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ST ACY RHONE,
Plolntlff
v,
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY,
PENNSYLVANIA
No.
MICHAEL RHONE,
Defendont
CIVIL ACTION - CUSTODY
PETITION
And now comes Plolnttff Stocy Rhone, through her ottorney, The Low
Offlces of Dorrell C. Dethlefs, ond overs In support of this petttlon
os follows:
1. Plolntlff Is Stocy Rhone, on odult Indlvjduol currently
residing ot 149 Ashford Drive, Enolo, PA 17025,
2. Defendont Is Mlchoel Rhone, on odult Indlvlduol currently
residing In 722 Hummel Avenue, Lemoyne, PA.
3. Plolntlff ond Defendant were morrted Februory 2, 1992 In
Duncannon, Pennsylvonlo.
4, Plaintiff ond Defendont are the noturol porents of one
minor chtld; Donlel Joseph Rhone, born September 23, 1992,
herelnofter referred to os the chtld,
5, Both Plolntlff ond Defendont In on effort to ensure thot
the best Interests of the chtld are met, have ogreed upon the terms
ond conditions of the Stipulation Agreement as to Custody and
Visitation, the original of which Is attached hereto as Exhibit "A".
WHEREFORE, Plolntlff requests to have the aforementioned
Agreement os to Custody Incorporoted Into an order enforceoble by
the Court. 7-/
DATE St>pt ,,) ,qqS BY: ~k.P 1ft
/
Mlchoel J. P os, quire
Attorney for Plo Iff
Attorney "'56651
Wogner BUlldlng-Sulte 205
355 N. 21 st Street
Camp HI11, PA 17011
.. : '" It:
On thIs ...l.!e-day Of~, 1995, Stacy L. Rhone of 149
Ashford Drive, Enola, Cumberland County, PennsylvanIa, hereInafter
"MOTHER" and MIchael A, Rhone, of 722 Hummel Avenue, Lemoyne, PA,
hereInafter "FATHER" and Randall G. Eberts and KIm A, Eberts of 1951
Lennox Street, Camp Hm, PA, hereInafter collectIvely refered to as
maternal grandparents hereby agree to the followIng terms and
condItIons of custody and vIsitatIon of DanIel Joseph Rhone the
mInor chlld of stacy Rhone and MIchael Rhone born September 23,
1992, hereInafter referred to as "CHILD",
The parties hereto recite and declare and agree as follows:
1. That a prIor custody Agreement dated April 24, 1995,
whIch establlshed full prImary physIcal custody of the chlld to
maternal grendparents shall be deemed null and void and all
obligatIons lInd rIghts contaIned therein are hereby extInguished. (A
copy of said Agreement is attached hereto as ExhIbit "A")
2, That MOTHER and FATHER shall share legal custody of the
CHILD.
3, That MOTHER shall maIntaIn prImary physIcal custody of
the CHILD.
EXHIBIT
J...-
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6, FATHER llnd MOTHER flgree to be responsible for the
CHILD'S uninsured medlclll expenses In the following mllnner: one-
hlllf by FATHER llnd one-hlllf by MOTHER.
g, MOTHER llnd FATHER flgree to keep one llnother llpprlsed
of ellch other's resldentllllllddress, llnd their loclltlon during
vflclltlon find holldflY periods If they will be flWllY from their normfll
residence,
10, This Agreement shflll not be construed In flny meflsure flS
e consent to or condonetlon of a dissolution of mflrrlflge, but th1s
Agreement shflll not be fI bflr to a proceeding for dissolution of
mllrrlage hereunto or hereafter filed,
11. All pflrtles hereto hflve hfld the opportunity to
consult fin llttomey prior to executing this Agreement,
12. All pflrt1es hereto shflll hereafter execute fill
1nstruments necessflry to cllrry out the terms of this Agreement.
13, All pflrtles hereto agree to hflve this Agreement
1ncorporllted Into an Order enforceflble by the Court.
t, " t,
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WHEREFORE. this Agreement sh811 be binding on the pertles
end their respective heirs, executors, edmlnlstretors, end esslgns.
WITNESS:
$~J1~L,'-
WITNESS:
.d ~ ( 'khttvL---.
