree in Divorce after service of notice of intention to request entry of the Decree. I verify that the statements made in this Affidavit 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. 4904 relating to unsworn falsification to authorities. Date: r ' 12r~~D ~~~ ~i~L~~'~l Daniel R. Little DEFENDANT'S WAIVER OF NOTICE OF INTENTION TO REQUEST ENTRY OF A DIVORCE DECREE UNDER 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. 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 this Affidavit 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. 4904 relating to unsworn falsification to authorities. Date: t ~ f 2 ~/~U Daniel R. Little V 10 PH 2: 1, DORIS H. LITTLE, Plaintiff V. DANIEL R. LITTLE, Defendant IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA NO.: 2010-2168 CIVIL TERM CIVIL ACTION - LAW IN DIVORCE PRAECIPE TO WITHDRAW ADDITIONAL COUNTS TO THE PROTHONOTARY: By agreement of the parties and counsel, kindly withdraw the additional counts filed to the Divorce Complaint, including those for Indignities, Attorney's fees and Expenses, Support, Alimony Pendente Lite and Alimony; listed as Counts I, III and IV. Plaintiff desires to proceed with the filing of a Praecipe to Transmit the Decree under section 3301(c) of the Divorce Code. Respectfully submitted, SAIDIS SULLIVAN LAW SAIDIS SULLIVAN LAW 26 West High Street Carlisle, PA U I J a s, Esquir Attorney I. . o. 84919 26 West High Street Carlisle, PA 17013 (717) 243-6222 Dated: Counsel for Plaintiff r c I{ ?It t4 L_ F ILL (}7 7 ?J F'0';R 10 1,11 2: ERR DORIS H. LIT Plaintiff v DANIEL R. LITTLE Defendant IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW NO. 2010-2168 IN DIVORCE PRAECIPE TO TRANSMIT RECORD To the Prothonotary: Kindly transmit the record, together with the following information, to the Court for entry of a Decree in Divorce: 1. Grounds for Divorce: Irretrievable breakdown under Section 3301(c) of the Divorce Code. 2. Date and manner of service of the Complaint: Defendant accepted service of the Complaint on April 6, 2010, via his attorney, by regular mail. Proof of service was filed with the Court on April 9, 2010. 3. Date Affidavit of Consent required under Section 3301(c) or (d) of the Divorce Code was signed: By Plaintiff: November 2, 2010 and filed with the Prothonotary on November 3, 2010. By Defendant: October 25, 2010 and filed with the Prothonotary on November 3, 2010. 4. Related claims pending: Resolved by the Marital Settlement Agreement dated November 2, 2010. 5. Date Waiver of Notice under Section 3301(c) of the Divorce Code was signed: By Plaintiff: November 2, 2010 and filed with the Prothonotary on November 3, 2010. By Defendant: October 25, 2010 and filed with the Prothonotary on November 3, 2010. SAIDIS SULLIVAN LAW 26 West High Street Carlisle, PA SAIDIS SULLIVAN LAW Mafyl s, Esquire Supreme GQuft ID No. 84919 26 West High Street Carlisle, PA 17013 717-243-6222 Attorney for Plaintiff DORIS H. GATTERER fka LITTLE IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA V. DANIEL R. LITTLE : NO. 2010-2168 DIVORCE DECREE AND NOW, Alpre.4-W, i?I' , z o1 d , it is ordered and decreed that DORIS H. GATTERER fka LITTLE , plaintiff, and DANIEL R. LITTLE , defendant, 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.") The terms of the Property Settlement and Separation Agreement dated November 2, 2010, are incorporated, but not merged into this Decree in Divorce. By the Court, Attes J. Prothonotary /e 1 lt?aa?io qtr Doris H. Little Plaintiff VS. Daniel R. Little Defendant IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION - LAW IN DIVORCE NO. 2010-2168 CIVIL TERM QUALIFIED DOMESTIC RELATIONS ORDER I. Recitals 1. The parties to this action have entered into a Property Settlement Agreement dated November 2, 2010. The Court incorporated the Property Settlement Agreement into its Decree of Dissolution of Marriage dated 2. This Order creates and recognizes the existence of an Alternate Payee's right to receive a portion of the Participant's benefits payable under an employer sponsored defined contribution plan which is intended to be qualified under Internal Revenue Code of 1986 ("Code") §401(a). The Court intends this order to be a Qualified Domestic Relations Order ("QDRO") within the meaning of Code §414(p). The Court enters this QDRO pursuant to its authority under the 23 P.C.S.A. §3502. II. Statements of Fact Pursuant