HomeMy WebLinkAbout01-5418RONALD YINGER EYLER, : IN THE COURT OF COMMON PLEAS
PLAINTIFF : OF CUMBERLAND COUNTY,
: PENNSYLVANIA
_.
vs. : NO.O -,,c"td' CIVIL
_.
FRANCES PAMELA FEDERICO-EYLER, : CIVIL ACTION - LAW
DEFENDANT : ACTION FOR 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.
When the grotmd 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 the Cumberland County Courthouse, One Courthouse Square, Carlisle, PA 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 Bar Association
2 Liberty Avenue
Carlisle PA 17013
(717) 249-3166
1-800-990-9108
RONALD YINGER EYLER, : IN THE COURT OF COMMON PLEAS
PLAINTIFF : OF CUMBERLAND COUNTY,
: PENNSYLVANIA
_.
vs. : NO.t~l-.S"~tl~> CIVIL "/"~.an--x
_.
FRANCES PAMELA FEDERICO-EYLER, : CIVIL ACTION- LAW
DEFENDANT : ACTION FOR DIVORCE
COMPLAINT FOR NO-FAULT DIV,ORCE
UNDER SECTION 3301(c) OF THE DIVORCE CODE
AND NOW, comes the Plaintiff, RONALD YINGER EYLER, by and through his
counsel, Susan Kay Candiello, Esquire, of the Law Firm of Susan Kay Candiello, P.C., and makes
the following consolidated complaim in divorce for divorce.
1. Plaintiff is RONALD YINGER EYLER, an adult individual, who currently
resides at 8 Redwood Court, Camp Hill, Cumberland County, Pennsylvania, 17011, and has
resided in Cumberland County for over fifteen (15) years.
2. Defendant is FRANCES PAMELA FEDERICO-EYLER, an adult individual,
who currently resides at 8 Redwood Court, Camp Hill, Cumberland County, Pennsylvania,
17011.
3. Plaintiff and Defendant have been bona fide residems in the Commonwealth for at
least six (6) months immediately previous to the filing of this Complaint.
4. The Plaintiff and Defendant were lawfully married on April 17, 1982.
5. There have been no prior aetious of divorce or for annulment between the parties
except this Complaint filed for divorce.
6. The marriage is irretrievably broken.
7. Plaintiff has been advised of the availability of counseling and of the right to
request that the court require the parties to participate in counseling. Plaintiff has chosen not to
engage in, or to request any counseling.
8. Plaintiff was a member of the United States Military Services two (2) years prior
to the parties' marriage; however, Plaintiff does not have any military benefits which are issues
in this divorce. Defendant has never been a member of the United States Military Services.
9. Plaintiff and Defendant have no children from their marriage.
COUNT I - REQUEST FOR NO-FAULT DIVORCE
UNDER SECTION 3301(c) OF THE DIVORCE CODE
10.
thereto.
11.
Paragraphs 1 through 9 of this Complaint are incorporated herein by reference
After ninety (90) days have elapsed from the date of filing this Complaint, Plaintiff
intends to file an Affidavit consenting to the divorce. Plaintiffbelieves 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 filing of this Complaint, Plaintiff, RONALD YINGER
EYLER, respectfully requests the court to enter a Decree of Divorce pursuant to Section 3301(c)
of the Divorce Code.
COUNT II - REQUEST FOR EQUITABLE DISTRIBUTION OF
MARITAL PROPERTY UNDER SECTION 3502(a) OF THE DIVORCE CODE
12.
thereto.
Paragraphs 1 through 11 of this Complaint are incorporated herein by reference
13. The Plaintiff requests the Court to equitably divide, distribute or assign the marital
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, RONALD YINGER EYLER, respectfully requests the Court
to enter an order of equitable distribution of marital property pursuant to Section 3502(a) of the
Divorce Code.
Dated: September
Respectfully submitted,
LAW FIRM OF SUSAN KAY CANDIELLO, P.C.
Susan Kay Can~iell4,~Esquire
Counsel for Pla~[
PA I.D. # 64998
5021 East Trindle Road
Suite 100
Mechanicsburg PA 17050
(717) 796-1930
VERIFICATION
The undersigned hereby verifies that the facts averred in the foregoing document are true
and correct to the best of his knowledge, information, and belief. This verification is made
subject to the penalties of 18 Pa. C.S.A. §4904 relating to unswom falsification to authorities.
DATED: ~/~- O/
LAW OFFICE OF
SUSAN KAY CANDIELLO, B.S.N., M.S.N., J.D.