WITNESS:
J:J~ (-iJ,.J;~,
WITNESS:
MOTHER:
~(\Yrd R...}.o~ (SEAL)
STACV~RHONE
DATE '8llu /9$
I I
FATHER:
~o.~
MICHAEL A, RHONE
DATE 17 /110 I ~)
(SEAL)
MATERNAL GRANDPARENTS
A;. ll'CU (SEAL)
~,:~, EBERTS
DATE 3k~ftJ-
~/~
RANDALL G, EBERTS
DATE .9- /?-9.>
(SEAL)
0099~8.0GOOI/April ~4, 1995/JLHlMHl43~6~
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of this Agr~~m~nt. which w~~k~nd shall b~long to Mkha~1 A, Rhon~, Th~ following we~kend will belong to Sta~~y
L, Rhon~ and subs~qu~nt w~~k~nds will alt~rnal~ b~tw~~n th~ Par~nts,
3, Par~nts h~r~by a~knowl~dg~ and agr~~ to giw two (2) days notic~ to Grandparents ifth~ visitation with
th~ minor child is to last mor~ than a we~k~nd. Th~ alternating w~~k~nds between the Parents will occur ev~ry
week~nd, unless the Grandparents have mad~ oth~r arrangem~nts for th~ minor child, and in which case, th~y shall
so notify th~ parent whose custody w~~k~nd it might b~.
4, Parents may have additional rights of visitation as mutually agreed upon by all parties.
5. Parents h~reby acknowledge and agr~~ to each pay the sum. of $70.00 p~r week to the Grandpar~nts
for th~ minor child's day car~ and other expenses, Should the total paym~nt of $140.00jper w~ek be insufticientto
meet the minor child's n~c~ssary day care and oth~r expenses, Grandpar~nts will so notify th~ Par~nts, and the parti~s
agr~~ to reach an agre~abl~ support tigure. In no event is the amount of the payments to go b~low S70,OO per we~k
~ach. unless agr~~d upon by all parties.
6, Grandparents hereby acknowledg~ and agr~~ that whil~ th~ minor child is in their custody. the minor
child's paternal grandpar~nts, Eug~ne Darwin Rhon~ amI Jan~ Eile~n Rhone. shall have no unsup~rvis~d visitation with
th~ minor child, Moreov~r, the child is not to b~ taken by th~ pat~rnal grandparents outsid~ a live (5) mil~ radius from
Michad A, Rhone's Lemoyne resid~nce,
7, The parties hereby ackno\Vledg~ and agree thm the effectiv~ date of this Agr~~ment shall b~ April 17.
1995 and that this Agre~ment shall r~main in place imJ~tinit~ly. or until allth~ parties mutually agr~e othmvis~.
""C'f-.h.cj)"Q ,y n. QR-,... ..
Michael A. Rhone
~ -R.-hrifU
SI; y L. Rhon~
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R.mdall G, Eh~rts /
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, ./ -lV. '1'17 I} ( (ft 1 ,'-'-:
- -) Kim A. Eh~m
0099~8.0000I/April ~~, 19951!LH/MH/~n6~
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OMMONWEALTH OF PENNSYLVANIA
OUNTY OF CUMBERLAND
ss:
On this the dl~ay of April. 1995. before me, the undersigned ofticer. personally appeared MICHAEL
A. RHONE, known to me or satisfactorily proven to be the person whose name is subscribed to the foregoing
instrument, and acknowledged that he executed the same for the purposes therein contained,
IN WITNESS WHEREOF, I hereunto set my hand and ofticial seal.
'<)-<<";< ~d ~~.w.:u
otary Public. .
I
COMMONWEALTH OF PENNSYLVANIA
S5:
COUNTY OF CUMBERLAND
On this the aAay of April. 1995, before me. the undersigned ofticer, personally appeared STACEY L.
RHONE, known to me or satisfactorily proven to be the person whose name is subscribed to the foregoing instrument.
and acknowledged that she executed the same for the purposes therein contained,
IN WITNESS WHEREOF, I hereunto set my hand and oflicial seal.
~..-L.. ~1 ~
Notary Public
0099~8,OOOOI/Allril ~4, 1995/JLIlIMtlI43~6~
.