to Code §414(p) 3. This QDRO applies to the Ahon Science and Technology Corporation Employee Ownership, Savings and Investment Plan (hereinafter referred to as the "Plan"). Further, this Order shall apply to any successor plan to the Plan or any other plan(s) to which liability for provision of the Participant's benefits described below is incurred. Any benefits accrued by the Participant under a predecessor plan of the employer or any other defined contribution plan sponsored by the Participant's employer, whereby liability for benefits accrued under such predecessor plan or other defined contribution plan has been transferred to the Plan, shall also be subject to the terms of this Order. Any changes in Plan Administrator, Plan sponsor, or name of the Plan shall not affect Alternate's Payee's rights as stipulated under this Order. 4. Daniel R. Little ("Participant") is a participant in the Plan. Doris H. Little ("Alternate Payee") is the alternate payee for purposes of this QDRO. 5. The Participant's name, mailing address, social security number, and date of birth are: Name= Daniel R. Little Address: 6020 B Fairfield Road Fairfield, PA 17320-9613 SS#: See Addendum DOB: See Addendum 6. The Alternate Payee's name, mailing address, social security number, and date of birth are: Name: Doris H. Little Address: 25 Pine Creek Drive Carlisle, PA 17013 SS#: See Addendum DOB= See Addendum The Alternate Payee shall have the duty to notify the Plan Administrator in writing of any changes in this mailing address subsequent to the entry of this Order. 7. The plan to which this Order applies is the following: Alion Science and Technology Corporation Employee Ownership, Savings and Investment Plan (hereinafter referred to as "the Plan"). The Plan Administrator's address is as follows: Alion Science and Technology Corporation c/o The ESOP Committee 1750 Tyson's Boulevard Suite 1300 McLean, VA 22102 (703) 918-4480 (a) "Plan Administrator" shall mean Alion Science and Technology Corporation. (b) The Plan has two components= (A) an Employee Stock Ownership Plan Component (the "ESOP Component") and (B) a Non-Employee Stock Ownership Plan Component (the "Non-ESOP Component"); (c) Any changes in Plan Administrator, Plan Sponsor, Trustee, Recordkeeper or the name of the Plan shall not affect the Alternate Payee's rights as stipulated under this Order. 8. The Alternate Payee is hereby assigned Fifty Percent (50%) of the value of the Participant's total vested account balance under the Non-ESOP Component and the ESOP Component accounts under the Plan as of November 2, 2010 (or the closest valuation date preceding such date). The Alternate Payee's share shall be adjusted for any earnings or investment gains or losses thereon from November 2, 2010, to the date the Alternate Payee's share is segregated into a separate account under the Plan. Such "total vested account balance" shall include all amounts which have accumulated under all of the various accounts and/or sub- accounts established and maintained under the Plan on behalf of the Participant (pre-tax and post-tax). Pursuant to the terms of the Plan, the Alternate Payee's share of the account as set forth above shall be allocated on a pro rata basis from all of the accounts and/or investment funds maintained on behalf of the Participant under the Non-ESOP Component of the Plan. In the event the account balance in the Participant's Non-ESOP Component of the Plan is insufficient to satisfy the award to the Alternate Payee as set forth herein, any remaining amount will be allocated from the vested account balance under the Participant's ESOP Component account under the Plan. III. Recitals Pursuant to Code §414(p)(3) 9. This QDRO does not require the Plan to provide any type or form of benefit the Plan does not otherwise provide. 10. This QDRO does not require the Plan to provide increased benefits. 11. This QDRO does not require the Plan to pay any benefits which another order previously determined to be a qualified domestic relations order requires the Plan to pay to another alternate payee. IV. Time and Manner of Payment 12. If the Alternate Payee so elects, the Plan shall distribute the amount designated in paragraph 8 of this QDRO, together with allocable earnings and losses, as soon as administratively feasible following the Plan Administrator's approval of this Order and approval by the Court. If the Plan does not permit an immediate distribution of this amount, the Plan shall pay such amount at the Participant's earliest retirement age as defined by Code §414(p)(4)(B), subject to the Alternate Payee's election. 