HomeMy WebLinkAbout05-3855L.WAPR-61 2008 09:24AM FROM-SMIGEL ANDERSON SACKS
4/1/20089:12;40 AMIAVL/snit
FAYF S. REYNOLDS,
PLAINTIFF
V.
RICHARD T. REYNOLDS,
DEFENDANT
7172343811 T-527 P.002/002 F-121
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
NO, 05-3855
CIVIL ACTION - LAW
IN DIVORCE
ORDER
AND NOW, this ? day of , 2008, after review of the Petition to Seal
the Record and the attached Stipulation of counsel, it is hereby ORDERED and DECREED that the
record is hereby sealed in the above-captioned matter.
Distribution:
John J. Connelly, Jr., Esquire, counsel for Plaintiff, P.O. Box 650, Hershey, PA 17033
LeRoy Smigel, Esquire, counsel for Defendant, 4431 N. Front St., Harrisburg, PA 17110
BY THE CDIJRT:
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SMIGEL, ANDERSON & SACKS, LLP
LeRoy Smigel, Es uire ID #09617
Ann V. Levin, Esqui a ID #70259
4431 North Front Street, P Flr.
Harrisburg, PA 17111,0-1778
(717) 234-2401
alevin(@saslip.com
Attorney for Plaintiff
FAYE S. REYNOLDS,
PLAINTIFF
V.
RICHARD 4'. REYNOLDS,
DEFENDANT
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 05-3855
CIVIL ACTION- LAW
IN DIVORCE
STIPULATION
AND NOW, this t0 of , 2008, counsel for the parties in the above-
referenced action hereby stipulate and agree that the Qualified Domestic Relations Order attached hereto
'encompasses the intent of their respective clients and that it may be adopted as a Court Order.
III
SMIGEL, ANDERSON & SACKS, LLP JAMES, SMITH, DIETTERICK & CONNELLY, LLP
B/v By:
YLeRoy Srnigel, Esquire I.D. # 09617 J h . ow lly, Jr., Esqui I # 15615
Ann V. Levin, Esquire I.D. #: 70259 P. 4431 North Front Street Hershey, PA 17033
Harrisburg, PA 17110 (717)533-3280
(717)234+2401
Attorneysli,for Defendant Attorney for Plaintiff
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APR 16 2008 N`
SMIGEL, ANDERSON & SACKS, LLP
LeRoy Smigel, Esquire ID #09617
Ann V. Levin, Esquire ID #70259
4431 North Front Street, Yd Flr.
Harrisburg, PA 17110-1778
(717) 234-2401
alevin(&sasllp.com
Attorney for Plaintiff
FAYE S. REYNOLDS,
PLAINTIFF
V.
RICHARD T. REYNOLDS,
DEFENDANT
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 05-3855
CIVIL ACTION - LAW
IN DIVORCE
QUALIFIED DOMESTIC RELATIONS ORDER
This order relates to the provision of marital property rights to a former spouse of the Participant
and is made pursuant to the domestic relations law of the State of Pennsylvania. The cause is before the
court upon the motion of both parties, the court having entered a Judgment for Divorce and this order
having been agreed to by each of the parties, and said agreement being incorporated into the Judgment
for Divorce.
IT IS HEREBY ORDERED THAT:
1. This order shall constitute a "qualified domestic relations order" as defined in §414(p) of
the Internal Revenue Code of 1986, as amended (the "Code") and §206(d)(3)(B) of the Employee
Retirement Income Security Act of 1974, as amended ("ERISA").
2. This order applies to the Reynolds Construction Management, Inc. Retirement Savings
Plan (the "Plan"), which is administered by Reynolds Construction Management, Inc., 3300 North Third
Street, Harrisburg, Pennsylvania 17110.
3. The Plan participant to whom this order relates is Richard T. Reynolds (the
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"Participant"). The last known mailing address and social security number of the Participant are:
9 Devonshire Square
Mechanicsburg, PA 17050
Social Security No.: 173-38-6350
4. The individual to whom this order assigns certain Plan benefits otherwise payable to the
Participant is Faye E. Shannon (the "Alternate Payee"). The last known mailing address and social
security number of the Alternate Payee are:
931 North Front Street
Harrisburg, PA 17102
Social Security No.: 200-44-4773
5. As part of the division of the estate of the parties, the entire balance of Participant's
interest shall be rolled over from Participant's Plan to Alternate Payee's Individual Retirement Account
with Smith Barney Group. The check should be made payable to Smith Barney Group, for benefit of
Faye E. Shannon and mailed to Smith Barney Group at P.O. Box 12057, Harrisburg, PA 17101.
6. The Participant and the Alternate Payee shall notify the Plan Administrator in writing of
any changes in their respective mailing addresses subsequent to the date of this order.
7. The terms of this Order shall be carried out as soon as administratively feasible following
the date that this Order has been approved.
8. This order shall not be construed to:
a. require the Plan to provide any type or form of benefit or any option not otherwise
provided under the Plan;
b. require the Plan to provide increased benefits; or
c. require the payment of benefits to the Alternate Payee which are required to be
paid to another alternate payee under another order previously determined to be a qualified domestic
relations order.
12. This order shall be incorporated into the Judgment for Divorce for purposes of
enforcement.
13. It is the intention of the Alternate Payee and the Participant that the foregoing provisions
shall qualify as a qualified domestic relations order, and whenever the provisions hereunder are
inconsistent with the definition of a qualified domestic relations order as may be contained, from time to
time, in the Code or ERISA, this order shall be amended, from time to time, as may be necessary to
comply with the requirements for a qualified domestic relations order under said statutes or regulations
promulgated pursuant thereto and to cause this order to be accepted as a qualified domestic relations
order by the Plan Administrator. Both parties shall enter into an agreed order of court as may be
reasonably required to amend this order to comply with such requirements.
Dated: 2 o
t
BY THE COURT
r , f Zad?
This _1 5? ?'" day of R\T
,x,967.
Copies to:
Reynolds Construction Management, Inc.
Retirement Plan Administrator
3300 North Third Street
Harrisburg, Pennsylvania 17110
Ann V. Levin, Esquire
Smigel, Anderson & Sacks LLC
4431 North Front Street
Harrisburg, PA 17110
Attorney for Defendant/Participant
John J. Connelly, Jr., Esquire
James, Smith, Dietterick & Connelly, LLP
P.O. Box 650
Hershey, PA 17033
Attorney for Plaintiff/Alternate Payee