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........~
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
ss:
On this the ~day of April, 1995, before me. the undersigned onker, personally appeared RANDALL
G, EBERTS, known to me or satisfactorily proven to be the person whose name Is $ubscrlbed to the foregoing
instrument, and acknowledged that he executed the same for the purposes therein contained,
v;2..; A
~'t' . ~.I_':)
Notary Public
i
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
ss:
On this the c:(tjt<day of April, 1995, before me. the undersigned omcer, personally appeared KIM A,
EBERT~, known to me or satisfactorily proven to be the person whose name is subscribed to the foregoing instrument,
and acknowledged that she executed the same for the purpuses therein conmlned,
IN WITNESS WHEREOF, I hereunto set my hand and llfliclal seal.
~A~U'A..A~'
Notary Public
N01,"'.' '~EAL
NlnaJunb U.",.,,'~ry Public
Lemayne BUll, i """oll\lId County
M Commlsslu,;;, ,It.. q.., 31,199B
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STACY RHONE,
Plaintiff
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
vs,
95-4780
CIVIL ACTION LAW
MICHAEL RHONE,
Defendant
IN CUSTODY
PRIOR JUDGE: Edgar B, Bayley
CUSTODY CONCILIATION SUMMARY REPORT
IN ACCORDANCE WITH CUMBERLAND COUNTY RULE OF CIVIL
PROCEDURE 1915,3..8, the undersigned Custody Conciliator submits the following report:
1. The pertinent information concerning the Child who is the subject of this litigation is lIS
follows:
NAME
DATE OF BIRTH
CURRENTLY IN CUSTODY OF
Daniel Joseph Rhone
September 23, 1992
Mother
2, A Conciliation Conference WllS held on August 8, 2002, with the following individuals in
aUendance: The Mother, Stacy Rhone, with her counsel, Mark C. Duffie, Esquire, and the Father,
Michael Rhone, with his counsel, Susan K, Candiello, Esquire.
3, The parties agreed to entry of an Order in the form lIS aUnched,
(1~
Dawn S, Sundny, Esquire
Custody Conciliator
-Avguol-
Date
y I ,.}-('X)~
,
.,
r
vs.
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY,
: PENNSYLVANIA
: NO. 95-4780 CIVIL TERM
: CIVIL ACTION - LAW
: ACTION FOR CUSTODY
STACY RHONE,
PLAINTIFFIRESPONDENT
MICHAEL RHONE,
DEFENDANTIPETITIONER
COMMONWEALTH OF PENNSYLVANIA
ss:
COUNTY OF CUMBERLAND
Be it known, that on Ihe ~44\.. day of
~1\)~
, 2002, before me. the
subscriber, a Notary Public. personally appeared SUSAN KAY CANDlELLO. who. being duly
sworn according to law, did depose and state as follows:
I. I am an attorney licensed to pmctice law in the Commonwealth of Pennsylvania.
2. I represent Michael Rhone, DefendantlPetitioner in the above-captioned matter.
3. On July 15.2002, a true and correct copy of the Petition for Modification of
Custody Order. was deposited for delivery with the U,S, Postal Service in Mechanicsburg,
Pennsylvania, being CertifiedlFirsI Class Mail. reslricted delivery, relum receipt requested.
Article No, 7001 2SIOOOO3 4439 9611, and addressed to the Plaintiff/Respondent. Stacy
Dmsher (fonnerly known as Stacy Rhone), aI 1929 Rutland Street, Camp Hill PA 17011,
4, The return receipt card signed by Ihe Plaintiff/Respondent. Stacy L, Dmsher.
showing a date of service of July 17.2002, is attached hereto as Exhibit "A",
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LAW OFFICE OF
SUSAN KAY CANDlELLO, B.S.N., M.S.N., J.D.
502\ ~ TRINIl\.E ROAII, SUITE 100, MEC.11~ICSIlURO, P^ 17050
. ,
~
STACY RHONE,
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY,
: PENNSYLVANIA
: NO. 95-4780 CIVIL TERM
: CIVIL ACfION - LAW
: ACfION FOR CUSTODY
PLAINTIFF
vs.
MICHAEL RHONE,
DEFENDANT
Please enter my appearance on behalf of the Defendant. Michael Rhone.
Respectfully submitted.
LA W ARM OF SUSAN KAY CANOIELLO. P.C.