13. Benefits are to be payable to the Alternate Payee in any form or permissible option otherwise available to participants and alternate payees under the terms of the Plan, including, but not limited to, a lump sum cash payment. The Alternate Payee shall execute any forms required by the Plan Administrator. 14. On and after the date that this order is deemed to be a QDRO, but before the Alternate Payee receives her distribution under the Plan, the Alternate Payee shall be entitled to all of the rights and election privileges that are afforded to active participants, including, but not limited to, the rules regarding withdrawals and distributions, the right to name a beneficiary, and the right to direct her Plan investments to the extent permitted under the Plan. 15. All payments made pursuant to this order shall be conditioned on the certification by the Alternate Payee and the Participant to the Plan Administrator of such information as the Plan Administrator may reasonably require from such parties. 16. It is the intention of the parties that this QDRO continue to qualify as a QDRO under Code §414(p), as it may be amended from time to time, and that the Plan Administrator shall reserve the right to reconfirm the qualified status of the order at the time benefits become payable hereunder. 17. In the event that the Plan 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 has received such benefit payments and shall forthwith pay such amount so received directly to the Alternate Payee within ten (10) days of receipt. In the event that the Plan inadvertently pays to the Alternate Payee any benefits that are assigned to the Participant pursuant to the terms of this order, the Alternate Payee shall immediately reimburse the Participant to the extent that she has received such benefit payments and shall forthwith pay such amount so received directly to the Participant within ten (10) days of receipt. 18. In the event that the Participant's benefits, or any portion thereof, become payable to the Participant as a result of termination or partial termination, then the Alternate Payee shall be entitled to commence her benefits immediately in accordance with the terms of this QDRO and in accordance with the termination procedures of the Plan. 19. After payment of the amount required by this QDRO, the Alternate Payee shall have no further claim against the Participant's interest in the Plan. 20. The Alternate Payee assumes sole responsibility for the tax consequences of the distribution under this QDRO. 21. Until the Plan completes payment of all benefits pursuant to this QDRO, the Plan shall treat the Alternate Payee as a surviving spouse for purposes of Code §§401(a)(11) and 417, but the Alternate Payee shall receive, as surviving spouse, only the amount described in paragraph 8 of this QDRO. The sole purpose of this paragraph 21 is to ensure payment to the Alternate Payee in the event of Participant's death prior to payment by the Plan of the amount described in paragraph 8 of this QDRO. In the event of the Alternate Payee's death prior to the payment by the Plan of all benefits pursuant to this QDRO, the Plan shall pay the remaining benefits under this QDRO to the Alternate Payee's estate or any beneficiary subsequently designated by the Alternate Payee and recorded with the Plan Administrator under the terms of the Plan. V. Procedure for Processing this QDRO 22. The Plan shall treat this QDRO in accordance with Code §414(p)(7). While the Plan is determining whether this order is a qualified domestic relations order, the Plan Administrator shall separately account for the amounts which would have been payable to the Alternate Payee while the Plan is determining the qualified status of this QDRO. 23. The Plan Administrator promptly shall notify the Participant and the Alternate Payee of the receipt of this QDRO and shall notify the Participant and the Alternate Payee of the Plan's procedures for determining the qualified status of this QDRO. The Plan Administrator shall determine the qualified status of the QDRO and shall notify the Participant and the Alternate Payee of the determination within a