5021 EAST TRINDLE ROAD, SUITE 100, MECHAN CSBURG, PA 17050
RONALD YINGER EYLER,
PLAINTIFF
¥$,
FRANCES PAMELA FEDERICO-EYLER,
DEFENDANT
: IN THE COURT OF COMMON PLEAS
: OF CUMBERLAND COUNTY,
: PENNSYLVANIA
:
: NO. 01-.S418 CIVIL TERM
:
: CIVIL ACTION - LAW
: ACTION FOR DIVORCE
AFFIDAVIT OF SERVICE CERTIFIED MAIL
COMMONWEALTH OF PENNSYLVANIA :
: SS:
COUNTY OF CUMBERLAND :
Be it known, that on the qark'x day of OC,~'~q.~ ,2001, before me, the
subscriber, a Notary Public, personally appeared SUSAN KAY CANDIELLO, who, being duly
sworn according to law, did depose and state as follows:
1. I am an attorney licensed to practice law in the Commonwealth of Pennsylvania.
2. I represent Ronald Yinger Eyler, Plaintiff in the above-captioned matter.
3. On September 26, 2001, a true and correct copy of the Complaint for No-Fault
Divorce Under Section 3301(c) of the Divorce Code, was deposited for delivery with the U.S.
Postal Service in Mechaulcsburg, Pennsylvania, being Certified/First Class Mail, restricted
delivery, return receipt requested, Article No. 7001 0320 0000 3111 7622, and addressed to the
Defendant, Frances Pamela Fedefico-Eyler.
4. The return receipt card signed by the Defendant, Fran Fedefico-Eyler, showing a
date of service of October 1, 2001, is attached hereto as Exhibit "A".
Pa.R.C.P. 403.
Service by certified mail meets the requirements of Pa.R.C.P. 404(2) and
ses^
Counsel fo~
SWORN TO AND SUBSCRIBED before me, a Notary Public, this ~'~
__ day of
,2001.
Notary Public
My Commission Expires:
I ~.Jr~yn.H~r~,~uyPut~ I
I! Cempiete Iteme 1, 2, and 3. Al~o comp~e
Illin 4 If P~ed Delivery Is daelmd.
· I~ your name and ad~ o~ the reveme
I~ that we ca~ ~m tile card to you.
· ,Nlach this card to the back of the mallptece,
~ on the front if space permits.
RESTRICTED
de~e~/addmal dtffaes~ from Item 17 riYal
If YES, enter deliver7 address below: [] No
ri P. eg~stemd ri Return Receipt fw Mamma,.,--
ri ~nsumd Ma~{ [;3 C.O.D.
0320 0000 3111 7622
Exhibit "A"
RONALD YINGER EYLER,
PLAINTIFF
FRANCES PAMELA FEDERICO-EYLER,
DEFENDANT
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PA
NO. 01-5418 CIYVIL TERM
CIVIL ACTION - DIVORCE
PETITION FOR BIFURCATION OF DIVORCE
AND NOW, comes Petitioner Ronald Yinger Eyler, by and through his counsel, Smigel,
Anderson & Sacks, LLP, and files this Petition for Bifurcation of Divorce and in support thereof
avers as follows:
1. Petitioner is Ronald Yinger Eyler, Plaintiff in the above-captioned divorce action.
2. Respondent is Frances Pamela Federico-Eyler, Defendant in the above-captioned
divome action.
3. Petitioner initiated the above-referenced divorce action on September 17, 2001,
seeking a divorce under Section 3301 (c) or (d) of the Divorce Code on the grounds that the
marriage was irretrievably broken.
4. The parties separated on September 14, 2001. The parties have been separated for
more than two years as required by Section 3301(d) of the Divorce Code.
7. Grounds for divorce exist pursuant to 23 Pa.C.S.A. §3301(d).
8. Respondent will not be harmed by the entry of a divorce decree and the
bifurcation of the divorce from the economic issues in this matter.
10. If the divorce claim is resolved, it will allow the parties to restructure their
personal lives after a separation of more than two years.
11. Respondent will not be prejudiced by the granting of a divorce decree prior to the
adjudication of the economic issues of this divorce.
WHEREFORE, Petitioner Ronald Yinger Eyler respecttSally requests that this Honorable
Court enter an Order granting his Petition for Bifurcation and reserving jurisdiction over any
ancillary economic claims.
Date: September 18, 2003
Respectfully submitted,
SMIGEL, ANDERSON & SACKS
Amt V. Levin, Esquire I.D. # 70259
4431 North Front Street
Harrisburg, PA 17110
(71'7) 234-2401
Attorneys for Plaintiff
VERIFICATION
LeROY SMIGEL, ESQUIRE, hereby states that he is c, ounsel for Ronald Yinger Eyler,
Plaintiff, in this action and verifies that Plaintiff, Ronald Yinger Eyler, has represented to the
undersigned that the statements made in the foregoing Petition are true and correct to the best of
his knowledge, information and belief. Plaintiff, Ronald Yinger Eyler, has authorized the
undersigned to sign this verification on his behalf. Plaintiff, Ronald Yinger Eyler, understands
that the statements therein are made subject to the penalties of 18 Pa.C.S. §4904 relating to
unswom falsification to authorities.