Dated: July -1-. 2002
Susan Kay Can
PA 1.0. #64
5021 East Trind e
Suite 100
Mechanicsburg PA 17050
(717) 796-1930
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PENNS\i('AI~t(NTY
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STACY RHONE,
PLAINTIFFIRESPONDENT
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY,
: PENNSYLVANIA
VII.
: NO. 95-4780 CIVIL TERM
MICHAEL RHONE,
DEFENDANTIPETITIONER
: CIVIL ACTION - LAW
: ACTION FOR CUSTODY
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 musl take action within twenty (20) days after this complaint and notice are
served. by entering a written appearance personally or by attomey and filing in writing with the
court your defenses or objections to the claims set forth against you, You are wamed that if you
fail to do so the case may proceed without you and ajudgment may be entered against you by the
court without further notice for any money claimed in the complaint or for any other claim or
relief requested by the DefendanIlPetitioner, You may lose money or property or other rights
important to you.
YOU SHOULD TAKE THIS PAPER TO YOUR LA WYER 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 Avcnue
Carlisle PA 17013
(717) 249-3166
1-800-990-9108
" . . '.
STACY RHONE,
PLAINTIFFIRESPONDENT
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY,
: PENNSYLVANIA
VII.
: NO. 95-4780 CIVIL TERM
MICHAEL RHONE,
DEFENDANTIPETlTlONER
: CIVIL ACTION - LAW
: ACTION FOR CUSTODY
PETITION FOR MODIFICATION OF CUSTODY ORDER
AND NOW, comes the Defendant/Petitioner, MICHAEL ALAN RHONE, by and
through his counsel, Susan Kay Candiello, Esquire, of the Law Finn of Susan Kay Candiello,
P.C" and files this Petition for Modification of Custody Order upon a cause ofaction of which
the following is a statement:
I. The Defendant/Petitioner is MICHAEL ALAN RHONE who currently resides at
P.O. Box IDS, 210 West Front Street, Lewisberry, York County, Pennsylvania, 17339,
2, The PlaintifTlRespondent is STACY RHONE, now known as Stacy Drasher, who
currently resides at 1949 Rutland Street, Camp Hill, Cumberland County, Pennsylvania, 1701 I.
3. Defendant/Petitioner seeks Shared Legal Custody and Primary Physical Custody
of the following child:
Name
Present Residence
Date or Birth
DANIEL JOSEPH RHONE
1949 Rutland Street,
Camp Hill, PA
09/23/92
4, The child was born of the parties' marriage.
5, The child is presently in the Primary Physical custody ofPlnintifTlRespondent
who resides at 1949 Rutland Street, Camp Hill. Cumberland County, Pennsylvania, 17011.
" . . ..
10. Defendant/Petitioner has been divorced from PlaintilTlRespondent since January
1998. Defendant/Petitioner has remarried. Defendant/Petitioner married Jennifer Louise Rhone
in June 1998.
II. The relationship of the PlaintilTlRespondent to the child is that of natural mother.
The Plaintif17Respondent currently resides with the following persons:
Name Relatlonshln
DANIEL JOSEPH RHONE Son
JAMES DRASHER Husband
KYLE DRASHER Son
12. The relationship of the Defendant/Petitioner to the child is that of natural father,
The Defendant/Petitioner currently resides with the following persons:
Name RelatlonshlD
JENNIFER LOUISE RHONE Wife
CARE LeANNE RHONE Daughter
L YSNI MARION RHONE Daughter
13. Defendant/Petitioner has participated as a party in a prior custody agreement
concerning the custody of the child in this court. The court, tenn and number. and its
relationship to this action are as follows: the court W3S Cumberland County. the docket number
is 95-4780 Civil Tenn. the result was a custody order dated September II. 1995. a copy of which
is attached hercto and made a part hereof as Exhibit "A",
14. Defendant/Petitioner has no infonnation of a custody proceeding concerning the
child pending in a court of this Commonwealth al this time,
.,
IS. DefendantlPetitioner does not know of a person not a party to the proceedings who
has physical custody of the child or claims to have custody or visitation rights with respect to the
child.
