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HomeMy WebLinkAbout10-2420 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW Jody Lynn Schmeltz t? Plaintiff Pro Se, ?-' - vs. Allen Schmeltz ors ' a `' Defendant Pro Se. 'b' NOTICE TO DEFEND AND CLAIM RIGHTS You have been sued in court. If you wish to defend against the claims set forth in the following pages, you must take prompt action. You are warned that if you fail to do so, the case may proceed without you and a decree of divorce or annulment may be entered against you by the court. A judgment may also be entered against you for any other claim or relief requested in these papers by the plaintiff. You may lose money or property or other rights important to you, including custody or visitation of your children. When the 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 Cumberland County Courthouse, S. Hanover St., Carlisle, PA 17013. IF YOU DO NOT FILE A CLAIM FOR ALIMONY, DIVISION OF PROPERTY, LAWYER'S FEES OR EXPENSES BEFORE A DIVORCE OR ANNULMENT IS GRANTED, YOU MAY LOSE THE RIGHT TO CLAIM ANY OF THEM. YOU SHOULD TAKE THIS PAPER TO YOUR LAWYER AT ONCE. IF YOU DO NOT HAVE A LAWYER OR CANNOT AFFORD ONE, GO TO OR TELEPHONE THE OFFICE SET FORTH BELOW. 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 LAWYERS REFERRAL SERVICE Telephone: '11:2 - -? O 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 /°GrSh Notice to Defend and Claim Rights Page 1 of 2 1®1f0 d4ll) 3q disabled individuals having business before the Court, please contact the Court Administrator at (717) 240-6195. All arrangements must bemade at least 72 hours prior to any hearing or business before the Court. Notice to Defend and Claim Rights Page 2 of 2 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW Jody Lynn Schmeltz 75 Johns Drive : Enola, PA 17025 Plaintiff Pro Se, VS. NO. Bryan Allen Schmeltz 1006 Kathryn Avenue Dauphin, PA 17018 Defendant Pro Se. COMPLAINT IN DIVORCE UNDER §3301(c) OF THE DOMESTIC RELATIONS CODE Count I-Divorce Plaintiff, Jody Lynn Schmeltz, pro se, respectfully represents: 1. Plaintiff, Jody Lynn Schmeltz, currently resides at 75 Johns Drive, Enola, PA 17025. 2. Defendant, Bryan Allen Schmeltz, currently resides at 1006 Kathryn Avenue, Dauphin, PA 17018. 3. Plaintiff and Defendant are sui juris, and Plaintiff and Defendant have has/have been resident(s) of the Commonwealth of Pennsylvania for a period of more than six (6) months immediately preceding the filing of this Complaint. 4. The parties were married on 05/12/1990, in Enola, PA. 5. The parties were separated on 11/15/2009. 6. Neither Plaintiff nor Defendant is in the military or naval service of the United States or its allies within the provisions of the Service Members' Civil Relief Act of 2003. 7. The following children were born to the parties: Name Age Sex Date of Birth Residence Christina Marie Schmeltz 18 female 07/17/1991 Mother Rachael Lynn Schmeltz 15 female 04/26/1994 Mother Caitlin Nicole Schmeltz 10 female 12/14/1999 Mother Victoria Rose Schmeltz 7 female 04/16/2002 Mother Complaint in Divorce Page I of 2 8. There have been no prior actions of divorce or for annulment between the parties. 9. The parties have entered into a written agreement as to equitable distribution of marital property, alimony, alimony pendent lite, spousal support, child support, custody, visitation, fees and costs. 10. Plaintiff has been advised of the availability of counseling between the parties and Plaintiff acknowledges the right to request that the court require the parties to participate in such counseling in certain instances. 11. Plaintiff waives the right to request that the court require the parties to participate in counseling. 