reasonable period of time after receipt of this QDRO. 24. The Court shall retain jurisdiction with respect to this Order to the extent required to maintain its qualified status and the original intent of the parties as stipulated herein. ?Q?.w? 2 ?? Lol) CONSENT TO ORDER: Plaintiff/Alternate Payee Date Defendant/Participant Date Attor Plaint Date Alternate ayee I??I Attorney. r en t/ Date Participant r-o E limofbLl &tFA -ied Moo =? C- N M-Tr -vp . Ma 1, C?f? 00 8) 41 lot aN 51 6 -?, , 0 M BY THE COURT ADDENDUM TO DOMESTIC RELATIONS ORDER For Submission to the Plan Administrator Only Due to the Federal Privacy Act, many state courts prohibit the inclusion of personal data in public records to prevent identity theft. Therefore, please forward the following information sheet to the Plan Administrator when submitting the court certified copy of the Domestic Relations Order. Do NOT file the Addendum with the court. Plan: Alion Science and Technology Corp. Employee Ownership, Savings and Investment Plan Participant Information Name: Daniel R. Little Address: 6020 B Fairfield Road Fairfield, PA 17320-9613 SSN: 340-58-5557 Date of Birth: February 9, 1960 Alternate Payee Information Name: Doris H. Little Address: 25 Pine Creek Drive. Carlisle, PA 17013 SSN: 402-41-8702 Date of Birth: September 12, 1966 Participant Attorney's Information Name: Timothy J. Colgan, Esq. Address: Colgan Marzzacco, LLC 130 West Church St., Suite 100 Dillsburg, PA 17019 Phone Number: (717) 502-5000 Alternate Payee Attorneys Information Name: Marylou Matas, Esq. Address: Saidis Sullivan Law' 26 West High Street Carlisle, PA 17013 Phone Number: (717) 243-6222 The court certified copy of the Domestic Relations Order and this Addendum should be sent to: Kerry Wilson, VP & Benefits Manager Alion Science and Technology Corporation 306 Sentinel Drive, Suite 300 Annapolis Junction, MD 20701 N N E r. N N t Doris H. Little IN THE COURT OF COMMON PLEAS OF Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA VS. CIVIL ACTION - LAW IN DIVORCE Daniel K Little Defendant NO. 2010_2168 CIVIL TERM DOMESTIC RELATIONS ORDER 1. This Domestic Relations Order ("DRO") creates and recognizes the existence of the Alternate Payee's right to receive a portion of the benefits payable with respect to the Participant. 2. This DRO is entered pursuant to authority granted under the applicable domestic relations laws of the State of Pennsylvania. 3. This DRO relates to the provision of marital property rights to the Alternate Payee. 4. 'This DRO applies to the Military Retirement System ("Plan") and any successor thereto. Daniel R. Little ("Participant") is a Participant in the Plan. Doris H. Little ("Alternate Payee"), the foreseer ,spouse, is the Alternate Payee for the purpose of this DRO. 5. The Participant's name, mailing address, Social Security number and date of birth are: Daniel R. Little 6020 B Fairfield Road Fairfield, PA 17320-9613 Social Security No.: See Addendum Date of Birth: See Addendum 6. The Alternate Payee's name, mailing address, Social Security number and date of birth are: Doris H. Dibble G 9 7Trtie 6-ve 'D 25 Pine Creek Drive Carlisle, PA 17013 Social Security No.: See Addendum Date of Birth: See Addendum 7. The Participant assigns to the Alternate payee an interest in the Participant's dispogabie military retired pay. The Alternate Payee is entitled to a direct payment in the amount specified below and shall receive payments at the same time as the Participant. 8. The Participant's rights under the Servic:emembers' Civil Relief Act were. observed by the Court as evidenced by the Participant's affirmative signature on the Divorce Decree and/or Separation Agreement. DRO Page 2 9. This Order assigns to Alternate Payee an amount equal to 50.0% of the Participant's disposable military retired pay, under the Plan. In addition to the above, the Alternate Payee shall receive a pro rata share of any cost- of-living adjustments made to the Participant's benefits. The pro rata share shall be calculated in the same manner as the Alternate Payee's share of the Participant's retirement benefits is calculated pursuant to this Paragraph 9. 10. Payments to Alternate Payee shall commence as soon as administratively feasible following the date this Order is approved by the appropriate Military Pay Center. 