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HomeMy WebLinkAbout01-3970 /VO, ()I- 3~ 70 CeVI { -terM 73 o...ro rt L v~. l.. Ore 1\ .z.o T.. ?d;+loil- L us-{-od....( tl-f/ Iii III J <; fr/tir -10 )J.-:J9-0S- {l.f e. ^o+ 5cc'jl.l1ecl.. SARAH E. BARONE, Plaintiff IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA v. CIVIL ACTION - LAW LORENZO E. ARCHER, JR., Defendant NO. 2001-3970 IN CUSTODY CIVIL TERM CUSTODY STIPULATION & AGREEMENT THIS STIPULATION AND AGREEMENT entered into the day and year hereinafter set forth, by and between SARAH E. BARONE, (hereinafter referred to as "Mother") and LORENZO E. ARCHER, JR., (hereinafter referred to as "Father"). WHEREAS, the parties are the natural parents of one child, namely Jenna N. Archer- Barone. born November 10, 1998, (hereinafter referred to as "Child"); and WHEREAS, the parties live separate and apart, and wish to enter into a comprehensive stipulation and agreement relative to physical and legal custody of their Children. NOW THEREFORE, in consideration of mutual covenants, promises and agreements as hereinafter set forth, the parties stipulate and agree as follows: I. Mother shall have sole legal custody of the child. 2. Mother shall have primary physical custody of the child. 3. Father shall have periods of visitation with the child on the first Saturday of every month from 10:00 a.m. to 4:00 p.m., with said times being supervised by Mother. 4. In the event Father's Saturday visitation falls on a holiday or Mother's scheduled vacation time with the child, Father may exercise his visit on the very next Saturday following the holiday or vacation time. 5. The parties shall keep each other advised in the event of serious illness or medical emergency concerning the child and shall further take any necessary steps to ensure that the health and well-being of the child is protected. During such illness or medical emergency, both parties shall have the right to visit the child as often as he or she desires consistent with the proper medical care of the child. 6. Neither parent shall do anything which may estrange the child from the other party, injure the opinion of the child as to the other party, or which may hamper the free and natural development of the child's love and affection for the other party. 7. Any modification or waiver of any of the provisions of this Agreement on a permanent basis shall be effective only if made in writing, and only if executed with the same formality as this Stipulation and Agreement. 8. The parties desire that this Stipulation and Agreement be made an Order of Court of the Court of Common Pleas of Cumberland County, and further acknowledge that the Court of Common Pleas of Cumberland County does, in fact, have jurisdiction over the issue of custody of the parties' minor child. . . . 9. The parties stipulate that in making this Agreement, there has been no fraud, concealment, overreaching, coercion, or other unfair dealing on the part of the other party. 10. The parties acknowledge that they have read and understand the provisions of this Agreement. Each party acknowledges that the Agreement is fair and equitable and that it is not the result of any duress or undue influence. IN WITNESS WHEREOF, The parties hereto intending to be legally bound by the terms hereof, set forth their hands and seals the day and year hereinafter mentioned. WITNESSETH: h~ . l~ (. JW\;u... " -7 1lo~ \/ r~ Ju~ /2 )<C/03 , Date ~~ c~(RJ~ LORE~ E. ARCHER, JR. , . COMMONWEALTH OF PENNSYLVANIA COUNTY OF .[).A-upkl ~ On this dcJ day of&Ct'n?J.ee.- , 2005, before me, the undersigned officer, personally appeared SARAH E. BARONE, known to me (or satisfactory proven) to be , the person whose name is subscribed to the within Agreement and acknowledged that she executed the same for the purpose therein contained. IN WITNESS WHEREOF, I hereunto set my hand and official seal. coMIoIflNW~LlH GI" flENNSYLVANIA NOTARIAL SEAL ELIZABETH A. GOWN LEY, Nolary Public City of Harrisburg, Dauphin County My Co.m.~isslonEJ.')lires Ma~ .12~2!JO~ ~- " j,..J:f )iJ.' Not Public COMMONWEALTH OF PENNSYLVANIA COUNTY OF I)kt.l.l'l Ai On this r2cJ day of .tJ(>cL?n 6-e IL- , 2005, before me, the undersigned officer, personally appeared LORENZO E. ARCHER, JR., known to me (ar satisfactory proven) ~ to be the person whose name is subscribed to the within Agreement and acknowledged that he executed the same for the purpose t:)J.erein contained. IN WITNESS WHEREOF, I hereunto set my hand and official seal. Cl(:j....loIl~lIliE'~+ti GI" i!iONNSYLVANIA NOTARIAL SEAL ELIZABETH A. GOWN LEY, Nolary Public City of Harrisburg, Dauphin County My Commission EJqlIres May 12, 2007 --.,',"" ...,.. ... ~ ffJdZ !(L)j~ Not Public ....' c:C' 0 (~f -n (-01 C::J :~ " f-i-,?1 (') r"',) ,n C) <.D , C) , , , I ,-I '"" ~:j '(".n J._\J , f-,,J .-< tV' DEe 3 u 2005 I'V'L", v SARAH E. BARONE, Plaintiff : IN THE COURT OF COMMON PLEAS OF : CUMBERLAND COUNTY, PENNSYLVANIA v. : CIVIL ACTION - LAW LORENZO E. ARCHER, JR., Defendant : NO. 2001-3970 CIVIL TERM : IN CUSTODY ORDER OF COURT AND NOW this 3(d..dayof J 2"7 , Zoob , W65, the attached Custody Stipulation and Agreement is hereby made an Order of Court. BY THE COURT, J. 0orenzo E. Archer, Jr., pro se ~} C~~ ~o~ ~,O Q cc: Aarylou Matas, Esquire ~ Attorney for Plaintiff - iCSS- '/"\8 r," .ct U;' .-)::'l '\"l ',1. 'J . p.,~ .,."" '.-~_,. \:~.~l ';'JU~