12. Plaintiff alleges the following grounds for the dissolution of marriage: The marriage is irretrievably broken and Plaintiff believes Defendant will consent to the divorce. If a divorce based on consent cannot be granted, Plaintiff further alleges in the alternative that the marriage is irretrievably broken and the parties will have been separated for two years or more at the time of final disposition of this case. WHEREFORE, Plaintiff requests this Honorable Court to enter a decree in divorce pursuant to Section 3301(c) of the Divorce Code. Jody Ly eltz, Plai f r Se VERIFICATION Plaintiff verifies that the statements made in this Complaint in Divorce are true and correct. Plaintiff understands that false statements herein are made subject to the penalties of 18 Pa. C.S. Section 4904, relating to unsworn falsification to authorities. Jody L n eltz, Plaintiff Se Date: Complaint in Divorce Page 2 of 2 IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW Jody Lynn Schmeltz Plaintiff Pro Se, vs. NO. W21 Bryan Allen Schmeltz Defendant Pro Se. c: t ACCEPTANCE OF SERVICE I, Bryan Allen Schmeltz, defendant in this divorce action, hereby certify that I personally received a copy of the Complaint in Divorce with a Notice to Defendant and Claim Rights on or about Date: ? j 12 / ? 6 / 0 dw"'. ? i&' k'&ggL, BryAllen Schmeltz, Defendant Exhibit A: Acceptance of Service Page 1 of 1 IN THE COURT Jody Lynn Schmeltz Plaintiff Pro Se, vs. Bryan Allen Schmeltz Defendant Pro Se. A Complaint in D 04 / 13 / 2010 broken and ninety (90) da contained within the attac information, and belief. It is my desire to Marital Property Settle conditions as set forth On this ~~day of undersigned officer, pers Bryan Allen Schmeltz, Defen Pro Se 20ltS ,before me, a Notary Public, the Bryan Allen Schmeltz, Defendant, known to me to be the person whose name is subscribed to the written instrument, and acknowledged that she executed the same for the purposes therein contained. IN WITNESS WHEREOF, I hereunto set my hand and official seal. NOT~Y PUBLIC /, COMMONWEALTH OF SYLYANU NOTAt~IAL SE JAMIE L. WAGNER, N tary Public City of Harrisburg, Dau hin County MY CoaMnissicn Expires J ne 14. 2013 OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW ^~ NO. 10-2420 c .-~' -~a:-.r ~ ---~ ., ':. ~ ,,. `= - -r.T' ;~ -.~,. C_ W DEFENDANT'S ACKNOWLEDGMENT c.a =-< vorce under Section 3301(c) of the Divorce Code was filed on I agree that the marriage of the Plaintiff and Defendant is irretrievably ys have elapsed from the date of filing the Complaint. All information zed documentation is true and correct to the best of my knowledge, with the Cumberland County Court of Common Pleas the attached Agreement and to be bound fully and completely by the terms and i said Marital Property Settlement Agreement documentation. Defendant's Acknowledgment Page 1 of 1 IN THE CO OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW Jody Lynn Schmeltz Plaintiff Pro Se, vs. Bryan Allen Schmeltz Defendant Pro Se. A Complaint in D 04 / 13 / 2010 broken and ninety (90) da contained within the attac information, and belief. NO. 10-2420 r~_.. _ ~, -n ^? Vi=i c__,~t _ ` r~ _~r; iT PLAINTIFF'S ACKNOWLEDGMENT '` tom- `~, l'r ~= • • ~a c:~ =r, vorce under Section 3301(c) of the Divorce Code was filed on `'-' `` I agree that the marriage of the Plaintiff and Defendant is irretrievably ~s have elapsed from the date of filing the Complaint. All information ied documentation is true and correct to the best of my knowledge, It is my desire to le with the Cumberland County Court of Common Pleas the attached Marital Property Settlem nt Agreement and to be bound fully and completely by the terms and conditions as set forth wi in said Marital Property Settlement Agreement documentation. ~_ Jody L S~(nieltz, Plaintiff Prime On this ~~~' day of 20 bllefore me, a Notary Public, the undersigned officer, pers 1 aced Jody Lynn Schmeltz, Plaintiff, known to me to be the person whose name is su scribe o the written instrument, and acknowledged that she executed the same for the purposes therein contained. IN WITNESS WHEREO , I hereunto set my hand and official seal. NO Y PUBLIC OMMONWEALTH OF ENNSYLIIANUI NOTARI- A g A~ JAMIE L. WAGNER, otary Public City of Harrisburg, Da phin County !My Co~iuion Expires une 14, 2012 Plaintiff s Acknowledgment i Page 1 of 1 e' IN THE COU T OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW Jody Lynn Schmeltz II Plaintiff Pro Se, vs. NO. 10-2420 Bryan Allen Schmeltz ~ N o ``=n Defendant Pro Se. ,=~?'