11. Payments shall continue to Alternate Payee for the remainder of the Participant's lifetime. If the Alternate Payee dies before the Participant, the Alternate Payee's share of the Participant's disposable military retired pay shall revert to the Participant. 12. The Participant agrees to elect to make the Alternate Payee (and such :Alternate Payee shall be deemed) the irrevocable beneficiary of the Survivor Benefit Plan ("SW), to the extent survivor benefits were previously provided under the Survivor Benefit Plan. The Participant shall make the necessary election in a timely manner to continue the SBP coverage for the Alternate Payee and shall execute such paperwork as is required. 13. The jurisdictional requirements of 10 U.S:C. Section 1408 have been complied with, and this Order has not been amended, ,superseded, or set aside by any subsequent order. 14. The Participant and the Alternate Payee acknowledge that they have been married for a period of more than ten years during which time the Participant performed more than ten years of creditable military service. The parties were married on June 28, 1984, and separated in June 2009. 16. The Alternate Payee agrees that any future overpayments to her are recoverable and subject to involuntary collection from her or her estate. 16. The Alternate Payee agrees to notify DFAS about any changes in the Domestic Relations Order or the order affecting these provisions of it, or in the eligibility of any recipient receiving benefits pursuant to it. 17. The Participant and the Alternate Payee intend that this Order qualify under the Uniformed Services Former Spouses' Protection Act, 10 U.S.C. Section 1408 and following. 18. . The Participant agrees to cooperate with the Alternate Payee to prepare an application for direct payment to the Alternate Payee from the Participant's retired or retainer pay pursuant to 10 U.S.C. Section 1408. The Participant agrees to execute all documents that the United Staters Army may require to certify that the disposable military retired pay can be provided to the Alternate Payee. 19. The parties acknowledge that the following items must be seat by the Alternate Payee to DFAS-HGA/CL, Assistant General Counsel for Garnishment Operation, P.O. Box 998092; Cleveland, Ohio 44199-8002 and to DFAS, U.S. Military Retired Pay, P.01- Box 7130, London, KY 40742-7130. The Participant age to provide any of this information to the Alternate Payee at DRO Page 3 the Alternate Payees request and to make all necessary efforts to obtain any of this information that the Alternate Payee is unable to obtain. a. Deemed Election Letter b. A certified copy of the Divorce Decree. C. A certified copy of this Domestic Relations Order. d. A copy of the Marriage Certificate of W. and. Mrs. Little. e. An executed copy of Form 2656-1 entitled "Survivor Benefit Plan (SBP) Election Statement for Former Spouse Coverage." f. An executed copy of Form 2293 entitled "Application for Former Spouse Payments From Retired Pay." 20. The Court shall retain jurisdiction to enter such further orders as are necessary to enforce the award to the Alternate Payee of the military retirement benefits awarded herein. Accepted and ordered this zO` day of 20# BY THE COURT Judge CONSENT TO ORDER 12, 12. PlaintifiyAlternate Payee Date Defendant/Participant ate Att PlahifiW Date Attorney t/ Date Alterna ayee Participant w 70 6 -<> CO T(?,? Esc , I fed a ?° J M? FC ) Marylou Mmaa, ? Ccp if ?`'' lag[ o V ?, SA?4nnX ELECTION LBTTER DFAS U.S. Military Retired Pay P.O. Box 7130 London, KY 40742-7130 DFAS-HGA/CL Garnishment Operations P.O. Box 998002 Cleveland, OR 44199-8002 RE: Daniel R. Little - SSN: 340-58-5557 Doris H. Little - SSN: 402-41-8702 Deemed Election Letter To Whom It May Concern: The following documents are enclosed for Doris Little's Deemed Election within one year of date of Divorce Decree: 1. Certified Copy of Divorce Decree dated 2. Certified Copy of Domestic Relations Order dated 3. A copy of the Marriage Certificate of Mr. and Mrs. Little. 