MARITAL SETTLEMENT AGREEMENT



Similar documents
JOINT SIMPLIFIED DISSOLUTION OF MARRIAGE

SEPARATION AND PROPERTY SETTLEMENT AGREEMENT. is, hereinafter Wife and., residing at, hereinafter Husband.

SETTLEMENT AGREEMENT WITH MINOR CHILDREN

Marital Settlement Agreement

CIRCUIT COURT. Uncontested Divorce Procedures Manual

STATE OF NORTH CAROLINA

IN THE SUPERIOR COURT OF STATE OF GEORGIA. File No., Defendant. COMPLAINT FOR MODIFICATION OF CHILD SUPPORT

The parties therefore agree as follows:

CIRCUIT COURT. Uncontested Divorce Procedures Manual

DIVORCE - WITH MINOR CHILDREN For Respondent Only

IN DISTRICT COURT, COUNTY, NORTH DAKOTA., } Plaintiff, } } vs. } SETTLEMENT AGREEMENT }, } Civil No. Defendant. }

Order in Suit to Modify The Parent-Child Relationship

SELF-REPRESENTED LITIGANT PETITION FOR DIVORCE UNDER ARTICLE 103 (with no children)

AGREED FINAL DECREE OF DIVORCE

MARITAL SETTLEMENT AGREEMENT

When should this form be used?

Final Decree of Divorce

IN THE SUPERIOR COURT OF DOUGLAS COUNTY STATE OF GEORGIA

RESPONSE TO PETITION FOR DISSOLUTION OF NON- COVENANT MARRIAGE

CAUSE NO. {This Cause Number Will be Provided Upon the Filing of Divorce} AGREED FINAL DECREE OF DIVORCE

SUPERIOR COURT OF ARIZONA IN PIMA COUNTY

INSTRUCTIONS FOR FLORIDA SUPREME COURT APPROVED FAMILY LAW FORM (b)(1), PETITION FOR DISSOLUTION OF MARRIAGE WITH DEPENDENT OR MINOR CHILD(REN)

The Uncontested Divorce Process in Texas

Divorce Information and Worksheet

DIVORCE AND SEPARATION

Filing a Motion for Change of Venue in a Family Law Case

West Virginia Divorce Laws

AFFIDAVIT OF PLAINTIFF (FOR UNCONTESTED DIVORCE) FC-D No.

SEPARATION AND DIVORCE FACT SHEET. Counseling Services Available

BRETT N. BENDER 420 SW WASHINGTON ST / STE 400 PORTLAND, OR / P: F: brett@brettbenderlaw.com

PETITION FOR WRIT OF HABEAS CORPUS AND EMERGENCY RETURN OF CHILD PACKET

DECREE OF LEGAL SEPARATION WITHOUT CHILDREN

CIRCUIT COURT FOR THE CITY OF PORTSMOUTH

CA MODEL MARITAL SETTLEMENT AGREEMENT Page 1 of 5

IN THE SUPERIOR COURT OF ARIZONA, YAVAPAI COUNTY. (E) [ ] This is a Consent Decree

PREVIEW PLEASE DO NOT COPY THIS DOCUMENT THANK YOU

!" #$ % # $ ##!# & '((!) * % ( * % '+ ( ((* % ,-- (- (. ) * % '(. ). * % () ) ( / &0#!!0 &102!

The Uncontested Divorce Process in Texas

PETITION FOR LETTERS OF ADMINISTRATION. on oath states: 1., whose place of residence at the time of death was. at, leaving no will.

COMPLAINT FOR DIVORCE WITH MINOR CHILDREN

5c. Did the Wife have a Child with Another Man while Married to the Husband?

Original Petition for Divorce

SOUTH CAROLINA BAR. Divorce and the Law

AFFORDABLE DIVORCE & FAMILY LAW

INSTRUCTIONS FOR FILING A COMPLAINT FOR DIVORCE WITHOUT MINOR CHILDREN

COURT OF COMMON PLEAS DIVISION OF DOMESTIC RELATIONS HAMILTON COUNTY, OHIO. Mary A. Smith : Case No. Petitioner : File No.

LIVING TRUST CHARITABLE REMAINDER ANNUITY

NAME CHANGES IN TEXAS

1a. DIVISION OF COMMUNITY PROPERTY: [ ] The following community property is awarded to each party as follows:

FA-4151V, 02/10 Marital Settlement Agreement Without Minor Children

INSTRUCTIONS: HOW TO RESPOND TO DISSOLUTION (DIVORCE) PAPERS FOR A NON-COVENANT MARRIAGE WITHOUT MINOR CHILDREN

Sample Document from Epoq Legal Solutions

DIVORCE WITHOUT MINOR CHILDREN For Respondent Only

SELF-HELP MODIFICATION OF CUSTODY PACKET

SIX MONTH SEPARATION DIVORCE PACKAGE NOTICE. You are first advised to consult an attorney. The information provided in this package is

DIVORCE WORKSHEET- with children. First: Middle: Last: First: Middle: Last: When were you married: Month ; Day ; Year

ONE YEAR SEPARATION DIVORCE PACKAGE NOTICE. You are first advised to consult an attorney. The information provided in this package is