--~ ' ~,--: r__. ,;, i_ .. ~,.~ ~ t.~i MARI'~AL PROPERTY SETTLEMENT AGREEMENT T ~ ~= c_.- ,.,. ,t THIS AGREEMENTS made this _~ day of ~~~,~ , 2(Tf ~'0 ~ ~c between PLAINTIFF, Jody Lynn Schmeltz, residing ~5 Jens Drive, Enola, PA 17025, and Defendant, Bryan Allen ~chmeltz, residing at 1006 Kathryn Avenue, Dauphin, PA 17018. WITNESSETH WHEREAS, the parties were married on 05/12/1990; WHEREAS, the parties filed for 3301(c) Divorce on Aril 13 2010 ; WHEREAS, the parties hereto desire to settle their property rights; WHEREAS, both parties agree to relinquish any and all claims which either may have against any property nowl,owned or belonging to the other or which may hereinafter be acquired by either of them by purc~ase, gift, devise, bequest, inheritance, or otherwise, except as to the obligations, covenants, artd agreements contained herein; and, WHEREAS, both parties each have had an opportunity to seek the benefit of competent and independent legal advice ~y separate counsel. NOW, THEREFO follows: I . INCORPORATI The recitals on Each paragraph agreement. Marital Property Settlement the parties, intending to be legally bound, do covenant, and agree as OF RECITALS 1 of this Agreement are incorporated herein as if set forth in full. ~f shall be deemed to be a separate and independent covenant and Page 1 of 7 ~, 2. APPLICABLE L W This agreements all be construed under the laws of the Commonwealth of Pennsylvania. 3. PROPERTY TO ~E RETAINED BY WIFE. Husband and Wi~e agree that, unless otherwise indicated in this Agreement, the Wife shall keep all of l~er personal clothing and effects; and that the following property shall also be retained b Wife: REAL ESTATE: -75 Johns Drive, )~nola, PA 17025 Husband agrees to transfer title of the property to Wife. 4. PROPERTY TO >~E RETAINED BY HUSBAND. Husband and Wi agree that, unless otherwise indicated in this Agreement, the Husband shall keep all of ~iis personal clothing and effects; and that the following property shall also be retained b~ Husband: VEHICLES: -2005 Cheverlot ~ tro Van Wife agrees to transfer title of vehicle to Husband. BANK ACCO~TS: -Member's First F deral Credit Union, checking, saving, Christmas 5. DEBTS TO BE PAID BY WIFE. Husband and Wi agree that the Wife shall pay the following debts and will not at any time hold the Hus and responsible for them: REAL ESTATE ~EBT: -75 Johns Drive, nola, PA 17025 Wife agrees to Husband and Wi between each nar DEBT: -Loan HFC Beneficiary $125,000 y off or refinance property loan within 36 agree that if the property is sold, any profit with Husband's share not to exceed $40,000. Citi Fiancial $12,000 months of judgment. will be shared equally Marital Property Settlement A~reement Page 2 of 7 6. DEBTS TO BE PAID BY HUSBAND. Husband and Wi~agree that the Husband shall pay the following debts and will not at any time hold the ife responsible for them:. VEHICLE DEBT -2005 Cheverlot stro Van $6,000 Husband agrees tc} pay off or refinance vehicle loan within 24 months of judgment. 7. ALIMONY, ALIMONY PENDENTE LITE, SPOUSAL SUPPORT, EXPENSES AND ALL MARITAL GHTS. Each of the partie~ hereto release the other from subsequent claims for alimony, alimony pendente lite, ors ousal support, except as set forth as follows: No spousal maintenance shall be awarded to either party. 