Attorney for Plaintiff,
Ronald Yinger Eyler
RONALD YINGER EYLER,
PLAINTIFF
: 1N THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PA
v. : NO. 01-5418 CIVIL TERM
:
FRANCES PAMELA FEDERICO-EYLER,:
DEFENDANT : CIVIL ACTION - DIVORCE
CERTIFICATE OF SERVICE
I, LeRoy Smigel, Esquire, hereby certify that I served a ~xue and correct copy of
Plaintiffs Petition for Bifurcation of Divorce upon counsel for Defendant by depositing same in
the U.S. Mail, postage prepaid for first class mail, on September 18, 2003, addressed as follows:
SANDRA L. MEILTON, ESQUIRE
TUCKER ARENSBERG, P.C.
111 NORTH FRONT STREET
P.O. BOX 889
HARRISBURG, PA 17108
Date: September 18, 2003
Ann V. Levin, Esquire I.D. # 70259
4431 North Front Street, 3m) Fir.
Han'isburg, PA 17110-1709
(717) 234-2401
Attorneys for Plaintiff
RONALD YINGER EYLER,
PLAINTIFF
: 1N THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PA
:
v. : NO. 01-5418 CIVIL TERM
:
FRANCES PAMELA FEDERICO-EYLER,:
DEFENDANT : CIVIL ACTION- DIVORCE
C, OIINTF, R-AFFII~AVIT UNBF, R § 3301 (d)
TI-IF, I~IVC}RCE CODE
Check either (a) or (b):
(a) I do not oppose the entry of a divorce decree.
~/(b) I oppose the entry of a divorce decree because
(Check (i), (ii) or both):
(i) The parties to this action have not
lived separate and apart for a period of at least two (2)
years.
/ (ii) The marriage is not irretrievably
broken.
2. Check either (a) or (b):
(a) I do not wish to make any claims for economic
relief. I understand that I may lose rights conceming alimony, division of
property, lawyer's fees or expenses ifI do not claim them before a divorce
is granted. ,
(b) I wish to claim economic relief which may include
alimony, division of property, lawyer's fees or expenses or other important
rights.
I understand that in addition to checking (b) above, I must also file all of my economic claims
with the prothonotary in writing and serve them on the other party. IfI fail to do so before the date set
forth on the Notice of Intention to Request Divorce Decree, the divorce decree may be entered without
further notice to me, and I shall be unable thereafter to file any economic claims.
I verify that the statements made in this counter-affidavit are true and correct. I understand that
false statements herein are made subject to the penalties of 18 P a.C.S. Section 4904 relating to unswom
falsification to authorities.
15ranges ~rn~ Fededco-Eyler, Defendant'
NOTICE: IF YOU DO NOT WISH TO OPPOSE THE ENTRY OF A DIVORCE DECREE AND
YOU DO NOT WISH TO MAKE ANY CLAIM FOR ECONOMIC RELIEF, YOU SHOULD NOT
FILE THIS COUNTER-AFFIDAVIT.
RONALD YI~GER EYLER,
Plaintiff
· IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - LAW
: NO. 01-5418 CIVIL TERM
FRANCES PAMELA FEDERICO-EYLER,:
Defendant : IN DIVORCE
PETITION FOR
ALIMONY~ ALIMONY PENDENTE LITE~ COUNSEL FEES AND
EXPENSES UNDER THE DIVORCE CODF
AND NOW comes the Defendant, by and through her attorneys, Tucker
Arensberg, P.C., and petitions this Honorable Court as follows:
COUNT I:
CLAIM FOR ALIMONY UNDER THE DIVORCE CODF
1. Defendant has inadequate means of support for herself except as
provided for by Plaintiff.
2. Plaintiff is the President of Pennsylvania Press, Inc. where his
income was in excess of $39,000 for 2002. Plaintiff has additional income from other
sources.
Defendant has been diligently seeking full time employment;
however, she is currently not gainfully employed outside the home on a full time basis.
COUNTII:
CLAIM FOR ALIMONY PENDENTELITE, COUNSELFEES AND
EXPENSES UNDER THE DIVORCE CODE
3. Defendant does not have sufficient funds to support herself and pay
counsel fees and expenses incidental to this action.
4. Plaintiff is full well and able to pay Defendant Alimony, Alimony
Pendente Lite, counsel fees and expenses incidental to this divorce action.
WHEREFORE, Defendant requests the Court to enter a Decree:
A. Directing the Plaintiff to pay Alimony to the Defendant;
B. Directing the Plaintiff to pay Alimony Pendente Lite and Defendant's
counsel fees and the costs of this proceeding; and
C. For such further relief as the Court may determine equitable and just.
TUCKER ARENSBERG, P.C.