CHESAPEAKE CIRCUIT COURT

AGREEMENT PAPERWORK IN A PENDING DIVORCE CASE NO CHILDREN

THE POCKET LAWYER Document Preparation Service p Workbook y

v. No. MARITAL SETTLEMENT AGREEMENT

PETITION FOR DIVORCE THE QUEEN'S BENCH (FAMILY DIVISION) Centre. and PETITION FOR DIVORCE

HOW TO RESPOND WHEN SERVED: Surviving the Divorce Process in New York State

Guardianship and Third Party Custody Law Sample Pleadings for Indiana Attorneys (These Documents Should Not be Used by Unrepresented Parties)

STATE OF SOUTH CAROLINA ) ) IN THE PROBATE COURT COUNTY OF: ) ) IN THE MATTER OF: ) ) CASE NUMBER: (check any that apply)

Terms and Definitions. Used in family law in Nova Scotia

Basic Virginia Divorce Procedures. By: Richard J. Byrd

NOTICE TO GRANDPARENT

Mediated Settlement Agreement

MARITAL SETTLEMENT AGREEMENT

The parties do not own any Real Estate. The parties agree to the following terms relating to all Real Estate owned.

SAMPLE DECREE OF DIVORCE CHILDREN, SUPPORT AND SPOUSAL SUPPORT (this is only a sample, not a fill in the blank form) You must prepare your own Decree

SELF-REPRESENTED UNCONTESTED DIVORCE IN NEW YORK STATE Rural Law Center of New York, Inc.

Divorce in Virginia. What are the Grounds for Divorce?

LIFE INSURANCE TRUST AGREEMENT

Case 0:15-cv WJZ Document 6-2 Entered on FLSD Docket 03/03/2015 Page 1 of 21

DIVORCE PACKET YOUR LEGAL RIGHTS MAY BE BETTER PROTECTED WITH THE HELP OF AN ATTORNEY

Divorce. Consumer Pamphlet Series

DIVORCE ANSWER PACKET

BRIEF GUIDE TO DISSOLUTION OF MARRIAGE, LEGAL SEPERATION& NULLITY IN CALIFORNIA

FINAL JUDGEMENT INSTRUCTIONS DISSOLUTION OF MARRIAGE WITH CHILDREN

DIVORCE BROCHURE Rev 10/2009

IN THE DISTRICT COURT OF BROWN COUNTY, NEBRASKA

Updated: March 10, 2005

INSTRUCTIONS FOR FLORIDA SUPREME COURT APPROVED FAMILY LAW FORM (c), SUPPLEMENTAL PETITION FOR MODIFICATION OF ALIMONY (11/15)

Instructions and Forms

Divorce for Same-Sex Couples Who Live in Non-Recognition States: A Guide For Attorneys

Divorce Law in Iowa. Iowa Legal Aid. When the Family. Questions and Answers. iowalegalaid.org. About Iowa Law on Divorce Issues

The Uncontested Divorce Process in Texas

GENERAL ASSEMBLY OF NORTH CAROLINA SESSION 2005 H 1 HOUSE BILL 1664

Family Law. Terms and Definitions. Second Edition

INSTRUCTIONS FOR FILING YOUR MODIFICATION OF CHILD SUPPORT

WHEREAS, to promote the stability of families going through a divorce or in paternity actions; and

SETTLEMENT AGREEMENT. Whereas this civil forfeiture action (the "California Action") was filed on

Florida Divorce Procedures What to Expect

LAKE COUNTY, ILLINOIS

Introduction to Family Law in Montana

SELF- SERVICE GUIDE FOR DIVORCE CASES SUPERIOR COURT OF ARIZONA

STATE OF NEVADA DEPARTMENT OF BUSINESS AND INDUSTRY DIVISION OF MORTGAGE LENDING * * * STIPULATED SETTLEMENT AGREEMENT

A BRIEF INTRODUCTION INTO DIVORCE LAW: THE BASICS OF OHIO DIVORCE LAW By BETH SILVERMAN, J.D.

Transcription:

MARITAL SETTLEMENT AGREEMENT This agreement is made on the 14th of February 2003, between Sarah Fisher, the Wife, who lives at 7865 Pine Avenue, in the city of City of Dallas, County of Las Collinas state of Texas,and Charles Fisher, the Husband, who lives at 323 Park Avenue, in in the city of Dallas, County of Las Collinas state of Texas. We were married on the 12th of July 1987, in the Dallas, State of Texas The following children were born or adopted into our marriage: Child s name Child s birth date Child s sex Harry Stuart BORN ON 1993/02/23 SEX M Grounds: The marriage has become insupportable because of discord or conflict of personalities that has destroyed the legitimate ends of the marriage relationship and prevents any reasonable expectation of reconciliation We both desire to settle by agreement all of our marital affairs, including the division of all of our property and bills. Also spousal support and maintenance, and all issues relating to our children including custody, visitation and child support THEREFORE, in consideration of our mutual promises, and other good and valuable considerations, we agree as follows: 1. We both desire and agree to permanently live separate and apart from each other, as if we were single, according to the terms of this agreement. We both agree not to annoy, harass, or interfere with the other in any manner. 2. We both agree that the following issues have been resolved as follows: REAL ESTATE: the house at 3423 Palm Avenue will be sold and the proceeds split 50 50 VEHICLES: wife will keep jeep 1999 and finish payments on it husband will keep blazer 2002 and finish payments on it