8. JOINT DEBTS. Husband and Wifje warrant and certify to each other that there are no individual or joint marital obligation outstanding, other than those listed in paragraphs 5 and 6. 9. CHILD CUSTODIY. The Plaintiff and defendant are the parents of 3 unemancipated child(ren): Name ' DOB Awe Gender Rachael Lynn Sc eltz 04/26/1994 16 female Caitlin Nicole Sc eltz 12/14/1999 10 female Victoria Rose Sc eltz 04/16/2002 8 female In the past five ye s, the parties' children have resided at the following locations: Child Location Rachael Lynn Sc eltz Living with Mother 75 Johns Drive Enola, PA 17025 Caitlin Nicole Sc eltz Living with Mother 75 Johns Drive Enola, PA 17025 Marital Property Settlement A~reement Page 3 of 7 Victoria Rose Sc eltz Name Rachael Lynn Caitlin Nicole Victoria Rose a. Weekly Paze~ The non-primary pazenting time/vi Weekend Pazenti No Scheduled Vi Weekday Pazenti No Scheduled Vi b. Vacation Paz All vacation perm holidays, which r Living with Mother 75 Johns Drive Enola, PA 17025 Custody of the above-listed children will be as follows: Leal Custodv tz joint ltz joint tz joint Physical Custodv_ Mother Mother Mother ink Time ~,l custodian shall have at a minimum the following rights of with the minor child(ren): Time Time Time defined below do not include the pazenting time schedule for major occur during the vacation period. Winter vacations all be defined as the period beginning on the day and at the time school is recessed in December and ending on the day and at the time school resumes in January of the foil wing year. No special winter vacation pazenting time schedule will apply and pazenti g time will remain as stated in 9a and 9c except as follows: none Summer vacation hall be defined as the period beginning on the day and at the time school is recessed at the end of the school year and ending on the day and at the time school resumes at a beginning of the following school yeaz. No special summer vacation pazentin time schedule will apply and all parenting time will remain as stated in 9a and 9c, except follows: none Spring vacations all be defined as period beginning on the day and at the time school is recessed in them th of April and ending on the day and at the time school resumes as designated by the hild's school calendar. No special spring vacation parenting time Marital Property Settlement A~reement Page 4 of 7 schedule will app y and all parenting time will remain as stated in 9a and 9c, except as follows: none c. Major Holida Schedule MOTHER FATHER New Year's ay Odd Even Martin Luther King Day Even Odd Presidents' D y Odd Even Memorial Da Even Odd July 4th Odd Even Labor Day Even Odd Veterans' Da Odd Even Thanksgiving ay and Friday Even Odd Christmas Ev Odd Even Christmas Da Even Odd Mother's Day Every Father's Day ~, Every Mother's Bi day Every Father's Birth ay Every Rachael's Birt day Even Odd Caitlin's Birth ay Odd Even Victoria's Birt day Even Odd Each designated oliday above will start and end as follows: (X) Holidays at fall on Friday will include the following Saturday and Sunday (X) Holidays at fall on Monday will include the preceding Saturday and Sunday (X) Other: Fo purposes of this parenting plan, a holiday shall begin and end as follows: begin: 4:00 pm end: 4:00 pm 10. CHILD SUPPORT, INSURANCE, AND TAX EXEMPTION. a. Child Sup ort Defendant shall pay support in the amount of $600 per month for the support and care of the parties' minor child(ren). b. Insurance Health car coverage for the minor child(ren) shall be provided by Defendant as long as su h coverage is available at a reasonable cost on anemployment-related or other g oup basis. Any health costs not covered by insurance shall be shared equally. c. Tax Exem tion For feder 1, state, and local income tax purposes the mother shall claim the child(ren) n even years and the father shall claim the child(ren) on odd years beginning he tax year that the divorce is finalized. Marital Property Settlement A~reement Page 5 of 7 11. DIVORCE. Husband and Wi agree that the marriage is irretrievably broken and will proceed with said Divorce and 23 Pa. C.A. Section 3301(c). 