' Sandra L. Meiltoh
Attorney I.D. NO. 32551
111 N. Front St., P.O. Box 889
Harrisburg, PA 17108
(717) 234-4121
Attorney for Defendant
VERIFICATION
I, Frances Pamela Federico-Eyler, acknowledge that the facts stated in the within
document are true and correct to the best of my knowledge, information and belief.
I understand that any false statements herein are made subject to the penalties of
18 Pa.C.S. Section 4904 relating to unsworn falsification to authorities.
CERTIFICATE OF SERVICE
Kovach, Legal Secretary to Sandra L. Meilton, Esquire, for the firm of Tucker Arensberg,
P.C., hereby certify that I have this day served a copy of the within document, by mailing
same by first class mail, postage prepaid, addressed as follows:
LeRoy Smigel, Esquire
4431 N. Front Street
Harrisburg, PA 17110
Shaun M. Kovach
62799.1
SEP 2 2
RONALD YINGER EYLER, : IN THE COURT OF COMMON PLEAS
PLAINTIFF : CUMBERLAND COUNTY, PA
v. : NO. 01-5418 CIVIL TERM
FRANCES PAMELA FEDERICO-EYLER,:
DEFENDANT : CIVIL ACTION - DIVORCE
RULE TO SHOW CAUSE
AND NOW, this ~29~day o£~, 2003, upon consideration of the
previously filed Petition £or Bifurcation o£Divorce, a Rule is hereby issued on Plaintiffto show
cause, i£any there be, why the relief requested should not be granted.
RULE RETURNABLE DAYS FROM SERVICE.
- OR -
RULE RETURNABLE AT HEARING ON THIS MATTER SCHEDULED FOR THE
DAY OF t(.~4t"~.~,'~/_-9~ , 2003, At ~ ,'~ O O'CLOCK. ~M.,
CO TROO NO., CO Y CO TnOUS ,
PE~SYLV~A.
BY THE COURT:
Distribution:
LeRoy Smigel, Esquire, 4431 North Front Street, 3rd Flr., Harrisburg, PA 17110-1709
Sandra L. Meilton, Esquire, 111 North Front Street, PO Box 889, Harrisburg, PA 17101
RONALD YINGER EYLER,
Plaintiff
FRANCES PAMELA FEDERICO-EYLER,
Defendant
: IN THE COURT OF COMMON PLEAS
: CUMBERLAND COUNTY, PENNSYLVANIA
: CIVIL ACTION - I_AW
: NO. 01-5418 CIVILTERM
IN DIVORCE
PETITION TO WITHDRAW AS COUNSEL
AND NOW, comes Sandra L. Meilton for the law firm of 'rucker Arensberg, P.C. and
hereby avers the following:
1. On or about March 8, 2002, Petitioner was retained to represent Defendant in the
above matter.
2. By letter dated October 6, 2003, Defendant terminated the relationship between
Petitioner and herself (see attached copy of letter).
3. Defendant joins in the Petition and her Consent and Joinder is attached hereto.
4. Plaintiffs counsel does not oppose Petitioner's request to withdraw from the case
(see attached copy of letter emailed and sent by first class mail).
5. Withdrawal of the Petitioner from the case will not materially prejudice Defendant
or delay any pending litigation.
6. For the reasons set forth herein, Petitioner desire.,; to sever the representation
relationship with Defendant.
WHEREFORE, Petitioner respectfully requests that this Honorable Court grant
Sandra L. Meilton, Esquire, and the law firm of Tucker Arensberg, P.C. permission to withdraw
as counsel for Defendant, Frances Federico-Eyler.
Respectfully submitted,
TUCKER ARENSBI--RG, P.C.
-Sandra L.-Meilt~n
I.D. # 32551
111 North Front Street
P.O. Box 889
Harrisburg, PA 17108
Petitioner
CONSENT AND JOINDER
I, Frances Federico-Eyler, consent to and join in the Petition to Withdraw as Counsel of
Sandra L. Meilton and the law firm of Tucker Arensberg. P.C.
Frances Federico-Eyler ~'
Dated: 3_0/9/03
63117.1
SMIGEL, ANDERSON
& SACKS LLP
ATTORNEYS AT LAW
LEROY SMIGEL, I~SQUIRE
PHONE: (717) 234-2401
TOLL FREE: 1-800-822-9757
FACSIMILE (717) 234-3611
EMAIL: Ismig¢l~sasllp.com
www.sasllp.com
File No,
6456-1-4
October 14, 2003
Sandra L. Meilton, Esquire
Tucker, Arensberg & Swartz
P.O. Box 889
Harrisburg, PA 17108-0889
Re:
FAX 232-6802
Ronald Yinger Eyler v. Frances Pamela Federico-Eyler
No. 01-5418 Civil Term, Cumberland County
Action in Divorce
Dear Sandy:
I understand you will be filing a Petition to Withdraw as counsel of record in the above matter.
