HomeMy WebLinkAbout10-30980'
COMPLAZMT UNDER SECTION ':??:? RJR
3341(d) OF THE DIVORCE Aki
Plaintiff, proceeding pro 'se, respectfully represAnts:
1. Plaintiff is who currently
( ame)
resides at ?43 F_RS? l rLc7, ,
(Address) (City) (County)
since /
(State) (Date)
2. Defendant is _ who currently
(Name)
/
resides. at M
1' I CS6LI 75. Q
,
A (Address) (ity) (County)
PA , since q
(State) (Date)
3. has/have been a,, bona
Plainti f-and/or Defen ant)
,
Plaintiff's Name and Address:
SCE CJ_)D_ZX0_YL
l? r J q?? V ! I;
P9 I qa 13
Plaintiff's Name
F1LED-4: r fc;F
OF r! 1''? THE F?;? c r?')n,1TA Y
,
2010 MAY 12: PM 12: 5r
UNTY
rENIN,SYLV, qv
NTY
COURT OF C014MON PLEAS
TERM,
110. /Q ` 30 9 ?.?."l ??n
CIVIL ACTION - DIVORCE
vs.
Defendant's Name
PAGE 2
fide.,resident(s) in the Commonwealth for at least six months
immediately previous to-the filing of this Complaint.,
4., The plaintiff and defendant were married on
ID LI
/5 /o rm
(Date) (City) (State/County)
5. Neither the plaintiff nor the defendant is in the
military or naval service of the United States or its allies
within the provisions of the Soldiers' and Sailors' Civil Relief
Act of the,Congress of 1940 and its amendments.
.6. There have been no prior nfactions of divorce or for
annulment between the parties except IV ??
7. The marxiage.of the parties is.frretrievably broken.
8.' The arties. have been living separate. and apart
since S_Q COO( tc'
(Date)
9. Plaintiff has been advised that counseling is available
and that plaintiff may have the right to request that the court
require the parties to participate in counseling.
10. Plaintiff requests the court to enter a decree
of divorce;
VWFICATION
I verify that the statements made in this Complaint are true
and correct. I understand that false statements herein are made
subject to the penalties of 18 Pa.C.S. Sec. '4904, relating to
Plaintiff's Name and Address:
xx? FILED-+Jt:i fCE
?..
OF ,HC ???? i ?, 1h??TARY
Ch?. 1010 MAY 12 PM 12: 55
J-h
50 0 EagL PY Sk:9A
Per `' O PENIlSvLvr :x.M
COUNTY
Plaintiff's Name COURT OF COMMON PLEAS
VS. TERM,
NO.- f Q` 3 6 Cn/ v I -? u`M
D , CIVIL ACTION -,DIVORCE
MOTION FOR LEAVE -TO. PROCEED 4
IN FORMA PAOPERIS
()OSLnJA Plaintif f in the. above-
(Plaintiff's Name) -
captioned case,. moves this Court for an order permitting him to
.proceed without •prepayment of fees and costs or.,security.
Plaintiff has attachad a verified statement of his poverty in
support of this motion.
airtiff's Signature
Date: j
u:
-------------
Petitioner's Name and Address
'THE OTAPY
CI
2010 MAY Q Phi 12: 56
'Soo E_
COUNTY
Petitioner : COURT OF COMMON PLEAS
Vs.. TERM,
316 V .7
NO.
z4,yvv,?- ao
Defendant CIVIL ACTION DIVORCE
VERIFIED STATEMENT IN SUPPORT
OF 'PETITION FOR LEAVE
TO PROCEED IN FORMA PAUPERIS
I, the plaintiff in the
above-captioned case, have filed a petition requesting leave to
proceed in forma pauperis and-in support represents.
1. I am the plaintiff in the above matter 'and.because of
my financial condition.._am unable to pay the fees and costs of
prosecuting this action or proceeding.
2. I am unable to. obtain funds from anyone., including my
family and associates, to pay the costs of litigation.
3. I represent' that the information below relating to my
ability to pay.the fees and costs is true and correct:.
.11 I r^.•
PAGE 2 `
(a) Name: 26JVU-?
Address:
EA S
chtctaju /p/.9 q Q 1,3
Social Security Number: 7 3- ?P(o,-03J
(b) Employment
If you are presently employed, state
Employer: n f
Address 1 y
lw5l.t n(O P,?,Z
Salary or wages per month: r ,35o c)
A ?'1?r JZ "
Type of work: W_ze?T _
If you are presently unemployed, state
Date of last employment: -?yA
?
Salary or wages per month: 315 - 0 0
Type of work: n? Ae?
(c) Other income within the past twelve months
Business or profession: r\j
Other self-employment:
Interest:
Dividends:
Pension and annuities::
Social security benefits: I V/
Support payments: _
Disability payments:
PAGE 3
Unemployment compensation and'supplemental benefits:
Workman's compensation: 1v??r
Public assistance:
Other
(d) Other contributions to household support
Wife's Name
If your wife is employed, state
Employer:.
I \1 ?/"?
Salary or wages per month: /
Type of work: 1 v
Contribution%, from -children:
Contributions from parents: Other contributions:
(e) Property owned
Cash: IA.
Checking account: n .
Savings account.: A) Certificates of 'deposit: I\j
Real estate (including home): \J1 1A(
Motor vehicle: Make Year v
Cost Amount owed :$
Stocks; bonds:
Other:.
_/
Other persons:
Name:
Relationship:
40 I understand that I have. a continuing obligation to
inform the court of improvement in. my financial.circumstances
which would permit me to pay the costs-incurred herein.
5. I verify.that the statements made in-this affidavit are
true and.-correct. I understand that false statements herein are
.11 f i. 111 .•
BARRY L. SWARTZ, JR., IN THE COURT OF COMMON PLEAS OF
Plaintiff CUMBERLAND COUNTY, PENNSYLVANIA
VS. CIVIL ACTION - LAW
NO. 10-3098 CIVIL
ANNETTE SWARTZ,
Defendant
ORDER
AND NOW, this 25'- of August, 2010, on request of the plaintiff, Barry L.
Swartz, Jr., the above-captioned action is DISCONTINUED and DISMISSED.
Barry L. Swartz, Jr.
SCI Chester
500 East 4t' Street
Chester, PA 19013
Annette Swartz
6 Marshall Drive 05
Camp Hill, Pa 17011
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BY THE COURT,