12. NAME CHANG . Does not apply. 13. TAX ADVICE. The transfers set forth herein may result in income, inheritance, estate, and other tax consequences to the parties. The parties specifically acknowledge that no attorney involved in the n gotiating or drafting of this Agreement has provided any tax advice regarding the dis ositions contained herein. The parties have been advised to seek separate tax coon el concerning the Divorce distributions. Marital Property Settlement A~reement Page 6 of 7 14. ]NCORPORATI~N OF PROPERTY SETTLEMENT INTO DECREE. Husband and Wi~e agree to the incorporation of the Property Settlement Agreement into the Decree. IN WITNESS HEREOF, the parties have hereunto set their hands and seals the day and year first written above. J On flu's 1y~~ day of I ~/ 20 /Q ,before me, a Notary Public, the undersigned officer, pers ap ared Jody Lynn Schmeltz, Plaintiff, known to me to be the person whose name is s bscribed to the written instrument, and acknowledged that he or she executed the same forth purposes therein contained. IN WITNESS WHEREOF, I hereunto set my hand and official seal. NOT/A$1Y PUBLIC JAMIE L. WAGNER, N tart' Public City of Harrisburg, Dau hin County My Commission Expires J ne 14, 2012 Bryan Allen Schmeltz, On this ~3 ~ day of 20 !4 ,before me, a Notary Public, the undersigned officer, pers n ap ared Bryan Allen Schmeltz, Defendant, known to me to be the person whose name i subscribed to the written instrument, and acknowledged that he or she executed the same for the purposes therein contained. 1N WITNESS WHEREOF, I hereunto set my hand and official seal. NOTA$lY PUBLIC NOTARIAL SE JAMIE L. WAGNER, Not ry Public City of Harrisburg, Daup 'n County My Comatis~on Expires 14, 2012 Marital Property Settlement A~reement Page 7 of 7 j{. tMi IN THE COURT OF ~ OMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW Jody Lynn Schmeltz ~I, Plaintiff Pro Se, vs. Bryan Allen Schmeltz Defendant Pro Se. NO. 10-2420 c-n d ~ a _- t_ ~" ~;~ _ ~,, -:. ~.. .~-- :~- -- -~ r' _~' _- ~-~ c= c}.~ ~,,. . . G °'~ PRAECIPE TO TRANSMIT RECORD To the Prothonotary: Transmit the divorce decree: 1. Ground for Di together with the following information, to the Court for entry of a irretrievable breakdown under Section 3301(c) of the Divorce Code. 2. Date and manner~f service of the Complaint: on or about 04/ 13 / 2010 via Certified Mai . 3. Date of exec by P 4. Related claims 5. Date of filing of Section 3301(c) o by Plaintif of the Affidavit of Consent: F(_07_/ 13 / 2_ 010 ); by Defendant (~l~lo~0/D ) None. laiver of Notice of Intention to Request Entry of Divorce Decree Under 'the Divorce Code: F ( l1~1 O/p ; by Defendant (_Z//. 3 / ~O/ Jody L c e tz, Plaintiff e 75 Johns riv Enola, 17025 717-329-3541 Praecipe to Transmit Record Page 1 of 1 IN THE CO Jody Lynn Schmeltz Plaintiff Pro Se, vs. Bryan Allen Schmeltz Defendant Pro Se. 1. A complaint in T OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW NO. 10-2420 c - ~" ~- ~ VIT OF CONSENT UNDER SECTION 3301(c) ''y~_ _ ~,~, '=+ ~~~ OF THE DIVORCE CODE c..:, ~rce under Section 3301(c) of the Divorce Code was fi led on _ and served on 04/13/2010 2. The marriage of tl~e Plaintiff and Defendant is irretrievably broken and ninety (90) days have elapsed fro the date of filing and service of the Complaint. 