HomeMy WebLinkAbout95-05026
. 1
]
--
.' ctJ
. 1
71
~l
-
dJ
f I
~I
I
Ji
. .
j
,
.
j
1
,
..j!
(1,
a~
1.0:
.
l()
0-'
.;
~
SfP 20 "
'1 lZ PH '95
Ulf'C'
h ";H'.~...-
.' ~,,:- . '4~t
'It ~ J"" U . 'ITt
...... .
. -
f.c;Yt.~ (}d. crt Pf~-t.
1-015.95 ~ ~~
9-JS.95 ~ ~ ~ -/.~ fI1
STEVEN W. BLOCH,
Petitioner
: IN THE COURT OF COMMON PLEAS OF
: CUMBERLAND COUNTY, PENNSYLVANIA
v.
: CIVIL ACTION - LAW
LESLIE L BLOCH,
Respondent
: NO. 95 .
: CUSTODY
CIVIL TERM
PETITION FOR CUSTODY
NOW comes the petitioner, Steven W. Bloch, by his attorney, Harold S. Irwin, III, and
presents the following petition for custody, representing as follows:
I. The petitioner is Steven W. Bloch, an adult individual residing at 19 Timber Lane,
MI. Holly Springs, Cumberland County, Pennsylvania 17065.
2. The respondent, Leslie L. Bloch, is an adult individual with an address ofP, O.
Box 73, MI. Holly Springs, Cumberland County. Pennsylvania 17065.
3. The parties were married on November 26, 1988.
4, The parties are the natural parents ofa minor child, namely, Eric Walter Bloch
(age 3, born September II, 1992),
5, The child resided wilh the petitioners until their separation on August 2, 1995,
Since that time, the parties have been exercising joint legal and physical custody of the child on a
mutually agreeable basis with the Father exercising physical custody from Wednesday evening
until Saturday Noon and the Mother exercising physical custody from Saturday at Noon until
Wednesday evening,
6. Respondent has indicated that she intends to terminate the previous verbal
agreement regarding custody referred 10 above and wishes to modifY their agreement so that the
Petitioner has the child only on alternating weekends and shared holidays.
7. Petilioner believes and therefor avers that the best interests and pennanent welfare
of the child requires that the parties have joint legal and physical custody of the child in the same
manner as they have been since separation.
WHEREFORE, petitioner respectfully requests that the court enler an order providing
for the legal and physical custody of the child in accordance with the practice of the parties since
separation until this date.
~j,"
September 20, 1995
36 South Pitt Strut
Carlisle, Pennsylvania 17013
(717) 243-6090
Supreme Court I.D. No. 29920
VERIFICATION
I do hereby verilY that the acts set forth in this petition are true and correct. 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.
September 10,1995
~;/ ~ 1./ ~.~
STEVEN W. BLOCH
U1. :I:
0< 0< Ill:
lol~ lol
~lol Eo<
p., 3: ~
~ . 0< 1-4
:1:>< ~>
:l:Eo< 11-4
O~ ~U
Uo 1-4
r..u Eo<
U
o Q 0<
Eo<Z ~
Ill: 0< 1-4
O~ > I
Olll: I-4Il'l
U lol UO\
III .
lol~ 0
~U Z
Zr..
1-40
~
-
t
. '-
~. ~
~
~ ~
~ 1J)
...
~
N\
~~
_r'
4:.~
~~
~t.
-"..
"-"':61
UJi."i('..<
'::" :;..; -1
ll... _,.
>1.. 'r ~ ' ..I
r""J I".r :._
,.~. .0
if:
N
In
!:::!
e
V;
'::)-
~
c-..I
.....
w
v>
...
. '1 ;::;~,
I :~...
.'
~')
.....,'
;..;'
Qj
I::
o
...
"'
...
:1:"'
ulII
op.,
~
III
-=
III
'tI
I::
o
Do
:I: III
U III
o Ill:
~
III
~ ~
I~~ Ii u
....~ t:1 !:!3
Cl)1 ~ ......
~~~ II ~~
c 'C ~
~
.
. >
3:
Z
lol
>
lol
Eo<
UI
.
~
lol
1-4
~
UI
~
. .
LAW OFFICES
HAROLD S, IRWIN. 11/
. " " tfl
JL:r i u I~J;1Vr
,
;.I~1~ tY
F'lrf}-{)rr:cr:
O~ T' ,,.. ~,' ,., ..