Pursuant to your request, this letter with confirm that I have no objection to the filing of the Petition or
your withdrawal as counsel for Mrs. Eyler.
Sincerely,
LRS:vlf
cc: Mr. RonaldEyler
LeRoy Smigel
4431 North Front Street. Harrisbum. Pennsylvania 17110-1709
A PENNSYLVANIA LIMITED LIABILITY pARTNERSHIP
CERTIFICATE OF SERVICE
AND NOW, this ~3'~0 "-~day of ~(~o.~-~//~, 2003, I, Gloria M. Rine,
Paralegal to Sandra L. Meilton, Esquire, for the firm of Tucker Arensberg, P.C, hereby certify that I
have this day served a copy of the within document, by mailing .,Dame by first class mail, postage
prepaid, addressed as follows:
LeRoy Smiget, Esquire
4431 North Front Street
Harrisburg, PA 17110
Frances Federico-Eyler
8 Redwood Court
Camp Hill, PA 17011
Gloria"~l~l~'Rine
63244.1
RONALD YINGER EYLER,
Fqaintiff
FRANCES PAMELA FEDERICO-EYLER,
Defendant
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
NO. 01-5418 CIVIL TERM
: IN DIVORCE
ORDER
AND NOW, this
23 ' day of
,2003, upon presentation
and consideration of the
that Sandra L. Meilton,
withdraw as counsel for
Petition to Withdraw as Counsel, it is hereby ORDERED AND DECREED
Esquire, and the law firm of Tucker Arensberg, P.C. are granted leave to
Defendant in the above captioned matter.
BY THE COURT:
Distribution~l,~-~ ~- r~
Sandra L. Meilton, Esqui~
~eRoy Smigel, Esquire,
~Frances Federico-Eyler,
, . . , arrisburg, PA 17108
431 N. Front Street, Harrisburg, PA 17110
)efendant, 8 Redwood Court, Camp Hill, PA '17011
/o
RONALD YINGER EYLER,
P1 ai nti ff
FRANCES p.
Defendant
: IN THE COURT OF COMMON PLEAS OF
:
: CUMBERLAND COUNTY, PENNSYLVANIA
:
: CIVIL ACTION - DIVORCE
FEDERICO-EYLER,: NO. 01-5418 CIVIL TERM :
IN RE: AGREEMENT
ORDER OF COURT
AND NOW, this 1st day of December, 2003, the
parties having reached the following agreement with regard
to all the economic issues raised in the divorce action
between them, the following is herewith made an order of
court:
assets:
1. wife will receive the following marital
a) The residence at 8 Redwood Court in
Camp Hill, Pennsylvania, subject to the mortgage owed to
GMAC, which she shall pay and satisfy in accordance with its
terms. The parties agree that the equity in that house has
a value of $93,000.00. wife shall indemnify husband on the
debt owed to GMAC and any other debt or obligation arising
out of her ownership or use of the house after this date.
b) A small checking account at Members
1st Federal Credit Union, which had a balance at the date of
separation of approximately $350.00.
c) A 1998 Toyota Rav 4 and a 1985 Honda
Civic, which have a combined value of approximately
$7,485.00. The Rav 4 is currently titled in both names, and
the parties will meet at the automobile association or
another mutually agreed upon location, within the next
thirty days, to execute the documents necessary to transfer
the title of that vehicle to wife's name alone.
d) An individual retirement account with
Massachusetts Mutual Life Insurance, which contains the
proceeds of a 401k plan previously held by wife,
value of approximately $50,700.00.
e) The household furnishings and other
items of tangible property currently in her possession, with
the exception of the items divided in accordance with
paragraph three hereof.
2. Husband shall receive the following
marital assets.
which has a
a)
having a balance at
$1,000.00.
His checking account at Commerce Bank,
the time of separation of approximately
name alone,
Prudential
$20,700.00.
b) A Vanguard Mutual Fund account in
having a value of approximately $3,564.00.
c) A Sar-Sep retirement account with
Investments, having a value of approximately
his
d) A policy of insurance with Jefferson
Pilot Life Insurance, having a value of approximately
$15,100.00.
e) Various stocks held in his name alone,
having a value of approximately $11,600.00.
f) An annuity account issued by
Prudential securities in his name alone, having a value of
approximately $9,700.00.
g) An individual retirement account in
his name alone with Prudential Investments, having a value
of approximately $6,000.00.
h) The items of household furnishings and
tangible personal property currently in his possession,
other than those which are the subject of paragraph three of
this agreement.
in Golden Bleu,
i)
Inc.,
The stock and other ownership interest
a Pennsylvania business corporation,
trading as Pennsylvania Press, which is currently owned by
husband, and which has a value of approximately $160,000.00.