16, The best interests and pennanent welfare of the child will be served by granting
the relief requested because:
A, DefendantlPetitioner has great love and concern for his son and has
been spending an increasing amount of time with his son:
B. As a direct result of the DefendantlPetitioner's great love and concern
for his son, DefendantlPetitioner has become the primary parent involved with his
son's education, sports activities, and family intemctions;
C. The child has developed very close relationships with his half sisters
and his stepmother as they have with the ehild:
D. The child has some reading difficulties, The DefendantlPetitioner
and his wife, a special education teacher, both work closely with the child to
overcome and cope with these reading difficulties;
E. When the child is with the PlaintilT/Respondent, the majority of the
time he is placed in the care of a teenage girl who has identifiable social problems
or the child is given to the maternal grandparents for care and their home also has
individuals who have identifiable social problems;
F. The DefendantlPetitioner has serious concerns for his son's safety
while in the care of the individuals PlaintilT/Respondent places his son with for
substantial periods of time;
, '. .
G. The DefendantIPctitioner's wife is a special education teacher and
has the same days of vacation from school as does the child, so she can be the
caregiver in lieu of the questionable individuals the Plaintiff/Respondent is
presently using;
H, The Defendant/Petitioner and his family regularly attend and
participate in church activities;
I. The DefcndantlPetitioncr has a stable, tmditional family setting for
the child to experience loving family relationships, develop the appropriate and
necessary learning skills and study habits he needs to cope with his reading
difficulties, and be provided the support to establish strong values and good
character;
], The child is seeing a counselor and with that counselor has expressed
he wants to reside with his father full time and stated very mature reasons for his
request;
K. The child wants very much to be with his father and his father wants
his son to be with him,
17. Each parent whose parental rights to the child have not been tcnninated and
the person who has physical custody of the child have been named as parties to this
action,
WHEREFORE. Defendant/Petitioner. MICHAEL ALAN RHONE, requests this
Honomblc Court to grant both DcfcndantIPctitioncr. MICHAEL ALAN RHONE, and
PlaintilT/Respondcnt, STACY RHONE. Shared Legal Custody and DcfendantIPctitioncr.
, " . .
MICHAEL ALAN RHONE, Primary Physical Custody and PlaintilTlRespondent, STACY
RHONE, Partial Physical Custody of the parties' minor child, DANIEL JOSEPH RHONE.
Respectfully submitted.
LA W FIRM OF SUSAN KAY CANDIELLO, P.C.
Dated: July~.2002
Susan Kay Candi
Counsel for Defe
PA 1.0. # 64998
5021 East Trindle Road
Suite 100
Mechanicsburg PA 17050
(717) 796-1930
"
Y.
IN THE COURT OF COMMON
PLEAS CUMBERLAND COUNTV,
PENNSVLVANIA
NO. CfS- 470L' C. r; T.
'] , ..u.._ .., 1f"
CIVIL ACTION-CUSTODV
STACY RHONE,
Plo1nt1ff
MICHAEL RHONE,
Defendant
On th1s -1L.. doy of
ORDER
ry~, 1995.
It 1s hereby
ordered thot the Court of Common Pleos of Cumberland County adopt
the terms ond condlt1ons of the STIPULATION AGREEMENT AS TO
CUSTODY AND VISITATION doted August 16, 1995, with respect to
\
the above copttoned motter.
r'
J.
"
TRUE COPY FROM RECORD
In Tosllmony wll.!ror.f, I twr'~ lint;. !.l:1 m'l hand
aM tho wI of said ~o~,~:,CarjiS:C, ~,
This /. tf,., J day 01 '~'~ . 191((..
'I' . ~. I C Llllol UIJ'Ti
~ ,.
Prothonotary
-.-
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"
"
ST ACY RHONE,
Plaintiff
IN THE COURT OF COMMON PLEAS
CUMBERLAND COUNTY,
PENNSYLVANIA
No,
v.
MICHAEL RHONE,
Defendant
CIVIL ACTION - CUSTODY
PETITION
And now comes Plaintiff Stacy Rhone, through her attorney, The Law
Offices of Darre11 C. Dethlefs, and avers in support of this petition
as follows:
1. Plaintiff is Stacy Rhone, an adult individual currently
residing at 149 Ashford Drive, Enola, PA 17025.
2. Defendant is Michael Rhone, an adult individual currently
residing in 722 Hummel Avenue, Lemoyne, PA.
3. Plaintiff and Defendant were married February 2, 1992in
Duncannon, Pennsylvania.
4. Plaintiff and Defendant are the natural parents of one
minor chl1d; Daniel Joseph Rhone, born September 23, 1992,
hereinefter referred to as the child.