I' ".: ~ ' ,"I1rWr'T!~y
. . ......h"I.'lll
~s rr'c 23 F:l 3: I'
C: I' ,-.....
Uh..:.:.,~ ;'.": :J. ~-'(~LI '~IT"
r'.', " .-,. -..... '.1'
-'L\I\"';,'L.'/. :.!:.\
STEVEN W. BLOCH,
Plaintiff
:IN THE COURT OF COMMON PLEAS OF
:CUMBERLAND COUNTY, PENNSYLVANIA
.
.
v
:NO. 5026 - CIVIL - 1995
.
.
LESLIE L. BLOCH,
Defendant
.
.
:CIVIL AC'lION - LAW
COURT ORDER
AND NOW, this 2.~rt.day of j)cc,...L,c.1 , 1995, upon consideration of
the attached Custody Conciliation Report, it is ordered and
directed as follows:
1. The Father, Steven W. Bloch, and the Mother, Leslie L. Bloch,
shall enjoy shared legal and shared physical custody of
Eric Walter Bloch, born September 11, 1992.
2. Physical custody of the minor child shall be handled as
follows:
A. On alternating weeks, Father shall have physical custody
of the minor child from Wednesday evening after his work
until Friday at 6 P.M., and the second week being from
Wednesday after his work until Sunday at 6 P.M.
B. Mother shall have physical custody of the minor child
at such times as Father does not have physical custody
as set forth above.
3. The parties shall arrange between themselves to share or
alternate custody of the minor child on New Years, Easter,
Memorial Day, July 4th, and Labor Day. Absent an agreement
between the parties, the parties shall split equally the
holiday from 9 A.M. until 3 P.M. and 3 P.M. until 9 P.M.
4. On Thanksgiving the parties shall alternate custody from
Wednesday evening at 4 P.M. until Thursday at 2 P.M. and
from Thursday at 2 P.M. until Friday at 6 P.M. In 1996,
Mother shall have custody during the first section of the
Thanksgiving holiday.
5. For the Christmas holiday, the parties shall alternate
custody from Christmas Eve at 4 P.M. until Christmas Day
at 2 P.M. and Christmas Day at 2 P.M. until December 26
at 6 P.M. For 1995, Mother would exercise the first
portion of the Christmas holiday.
,
6, Eaoh party would have the option of exeroising two oonseoutive
weeks of oustody during the summer months for purposes of
vaoation. Eaoh party must advise the other party by May 15 of
eaoh year as to when they intend to exeroise their summer
vaoation sohedule.
7. Mother shall always have oustody of the minor ohild on
Mother's Day and Father shall always have custody of the
minor ohild on Father's Day. This provision shall supersede
any provisions as set forth above.
8. When the ohild is in the custody of the Father, Father shall
use the regular day care provider for day care servioes in
the event that Father is unavailable to take care of the
minor ohild.
9. While the minor child is in Father's oustody, Father shall
not consume alcohol to such a degree as to render him
intoxicated.
10. This Order is entered pursuant to an agreement reaohed by
the parties at a Custody Conciliation Conferenoe. In the
event either party desires to modify this Order, that party
may petition the Court to have the case again scheduled
before the Custody Conoiliator.
BY THE COURT,
00: Harold S. Irwin, III, Esquire e
Bradley L. Griffie, Esquire - .L'f"....
,.A.J-q/qr-.
~.f' .
#
STEVEN W. BLOCH,
Plaintiff
:IN THE COURT OF COMMON PLEAS OF
:CUMBERLAND COUNTY, PENNSYLVANIA
.
.
v
:NO. 5026 - CIVIL - 1995
.
.
LESLIE L. BLOCH,
Defendant
.
.
:CIVIL ACTION - CUSTODY
CONCILIATION CONFERENCE SUMMARY .REPORT
IN ACCORDANCE WITH CUMBERLAND COUNTY CIVIL RULE OF PROCEDURE
1915.3-8(b), the undersigned Custody Conciliator submits the
following report:
1. The information pertaining to the child who is the subject
of this litigation is as follows:
Eric Walter Bloch, born September 11, 1992.
2. A Conciliation Conference was held on December 7, 1995, with
the following individuals in attendance:
The Mother, Leslie L. Bloch, with her counsel, Bradley L.
Griffie, and the Father, Steven W. Bloch, with his counsel,
Harold S. Irwin, III, Esquire.
3. The parties agreed to the entry of an Order in the form as
attached.
laJ/"t/ qs-
TE