3. Husband shall have the following items of
tangible personal property, which are currently located at
the marital residence at 8 Redwood court: A cedar chest
with quilts (with the exception of the maroon and red quilt,
which will be retained by wife), an antique trunk owned by
his grandmother, two fireplace clothing irons, one ceramic
duck, a desk and lamp which previously belonged to his
father, an Indian figurine, one oriental
gift from his father, a kerosene lantern,
owned by his grandmother, a black rocking
rug, which was a
which had been
chair, his
personal papers, which consist of photographs and other
memorabilia of his family, his yearbooks and other personal
papers, papers and records that belonged to his father,
including approximately two boxes of records for
Pennsylvania Press, and a box of toy trains. In addition,
if wife can locate them in the house, husband shall have two
antique eyeglass sets and cases. The parties will by mutual
agreement arrange a mutually convenient time for husband to
come to the house to retain these items.
retain them, he will return to wife all
openers, and other instruments of access
when he comes to
keys, garage door
to the house, and
the keys to the Ray 4 automobile or any other automobile to
be owned or retained by wife.
December 2003 the
Husband shall pay to wife no later than 31
following sums of money:
equitable
a) $45,000.00,
distribution of marital
b) $13,$00.00,
which shall be treated as
property.
which represents his
payment toward a student loan and a credit card debt in
wife's name alone, which existed at the time of separation.
wife will be responsible to pay the balance owed on those
obligations and does hereby agree to indemnify and hold
husband harmless from any cost caused to him by her failure
to pay those obligations.
5. Husband shall pay wife alimony, commencing
on the first day of January 2004 and continuing for five
consecutive years thereafter, in the amount of $1,000.00 per
month. The alimony obligation shall be made the subject of
a separate order of this court and shall be due on or before
the first day of each month. Both parties will treat these
payments as alimony for income tax purposes. The alimony
will terminate only upon the death of either party and shall
not terminate upon wife's remarriage or cohabitation. The
amount of alimony shall not be subject to modification,
other than upon the death of either party, by the parties or
by any court.
6. Husband shall arrange and provide proof to
wife and her attorney no later than the 31st of December
2003 that his life is insured by a policy of insurance
providing at least $60,000.00 of death benefits to wife as
the sole and exclusive beneficiary. The parties agree that
the balance required by that life insurance may be reduced
by $1,000.00 for each month in which husband makes alimony
payments pursuant to this agreement.
7. The parties both represent that the list
of assets described in this agreement and the values
assigned to those agreements constitute all of the marital
assets of the parties, and that neither party has concealed
or otherwise attempted to mislead the other party about the
existence or value of any of the marital assets.
8. upon delivery of the deed to the residence
at 8 Redwood Court, the execution of a joint motion or
stipulation for the entry of an alimony order, and
verification by husband that he has complied with the life
insurance provisions of this agreement, both parties will
execute and file with the court an affidavit of consent and
any other documents reasonably required to conclude a
divorce action, it being the intentions of the parties to
conclude the divorce in this matter by the end of December
2003.
By the Court,
~LeRoy Smigel, Esquire
For the Plaintiff
Samuel L, Andes, Esquire
For the Defendant
:bg
· ~/~- A. Hess, J .
RONALD YINGER EYLER,
Plaintiff
VS.
FRANCES PAMELA FEDERICO-EYLER,
Defendant
IN THE COURT OF COMMON
PLEAS OF CUMBERLAND
COUNTY, PENNSYLVANIA
CIVIL ACTION - DIVORCE
NO. 01-5418 CIVIL TERM
ORDER FOR PAYMENT OF ALIMONY
AND NOW, this /~ day of ~¢~_~.~,- , 2003, upon the stipulation
of the parties and their attorneys, attached hereto, we hereby order that the Plaintiff,
Ronald Y. Eyler shall pay alimony to the Defendant, Frances Federico-Eyler, as follows:
1. The alimony shall be in the amount of $1,000.00 per month. The amount of
alimony shall not be subject to modification at any time or for any reason.
2. The alimony shall commence on the first day of January 2004 and continue for
sixty (60) consecutive months thereafter. The term of the alimony shall terminate only
upon the death of either of the parties and shall not terminate upon the remarriage or
cohabitation of the Defendant.
3. The payments made pursuant to this order shall be treated by both parties as
alimony for income tax purposes.
4. The payments required by this order shall be made directly from the Plaintiff to
the Defendant. In the event that the Plaintiff fails to make any of the payments required
by this order within thirty (30) days that such payment is due, however, future payments
shall be made through and shall be monitored and administered by the Domestic Relations
Office of this court which shall automatically open an account for that purpose upon the
Defendant filing with the Domestic Relations Office a copy of this order and an affidavit
that the payments have not been made in accordance herewith for thirty days or more.
5. The court shall retain jurisdiction over this matter for purposes of enforcement
of this order.