5. Both Plaintiff and Defendant in an effort to ensure thet
the best interests of the chl1d are met, have egreed upon the terms
and conditions of the Stipulation Agreement as to Custody and
Visitation, the original of which is attached hereto as Exhibit "A".
WHEREFORE, Plaintiff requests to have the aforementioned
Agreement as to Custody Incorporated into an order enforceeble by
the Court. - 7~/
DATE St>~ "'1 \qqS BY: ukP ., 11..-
I
Michael J. P os, quire
Attorney for PIa 'iff
Attorney "'58851
Wegner Bul1dlng-Suite 205
355 N. 21 st Street
Camp H111, PA 17011
4. Al1 parties hereto agree that FATHER shal1 have custody
of the child on lllternate weekends from FrldllY lit 5:30 p.m.
untl1 SundllY evening lit 5:30 p.m., commencing the first weekend
which follows the execution of this Agreement.
5. FATHER Shllll be responsible for transportation of chl1d
during his excercise of custody.
6. Al1 parties hereto llgree that MOTHER llnd FATHER mllY
freely agree to any different arrangements for exercise of the
visitlltion rights of" FATHER, from time to time, liS future
contingencies and the welfare of the CHILD mllY require, but no such
substitute or additionlll privl1ege shall be deemed to amend this
agreement unless expressed In writing, dUly signed by the parties.
Elich of the parties Shllllllt all times in good faith endellvor to
mllintllin the CHILD'S respect and affection for the other party.
7. FATHER hereby llgrees to pay MOTHER $140.00 bl-weekly
for the minor CHILD'S daycare and other expenses. Should the total
pllyment of $140.00 bi-weekly be Insufficient to meet the minor
CHILD'S necessary daycare and other expenses, MOTHER w111 so
notify FATHER, and MOTHER and FATHER agree to rellch an llgreeable
support figure.
'. . . "
"
8. FATHER and MOTHER agree to be responsible for the
CHILD'S uninsured medical expenses in the following manner: one-
half by FATHER llnd one-hlllf by MOTHER.
9. MOTHER and FATHER agree to keep one another apprised
of each other's residential address, and their location during
Vllclltion and hol1day periods if they wl1l be away from their normal
residence.
10. This Agreement Shlll1 not be construed in any measure as
II consent to or condonation of a dissolution of marriage, but this
Agreement shall not be a bar to a proceeding for dissolution of
marriage hereunto or hereafter fl1ed.
11. Al1 parties hereto have had the opportunity to
consult an attorney prior to executing this Agreement.
12. Al1 parties hereto shal1 hereafter execute all
instruments necessary to carry out the terms of this Agreement.
13. Al1 parties hereto agree to have this Agreement
incorporated into an Order enforceable by the Court.
'. . . '. .
'.
. .
COMMONWEALTH OF PENNSVLVANIA
COUNTY OF CUMBERLAND
On this the -1.LdllY Of~ 1995, before me, the
undersigned officer, personlllly llppE'llred MICHAEL A. RHONE, known
to me or satisfoctorlly proven to be the person whose nome is
subscribed to the foregoing Instrument, llnd ocknowledged thot he
executed the same for the purposes therein contolned.
IN WITNESS WHEREOF, I hereunto set my hond end orrtcol
seol.
Notarial Seal
Usa N. Lehman. Notary Public
Harrisbulll, Oauphln County
My Commission expires Feb, 16, 199B
Member, PemsyIiaria_ 01 Nolaries
Notory Publ1 c
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
Ol'l this the J.kL doy of ~, 1995, before me, the
undersigned officer, personolly appeared STACY L. RHONE, known to
me or Slll1sfoctorlly proven to be the person whose nome is
subscribed to the foregoing instrument end ocknowledged thot she
executed the some for the purposes therein contolned.
seol.
IN WITNESS WHEREOF, I hereunto set my hond end offlclol
~(~<Jr. ~/~Y]
No ory Public
I NOlanal Seal
. lIa~ N. lehman. Notary Public
HJrriSbulll. Dauphin Counlv
. to. l"".amrl1l'iSIOn e.plres Fob 16. 1998
.... "~,P"""rlvlll1il_oINolaries
. '.
'.
. .
