HomeMy WebLinkAbout01-3474
NANCY A. PLASTERER, * IN THE COURT OF COMMON PLEAS
Plaintiff * CUMBERLAND COUNTY, PENNSYLVANIA
*
NO. Dl - .}1f71-/ C/~l [ C' I~
VS. *
*
JOHN RICHARD PLASTERER, * CIVIL ACTION - LAW
Defendant * IN DIVORCE
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, Cumberland County Court House, 1 Court
House Square, Carlisle, Pennsylvania, 17013-3387.
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 TO FIND OUT WHERE YOU CAN GET LEGAL HELP.
CUMBERLAND COUNTY LAWYER REFERRAL SERVICE
2 LIBERTY AVENUE
CARLISLE, PA 17013
(717) 249-3166
NANCY A. PLASTERER, * IN THE COURT OF COMMON PLEAS
Plaintiff * CUMBERLAND COUNTY, PENNSYLVANIA
* NO. Of- 3</-7'/ ~ 7~
V5. *
*
JOHN RICHARD PLASTERER, * CIVIL ACTION. LAW
Defendant * IN DIVORCE
COMPLAINT UNDER ~3301
OF THE DIVORCE CODE
1. Plaintiff is, Nancy A. Plasterer, who currently resides at 2 Edgewood Drive,
Mechanicsburg, Cumberland County, Pennsylvania 17055.
2. Defendant is, John Richard Plasterer, who currently resides at Meadowood
Senior Citizens Apartments, Apartment 1051 C, Allendale Road, Mechanicsburg,
Cumberland County, Pennsylvania.
3. Plaintiff has been a bona fide resident 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 May 6, 1972.
5. Neither Plaintiff nor 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 has been no prior action for divorce or annulment instituted by either
of the parties in this or any other jurisdiction.
7. The 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.
8. Plaintiff avers that there are no children of the parties under the age of eighteen.
COUNT I.
REQUEST FOR A No-FAULT DIVORCE
UNDER 93301 (c) OF THE DIVORCE CODE
9. The prior paragraphs of this Complaint are incorporated herein by reference
thereto.
10. The marriage of the parties is irretrievably broken.
11. After ninety (90) days have elapsed from the date of the filing of this
Complaint, Plaintiff intends to file an affidavit consenting to a divorce. Plaintiff believes that
Defendant may also file such an affidavit.
WHEREFORE, if both Parties file affidavits consenting to a divorce after ninety (90)
days have elapsed from the date of the filing of this Complaint, Plaintiff respectfully
requests the Court to enter a Decree of Divorce pursuant to Section 3301 (c) of the Divorce
Code.
COUNT II.
REQUEST FOR A No-FAULT DIVORCE
UNDER 93301(d) OF THE DIVORCE CODE
12. The prior paragraphs of this Complaint are incorporated herein by reference
thereto.
13. The marriage of the Parties is irretrievably broken.
14. The parties are living separate and apart and at the appropriate time, Plaintiff
will submit an affidavit alleging that the Parties have lived separate and apart for at least
two years as specified in Section 3301 (d) of the Divorce Code.
WHEREFORE, Plaintiff respectfully requests the Court to enter a Decree of Divorce
pursuant to Section 3301 (d) of the Divorce Code.
COUNT III.
REQUEST FOR CONTINUED MAINTENANCE AND BENEFICIARY
DESIGNATIONS OF EXISTING POLICIES INSURING
LIFE AND HEALTH OF BOTH PARTIES
UNDER 93502(d) OF THE DIVORCE CODE
15. The prior paragraphs of this Complaint are incorporated herein by reference
thereto.
16. During the course of the marriage, Defendant has maintained certain health,
life and death insurance policies for the benefit of Plaintiff and Defendant.
17. Pursuant to Section 3502(d), Plaintiff requests Defendant be directed to
continue maintenance of said policies.
WHEREFORE, Plaintiff respectfully requests that, pursuant to Section 3502(d) of
the Divorce Code, the Court enter an order directing Defendant to continue to maintain
certain life and health insurance policies for the benefit of Plaintiff and Defendant.
COUNT IV.
REQUEST FOR EQUITABLE DISTRIBUTION OF MARITAL PROPERTY
UNDER 93323, 93501, 93502 and 93503
OF THE DIVORCE CODE
18. The prior paragraphs of this Complaint are incorporated herein by reference
thereto.
19. Plaintiff requests the Court to equitably divide, distribute or assign the martial
property between the parties without regard to marital misconduct in such proportion as the
Court deems just after consideration of all relevant factors.
WHEREFORE, Plaintiff respectfully requests the Court to enter an order of equitable
distribution of marital property pursuant to Sections 3323, 3501, 3502 and 3503 of the
Divorce Code.
COUNT V.
REQUEST FOR APPROVAL OF ANY SETTLEMENT AGREEMENT
AND INCORPORATION THEREOF IN DIVORCE DECREE
UNDER SECTION 3104
OF THE DIVORCE CODE
20. The prior paragraphs of this Complaint are incorporated herein by reference
thereto.
21. The public policy of the Commonwealth of Pennsylvania encourages parties
to a marital dispute to negotiate a settlement of their differences.
22. While no settlement has been reached as of the date of the filing of this
Complaint, Plaintiff is and has always been willing to negotiate a fair and reasonable
settlement of all matters with Defendant.
23. To the extent that a written settlement agreement might be entered into
between the parties prior to the time of hearing on this Complaint, Plaintiff desires that such
written agreement be approved by the Court and incorporated in any divorce
decree which may be entered dissolving the marriage between the parties.
WHEREFORE, if a written settlement agreement is reached between the Parties
prior to the time of hearing on this Complaint, Plaintiff respectfully requests that, pursuant
to Section 3104 of the Divorce code, the Court approve and incorporate such agreement
in the final divorce decree.
BY:
EDWARD J. WEINTRAUB, ESQUIRE
2650 North Third Street
Harrisburg, PA 17110
(717) 238-2200
10 #17441
Date:
ATTORNEY FOR PLAINTIFF
VERI FICA liON
I, Nancy A. Plasterer, hereby swear and affirm that the facts contained in the
foregoing Complaint for Divorce are true and correct and are made subject to the penalties
of 18 Pa. C.S. Sec. 4904 relating to unsworn falsification to authorities.
Date: 9 Ct vz..,<-
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NANCY A. PLASTERER, * IN THE COURT OF COMMON PLEAS
Plaintiff * CUMBERLAND COUNTY, PENNSYLVANIA
* 3Lt1:'-(
V5. * NO. 01-~
*
JOHN RICHARD PLASTERER, * CIVIL ACTION - LAW
Defendant * IN DIVORCE
ACCEPTANCE OF SERVICE
I hereby accept service of the Complaint For Divorce Under Section 3301(c) of the
Divorce Code on behalf of my client John Richard Plasterer which was filed on June 6, 2001, to
the above referenced term and number, and verify that I am authorized to do so.
Dated: C -, z. - 0 (
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