BY THE COURT,
Distribution:
LeRoy Smigel, Esquire (Attorney for Plaintiff)
4431 North Front Street, Harrisburg, PA 17110-1260
Samuel L. Andes, Esquire (Attorney for Plaintiff)
525 North 12t~ Street, Lemoyne, PA 17043
,kb~'¢kONOl--lJ.O~,-J ~H.L _.40
RONALD YINGER EYLER,
Plaintiff
VS,
FRANCES PAMELA FEDERICO-EYLER,
Defendant
IN THE COURT OF COMMON
PLEAS OF CUMBERLAND
COUNTY, PENNSYLVANIA
CIVIL ACTION - DIVORCE
NO. 01-5418 CIVIL TERM
STIPULATION FOR ENTRY OF ALIMONY ORDER
AND NOW come the above-named parties, with their attorneys, and stipulate and
agree that the court shall enter the attached order for alimony and jointly move the court
to enter said order.
IN WITNESS WHEREOF the parties hereto have set their hands and seals this
day of December 2003.
LeRoy Smigel_~_// u '
Attorney for Plaintiff
Attorney for Defendant
Franc-es ~am~la 'Fe~deri~-~--Eyl~r- ~' -
/AVlJcjw//Affidavit of Consent November 25, 2003 2:24 PM
RONALD YINGER EYLER, : IN THE COURT OF COMMON PLEAS
PLAINTIFF : CUMBERLAND COUNTY, PA
:
v. : NO. 01-5418 CIVIL TERM
:
FRANCES PAMELA FEDERICO-EYLER,:
DEFENDANT : CIVIL ACTION - DIVORCE
PLAINTIFF'S AFFIDAVIT OF CONSENT
AND WAIVER OF COUNSELING
1. A Complaint in Divorce under §3301(c) of the Divorce Code was filed on
September 17, 2001.
2. The marriage of Plaintiff and Defendant is irretrievably broken and ninety (90) days
have elapsed from the date of filing and service of the Complaint.
3. I consent to the entry of a final Decree of Divorce after service of notice of intention
to request entry of the decree.
I verify that the statements made in this Affidavit are tree and correct. I understand that
false statements herein are made subject to the penalties of 18 Pa.C.S. §4904 relating to unswom
falsification to authorities.
Date:
RONALD YINGER EYLER,
PLAINTIFF
FRANCES PAMELA FEDERICO-EYLER,
DEFENDANT
1N THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY, PA
NO. 01-5418 CIVIL TERM
CIVIL ACTION - DIVORCE
WAIVER OF NOTICE OF INTENTION TO REQUEST
ENTRY OF A DIVORCE DECREE UNDER
1. I consent to the entry of a final decree of divorce without notice.
2. I understand that I may lose rights concerning alimony, division of property, lawyer's fees
or expenses ifI do not claim them before a divorce is granted.
3. I understand that I will not be divorced until a divorce decree is entered by the Court and
that a copy of the decree will be sent to me immediately after it is filed with the Prothonotary.
I verify that the statements made in this Affidavit are true and concect. I understand that false
statements herein are made subject to the penalties of 18 Pa.C.S. Section 4904 relating to unswom
falsification to authorities.
Date: I4,'/O.~
Ronald Yinger Eyler, Plaintiff
RONALD YINGER EYLER,
Plaintiff
VS,
FRANCES PAMELA FEDERICO-EYLER,
Defendant
IN THE COURT OF COMMON
PLEAS OF CUMBERLAND
COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
NO. 01-5418 CIVIL TERM
IN DIVORCE
AFFIDAVIT OF CONSENT
1. A Complaint in Divorce under Section 3301 (c) of the Divorce Code was filed on
17 September 2001 and served upon the Defendant on or about 10 October 2001.
2. The marriage of Plaintiff and Defendant is irretrievably broken and ninety (90) days
have elapsed from the date of filing of the complaint and the date of service of the complaint
on the Defendant.
3. I consent to the entry of a final decree in divorce either after service of a Notice of
Intention to Request Entry of the Decree or upon filing of my Waiver of the Notice of
Intention to Request Entry of the Decree.
4. I have been advised of the availability of marriage counseling and understand that
the Court maintains a list of marriage counselors and that I may request the Court to require
my spouse and I to participate in counseling and, being so advised, do not request that the
Court require that my spouse and I participate in counseling prior to the divorce becoming
final.
I verify that the statements made in this Affidavit are true and correct and I
understand that false statements herein are made subject to the penalties of 18 Pa. C.S.
Section 4904 relating to unsworn falsification to authorities.
Date
'¢F~Ai~'cE~3 P~I~I-EL~A FEDE~"C~:E~f~ER
RONALD YINGER EYLER,
Plaintiff
VS,
FRANCES PAMELA FEDERICO-EYLER,
Defendant
IN THE COURT OF COMMON
PLEAS OF CUMBERLAND
COUNTY, PENNSYLVANIA
CIVIL ACTION - LAW
NO. 01-5418 CIVIL TERM
IN DIVORCE
WAIVER OF NOTICE OF INTENTION TO REQUEST ENTRY OF
A DIVORCE DECREE UNDER SECTION 3301 (C) OF THE DIVORCE CODF
1. I consent to the entry of a final decree in divorce without notice.
2. I understand that I may lose rights concerning alimony, division of property,
lawyer's fees, or expenses if I do not claim them before a divorce is granted.