COMMONWEALTH OF PENNSVL V AN I A
COUNTY OF CUMBERLAND
On this the ~doy of ~ 1995, before me, the
undersigned officer, personally appeared RANDALL G. EBERTS, known
to me or sotisfoctorlly proven to be the perSDn whose name is '
subscribed to the foregoing Instrument, end acknowledged thot he
executed the slime for the purposes therein contolned.
IN WITNESS WHEREOF,I hereunto set my hand end orrtcal
seal.
Notarial Seal
Usa N, Lehman. Notary Public
Harrisbulll. Dauphin Counly
My Comnlisslon Expires Feb, 16. 199B
Mllmbotr. Pennsylvania Associa!Ion 01 Nolaries
~n-:~~
Notary Publi c
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
On this the -L1... doy Off) 'JUSY , 1995, before me, the
undersigned officer, personolly appeared KIM A. EBERTS, known to
me or sotlsfactorl1y proven to be the perSDn whose nil me Is
subscribed to the foregoing instrument and acknOWledged that she
executed the some for the purposes therein contained.
IN WITNESS WHEREOF, I hereuntD set my hand end Dfflclol
seal.
'1/1
Notarial Seal
Use N, lehman. Nolary Public
Harn,blllll. Deuphin Counly
My Comnli~8lon Exp"os FOb. Ie. 199B
~........., __01_.
Notary Public
009n8.QOOOIIApriI24, 1995/JLHlMH/4J262
. . "
t(Q)~1f
QUSTODYAGREEMENT
THIS CUSTODY AGREEMENT, made this J. 'If!,. day of -1lf"i J , 1995. by and between
MfCHAEL A. RHONE of 722 Hummel Avenue. lemoyne, Cumberland County. Pennsylvania and STACEY L.
RHONE of 383 North 19th Street, Camp Hili. Cumberland County, Pennsylvania (hereinafter collectively 'Parents")
and RANDALL G. EBERTS ahd KIM A, EBERTS of 383 North 19th Street, Camp Hili, Cumberland County.
Pennsylvania (hereinafter collectively 'Grandparents").
WIT N E SSE T H:
WHEREAS, the Parents are adult married individuals who are the natural parents of a minor child, Daniel
Joseph Rhone, whose date of birth is September 23. 1992; and :
WHEREAS. the Grandparents are the maternal grandparents of the minor child; and
WHEREAS, the minor child has previously resided with both of his parents; and
WHEREAS, certain problems and difticulties have arisen between the Parents resulting in their separation; and I
, WHEREAS, the Parents desire to provide for the custmly and care uf their minor child, and are entering intu I
this Agreement with the Grandparents for said purpuse,
NOW THEREFORE, the parties hereto, each intending tu be legally bound hereby do acknowledge and agree,
as follows:
\, Grandparents shall have full primary physical custudy "fthe minor child, Daniel Joseph Rhone, subject
to the rights of visitation of the Parents as are more fully hereinatier set forth,
2, Parents shall have peri"ds of visitatiun with SOlid minor child "n alternating weekends beginning al
Friday at 5:30 (l.m, until Sunday evening at 5:30 (l.m.. commencing the lirst weekend which follows the eltecutiun
OO~~~8-00001lApril ~~. 1993/JLH/MIlI~3~6~
" .
, ,
of this Agr~~m~nt, which w~~k~nd shall b~long to Mkha~1 A. Rhon~, Th~ following weekend will belong to Slacey
L. Rhone and subsequ~nt weekends will allernale b~lween the P"rents.
3. Par~nts hereby acknowledge and agree to give two (2) d"ys notice to Grandparenls If the visilation wilh
the minor child is to lasl mor~ than a weekend. The alternating week~nds between Ihe Parents will occur every
weekend, unless the Grandparents have made other arrangem~nts for the minor child, and in which case, they shall
so notify the parent whose custody weekend il might be,
4. Parents may have additional rights of visit.uian as mUlually agreed upon by all parties.
5, Parents hereby acknowledge and agree to each pay the sum. of $70.00 per week to the Grandparents
for the minor child's day car~ and other expenses. Should the lOlal paym~nt of $140.00jper week be insufticient to
me~tthe minor child's necessary day care and other expenses, Grandparents will 50 nOlify the Parents. and the parties
agre~ 10 reach an agre~able support figure. In no event is Ihe amount of Ihe payments 10 go below $70.00 per week
each, unless agr~ed upon by all parties.