4. Form 2651-1 entitled "Survivor Benefit Plan (SBP) Election Statement for Former Spouse Coverage," whereby Doris Little is named as the former spouse for benefits of the survivor annuity. Daniel Little and Doris Little have executed this form. 5. Form 2293 entitled "Application for Former Spouse Payments from Retired Pay." This has been executed by Doris Little. With best regards, Yours sincerely, Encl. This letter has been reviewed by me and is acceptable to me. Doris H. Little ADDENDUM TO DOMESTIC RELATIONS ORDER For Submission to Defense Finance Accounting Se yi, er0 1._v Due to the Federal Privacy Act, many state courts prohibit the inclusion of personal data in public records to prevent identity theft. Therefore, please forward the following information sheet to Defense Finance Accounting Service when submitting the court certified copy of the Domestic Relations Order. Do NOT file the Addendum with the court. ggguant Information Name: Daniel R. Little Address: 6020 B Fairfield Road. Fairfield, PA 17320-9613 SSN: 340-58-5557 Date of Birth: February 9, 1960 Alternate Pavee Information Name:. Doris H. Little Address: 25 Pine Creek Drive Carlisle, PA 17013 SSN: 402-41-8702 Date of Birth: September 12, 1966 a Name: Timothy J. Colgan, Esq. Address: Colgan Marzzacco, LLC 130 West Church St., Suite 100 Diilsburg, PA 17019 Phone Number: (717) 502-8000 Alternate Pat?ee Attorn to Iaorntioa Name: Marylou Matas, Esq. Address: Saidis Sullivan Law 26 West High Street Carlisle, PA 17013 Phone Number: (717).243-6222 The court certified copy of the Domestic Relations order and this Addendum should be sent to: DFAS-HGA/CL Assistant General Counsel for Garnishment Operations P.O. Boa 998002 Cleveland, OH 44199-8002 . DFAS U.S. Military Retired Pay P.O. Boa 7130 London, KY 40742-7130 0 «... «... L ti ?-... J ' v t FILED-OFFICE l u- THE PROTHOHOTAR`:' 2011 APR 2 I PM 2: L I CUMBERLAND COUNTY PENNSYLVANIA DORIS H. LITTLE, IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA V. NO.: 2010-2168 CIVIL TERM DANIEL R. LITTLE, CIVIL ACTION - LAW Defendant IN DIVORCE AFFIDAVIT OF SERVICE I, Marylou Matas, Esquire, being duly sworn according to law, hereby deposes and says that on April 6, 2011, she served a true and correct copy of a Qualified Domestic Relations Order upon DFAS, U.S. Military Retired Pay, by mailing that document to their address at P.O. Box 7130, London, KY 40742-1730, by Certified U.S. Mail, Return Receipt Requested, as evidenced by the attached U.S. Postal Service Track and Confirmation sheet as well as the U.S. Postal Service Form 3811, Domestic Return Receipt, the latter of which is signed by their Agent, Philip Schuler. Respectfully submitted, SAIDIS, SULLIVAN & ROGERS Law Offices of Saidis Sullivan & Rogers 26 West High Street Carlisle, PA 17013 /V Lk Marylou Mka, Esquire I D No. 84919 26 West High Street Carlisle, PA 17013 (717) 243-6222 Dated: Counsel for Plaintiff DORIS H. LITTLE, IN THE COURT OF COMMON PLEAS Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA V. NO.: 2010-2168 CIVIL TERM DANIEL R. LITTLE, CIVIL ACTION - LAW Defendant IN DIVORCE ¦ Complete items 1, 2, and 3. Also complete A. Item 4 If Restricted Delivery is desired. ? Agent X ¦ Pft your name and address on the reverse ? Addressee so that we can return the card to you. B. Received by (Printed Name) C. Date of Delivery ¦ Attach this card to the hack of the mailpiece, or on the front If space permits. D. Is dellvery 1? ? Yes 1. Article Addressed to: If YES, enter al; C No DFAS A ' U.S.,'Xilitary Retired Pay p P.O. yx 7130 00 Londit, KY 40742-7130 3. Service W ?? Express I . ' Olt ? Registered"' Returrr Rece t for Merchandise ? insured Mail ? C.O.D. 4. ResMcted Delivery? (Extra Fee) ? Yes 2. Article Number 7008 1300 0000 7571 2797 Monster from service label) PS Form 3811, February 2004 Domestic Return Receipt 102595-02-M-1540 USPS - Track & Confirm Page 1 of 1 Darr-3 Home I Help aft. St Sinn In Track & Confirm FA Qs Track Confirm Search Results Label/Receipt Number: 7008 1300 0000 7571 2797 -- - - ------ Service(s): Certified Mail'" Track & Confirm Status: Delivered Enter Label/Receipt Number. Your item was delivered at 10:31 am on April 06, 2011 in LONDON, KY 40742. Detailed Results: • Delivered, April 06, 2011, 10:31 am, LONDON, KY 40742 • Notice Left (No Authorized Recipient Available), April 06, 2011, 7:22 am, LONDON, KY 40742 • Arrival at Unit, April 06, 2011, 6:54 am, LONDON, KY 40741 Notification Options. Track & Confirm by email Get current event information or updates for your item sent to you or others by email. Go >' Site Mac Customer Service Forns Gov't Services Careers Copyright@ 2010 USPS. All Rights Reserved. No FEAR Act EEO Data FOIA Privacy Policy Temis of Use Business Customer Gateway http://trkcnfrml.smi.usps.com/PTSIntemetWeb/InterLabeUnquiry.do 4/11/2011