3. I understand that I will not be divorced until a divorce decree is entered by the
court and that a copy of the decree will be sent to me immediately after it is filed with the
Prothonotary.
I verify that the statements made in this Waiver are true and correct. I understand
that false statements herein are subject to the penalties of 18 Pa. C.S. Section 4904 relating
to unsworn falsification to authorities.
Date
I~RANCES PAMELA F[~DE-RI-CO-L~'-~ER
///December 15, 2003 11:25 AM
RONALD YINGER EYLER,
PLAINTIFF
FRANCES PAMELA FEDERICO EYLER,
DEFENDANT
IN THE COURT OF COMMONS PLEAS
CUMBERLAND COUNTY, PENNSYLVANIA
NO. 01-5418 CWIL TERM
CWIL ACTION - DIVORCE
PRAECIPE TO TRANSMIT RECORD
TO THE PROTHONOTARY:
Transmit the record, together with the following information, to the court for entry of a
divorce decree:
1. Ground for divorce: irretrievable breakdown under §3301(c) of the Divome Code.
2. Date and manner of service of the Complaint: The Complaint was served via first
class mail on the defendant on October 1, 2001.
3. (a). Date of execution of the affidavit of consent required by §3301(c) of the
Divorce Code: by plaintiff December 11, 2003; by defendant December 12, 2003.
(b)(1). Date of execution of the affidavit required by §3301(d) of the Divorce
Code: N/A;
(b)(2). Date of filing and service of the plaintiff's affidavit upon the respondent:
4. Related claims pending: None.
5. (a). Date and manner of service of the notice of intention to file praecipe to
transmit record, a copy of which is attached: N/A.
(b). Date plaintiffs Waiver of Notice in §3301(c) Divorce was filed with the
Prothonotary: A copy is attached hereto and is being filed simultaneously with this Praecipe.
Date defendant's Waiver of Notice in §3301 (c) Divorce was filed with the Prothonotary:
A copy is attached hereto and is being filed simultaneously with this Praecipe.
SMIGEL, ANDERSON & SACKS
Date: /2 -/~' - 0._~ By: .~
LeRoy Smigel, Esquire, I.D. #: 09617
Ann V. Levin, Esquire, I.D. #: 70259
4431 North Front Street
Harrisburg, PA 17110-1223
(717) 234-2401
Attorneys for Plaintiff
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY
STATE OF PENNA.
PLAINTIFF
VERSUS
NO. 01-5418 CIVIL
DECREE IN
DIVORCE
AND NOW,
.~ /5~ , ~ , IT IS ORDEred AND
DECREED That
, PLAINTIFF,
AND FRANCES PAMELAFEDEP~(3OR~T.~ ,DEFENDANT,
ARE DIVORCED FROM THE BONDS OF MATRIMONY.
THE COURT RETAINS JURISDICTION OF THE FOLLOWING CLAIMS WHICh HAVE
BEEN RAISED OF RECORD IN THIS ACTION FOR WHICH A FINAL ORDER HAS NOT
Yet BEEN ENTERED;
It is further ~ and r~P~3 that the Order of Court executed bv
ap~ between the parties, dated December 1, 2003 is incorporated by
reference into this Decree for the purposes of enforcement, but shall
BY THE COURT: /
PROTHONOTARY
IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY,
PENNSYLVANIA
..... I / -' / ' - Plaintiff :
Vs : File No.
...... Defendant :
IN DIVORCE
NOTICE TO RESUME PRIOR SURNAME
Notice is hereby given that the Plaintiff/defendant in the above matter,
[select one by marking "x"]
__ prior to the entry cfa Final Decree in Divorce,
or ~ after the entry of a Final Decree in Divorce dated ~~.~_.~0 "~
hereby elects to resume the prior surname of ~'I~~,~'-CO , and gives this
written notice avowing his / her intention pursuant to the provc.ipns of 54 P.S. 704.
Date: ~
/ -' ~/ - ' :~ignature
Signature of name being resumed
COMMONWEALTH OF PENNSYLVANIA )
COUNTYthe,,~OF~~&
On i:lay of ./~~/"~, 20O_~,^'f before me, the Prothonotary or the
notary public, personally appeared the above affiant known to me to be the person whose
name is subscribed to the within document and acknowledged that he / she executed the
foregoing for the purpose therein contained.
In Witness Whereof, I have hereunto set my hand hereunto set my hand and official
seal.
SEAL
Cumuerland County
/xpir.s April ~, 2005
Prothonotary or Notary Public