3. I consent to the request entry of I verify that the statemen statements are made subj falsification to authorities Date: ~/ l~~ `~ ~~ ~ y of a final decree of Divorce after service of notice of intention to decree. made in this affidavit are true and correct. I understand that false t to the penalties of 18 Pa C.S. Section 4904 relating to unsworn ~~~ Bryan lien Schmeltz, Defendant o Se Defendant's Affidavit of Cons~nt Page 1 of 1 IN THE CO Jody Lynn Schmeltz Plaintiff Pro Se, vs. Bryan Allen Schmeltz Defendant Pro Se. NO. 10-2420 WAIV R OF NOTICE OF INTENTION TO REQUEST NTRY OF A DIVORCE DECREE UNDER § 3301(c) OF THE DIVORCE CODE 1 2 I consent to the entry of a final decree of divorce without notice. C a -, o ~ tJ t== c_.. -~ ~' -,ri. -- = -., - ~ ~ ~ ._,.r ~ ~ - :y ~ _ " ~~ ~ c.~ I understand that may lose rights concerning alimony, division of property, lawyer's fees or expenses i I do not claim them before a divorce is granted. 3. I understand that that a copy of the Prothonotary. I verify that the false statements unsworn falsific Date: ~ / l~ ~ a ~Xd T OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW will not be divorced until a divorce decree is entered by the Court and lecree will be sent to me immediately after it is filed with the rents made in this affidavit are true and correct. I understand that n are made subject to the penalties of 18 Pa.C.S. §4904 relating to to authorities. Bryan Allen Schmeltz, Defend Defendant's Waiver of Notice ~f Intention Page I of I IN THE CO Jody Lynn Schmeltz Plaintiff Pro Se, vs. Bryan Allen Schmeltz Defendant Pro Se. T OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW NO. 10-2420 AFFIDAVIT OF CONSENT UNDER SECTION 3301(c) OF THE DIVORCE CODE C7 r+a G f-. L d -r..~ ~ ~ " ~J t'.z : C.... ~ - '-- ~'r ; P ~. --~ _ ;, ~ - ~:: _~. ° c _ 3 ~c 1. A complaint in Divorce under Section 3301(c) of the Divorce Code was filed on 04/13/2010 and served on 04/13/2010 2. The marriage ofe Plaintiff and Defendant is irretrievably broken and ninety (90) days have elapsed fro the date of filing and service of the Complaint. 3. I consent to the request entry of I verify that the statemen statements are made subj falsification to authorities Date: y of a final decree of Divorce after service of notice of intention to decree. made in this affidavit are true and correct. I understand that false ct to the penalties of 18 Pa C.S. Section 4904 relating to unsworn Jody Ly S "eltz, Plamti Pro Plaintiff s Affidavit of Consent Page 1 of 1 IN THE CO Jody Lynn Schmeltz Plaintiff Pro Se, vs. Bryan Allen Schmeltz Defendant Pro Se. OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA CIVIL ACTION-LAW NO. 10-2420 -;.z ,-~. ~,, i -~ ~:s =. N Q O ~:.~~ ,-- w Cu c~~ c..; WAI R OF NOTICE OF INTENTION TO REQUEST NTRY OF A DIVORCE DECREE UNDER § 3301(c) OF THE DIVORCE CODE I . I consent to the entry of a final decree of divorce without notice. 2. I understand that may lose rights concerning alimony, division of property, lawyer's fees or expenses i I do not claim them before a divorce is granted. 3. I understand that that a copy of the Prothonotary. Date: I verify that the false statements unsworn falsific will not be divorced until a divorce decree is entered by the Court and lecree will be sent to me immediately after it is filed with the vents made in this affidavit are true and correct. I understand that n are made subject to the penalties of 18 Pa.C.S. §4904 relating to to authorities. Jody y chmeltz, laintiff T) -~ ?', ~- ~-~ m °, - ~-,= `r;. ~~ Plaintiff's Waiver of Notice of ~ntention Page 1 of 1 IN THE COURT OF COMMON PLEAS OF Jody L Schmeltz :CUMBERLAND COUNTY, PENNSYLVANIA Bryan A Schmeltz 10-2420 NO. DIVORCE DECREE AND NOW, Jody L Schmeltz ,~/~ , it is ordered and decreed that Bryan A Schmeltz bonds of matrimony. plaintiff, and defendant, are divorced from the Any existin~ spousal support order shall hereafter be deemed an order for alimony pendente lite if any economic claims remain pending. The court r~tains jurisdiction of any claims raised by the parties to this action for which a final o~der has not yet been entered. Those claims are as follows: (If no claims remain indi~Cate "None.") None Att ~ Prothonotary 7 • ~o • (~ Cer-k Co~~ rncz~ ~ ~c5 ~ P t ~