6. Grandparents hereby acknowledge and agre~ thaI whil~ the minor child is in their custody, the minor
child's paternal grandparents, Eugene Darwin Rhone and Jan~ Eileen Rhone. shall hav~ no unsupervised visitation with
the minor child. Moreover, Ihe child is not to be laken by the paternal grandparenls outsid~ a five (5) mile radius from
Michael A. Rhone's Lemoyne residence.
7. The parti~s hereby acknowledg~ and agree th.lllhe ~n,=ctiv~ dale of Ihis Agre~menl shall be April 17.
1995 and thallhis Agre~m~nt shall r~main in plac~ indetinilely. lIr unlil alllh~ parti~s mutually agree otherwise,
\"Y0l1,l)-o'.o (\ Ok,... ..t
Michael A. Rhone
~-R-horu
SI: 'y L. Rhone
'~/~,',
~' 'f-'~:"':'.?
.--~'" . f ~-
~*. -
RamJall G, Eherts "
-
. ~,/)-
,'.f. -71 7 I} ( f.-k<.!
- ; Kim t\, Ehem
,I
l
v_"
_ ..-..k".....
--...-
0099~8,OOOOI'I~pril ~~. 1995/JLH/MH/4n6~
0',
. ,
. . '. .
OMMONWEAL TH OF PENNSYLVANIA
ss:
OUNTY OF CUMBERLAND
On this the c:.?Aay of April, 1995, before me, Ihe undersigned ofticer, personally appeared MICHAEL
A. RHONE, known to me or satisfactorily proven to be Ihe person whose name is subscribed to the foregoing
instrument, and acknowledged that he executed the same for the purposes therein contained.
IN WITNESS WHEREOF, I hereunto set my hand and orticial seal.
NOTARIAL SEAL
Nina Juno Davis, Nolary Public
LBmoynB Boro. Cumberland County
M Commission Ex IrBs Oct. 31, 199B
em r, Prnnsvl'''''~ Assncla Inn 01 NoWles
~-U'A
~-'~~~;.~
otary Public ,
I
COMMONWEALTH OF PENNSYLVANIA
ss:
COUNTY OF CUMBERLAND
On Ihis the c9r~ay of April, 1995, before me. the undersigned ofticer, personally appeared STACEY L,
RHONE, known to me or satisfactorily proven to be the person whose name is subscribed to the foregoing instrument.
and acknowledged thaI she executed the same for the purpuses therein contained.
IN WITNESS WHEREOF, I hereunto sel my hand and oflkial seal.
y;2...-A.. ~~
Notary Public
.o09918'~OOOIlApriI1~. 1995lJLHIMHI4l161
", . .. .
. ,
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
ss:
On this the ~~day .of April, 1995, befllre me. lhe undersigned ofticer, persanally appeared RANDALL
G. EBERTS, knawn ta me .or satisfaclarily praven III be the person whose name is $ubscribed ta the faregaing
Instrument, and acknawledged that he e~eculed lhe same far the purpases lherein cantained.
IN WITNESS WHEREOF, I hereunla set my hand and aflicial seal.
NofARiAL S
Nina June Davis, Nolary Public
Lemoyne Buro, CumbBrland County
M Comml8slonE~ 118800\.31,1998
..mber P...,...I,'~II Assocla Ion 01 Nolar 8S
~A;A
~. I ~J.H..,-)
NOlary Public
COMMONWEALTH OF PENNSYLVANIA
COUNTY OF CUMBERLAND
ss:
On this the c::(,yt(.day .of April, 1995, betore me, lh~ undersigned anicer, persanally appeared KIM A
EBERTS, knawn ta me .or satisfactorily praven 1.0 be lhe perslln whose name is subscribed ta the faregaing instrument,
and acknllwledged that she e~eculed lhe same far lhe pUl'pllses lherein cllntained.
fN WtTNESS WHEREOF, I hereunta sel my hand and ufticial seal.
~ '" ~u c:r+.A~:' ,
Notary Public
NO">".' ''lEAL
NlnaJune U.... ",'MY Public
LemoynB BUll. ' ....".Illlld Counly
M Commlsslu"" ,.1" .,.. 31,199B
r. P.Mlh.l. ., -....- I No~rl..
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