Page 2 of 6. HOUSEHOLD GOODS: wife will keep all furnitures and home apparels husband will keep his tools and personal items husband will keep stamp collesction/car collection/coin collection DEBTS: wife will take care of her credit cards husband will take care of his credit cards BANK ACCOUNTS: present joint bank account will be split 50 50 wife will keep her personal account at Dallas National Bamk husband will keep his cd at Las Collinas Saving Bank and Trust INCOME TAXES: wife will pay 40% of income tax for 2002 and up to today husband will pay 60% of income tax for 2002 and up to today from today on each will pay his/her income taxand file as single ALIMONY: husband will pay wife $200/week for 40 months CUSTODY: Henry Stuart will stay with wife husband will spend one weekend in 2 with child during school year husband will spend 1 month /2 with child during summer holidays VISITATION: husband may visit at any other time with previous agreement from wife CHILD SUPPORT: husband eill pay $100/week for child Henry Stuart until age 18

Page 3 of 6. MEDICAL COVERAGE & NON COVERED MEDICAL EXPENSES: wife will get medical coverage at her cost husband will get medical coverage at his cost child Henry Stewart will be covered by husband s medical coverage TAX EXEMPTIONS: wife will benefit 40% of tax exemptions until today husband will benefit from 60% of tax exemptions until today 3. We both agree that, in the event of divorce or dissolution of marriage, the Wife may desire to and shall have the right to be known by the name of Carolina Mueller, her maiden or former name.we also agree that, in the event of divorce or dissolution of marriage, the children shall continue to use the names shown on their birth certificates. 4. We both desire that, in the event of our divorce or dissolution of marriage, this marital settlement agreement be approved and merged and incorporated into any subsequent decree or judgement for divorce or dissolution of marriage and that, by the terms of the judgment or decree, we both be ordered to comply with the terms of this agreement, but that this agreement shall survive. We have prepared this agreement cooperatively and each of us has fully and honestly disclosed to the other the extent of our assets, income, and financial situation. We have each completed Financial Statements which are attached and incorporated by reference. We both understand that we have the right to representation by independent council. We each fully understand our rights and we each consider the terms of this agreement to be fair and reasonable. Both of us agree to execute and deliver any documents, to make any endorsements, and do any and all acts that may be necessary or convenient to carry out all of the terms of this agreement. We agree that this document is intended to be the full and entire settlement and agreement between us regarding our marital rights and obligations and that this agreement should be interpreted and governed by the laws of the State of Texas. We also agree that every provision of this agreement is expressly made binding upon the heirs, assigns, executors, administrators,

Page 4 of 6. successors in interest, and representatives of each of us. Signed and dated 14th of February 2003. Sarah Fisher (WIFE) Charles Fisher (HUSBAND) Witness for Wife Elizabeth Parker Witness for Wife sarah Carmicael Witness for Husband Peter White Witness for Husband Charles Morgan

Page 5 of 6. MARITAL SETTLEMENT AGREEMENT Petitioner Sarah Fisher Address : 7865 Pine Avenue City of Dallas, Texas,67654 Phone : 212 323 4323 State of Texas The marriage has become insupportable because of discord or conflict of personalities that has destroyed the legitimate ends of the marriage relationship and prevents any reasonable expectation of reconciliation of Las Collinas On this day, before me, the undersigned authority, in and for and residing in the above The marriage has become insupportable because of discord or conflict of personalities that has destroyed the legitimate ends of the marriage relationship and prevents any reasonable expectation of reconciliation and state, personally appeared the Petitioner, Sarah Fisher, who is personally known to me to be the same person whose name is subscribed to the foregoing document, and, being duly sworn, she verified that the information contained in the foregoing document is true and correct on personal knowledge and acknowledged that said document was signed as a free and voluntary act. Subscribed and sworn to this day of, 20. Name and signature My commission expires:

Page 6 of 6. MARITAL SETTLEMENT AGREEMENT Respondent Charles Fisher Address : 323 Park Avenue Dallas, Texas, 34345 Phone : 323 433 2312 State of Texas The marriage has become insupportable because of discord or conflict of personalities that has destroyed the legitimate ends of the marriage relationship and prevents any reasonable expectation of reconciliation of Las Collinas On this day, before me, the undersigned authority, in and for and residing in the above The marriage has become insupportable because of discord or conflict of personalities that has destroyed the legitimate ends of the marriage relationship and prevents any reasonable expectation of reconciliation and state, personally appeared the Respondent, Charles Fisher, who is personally known to me to be the same person whose name is subscribed to the foregoing document, and, being duly sworn, he verified that the information contained in the foregoing document is true and correct on personal knowledge and acknowledged that said document was signed as a free and voluntary act. Subscribed and sworn to this day of, 20. Name and signature My commission expires:

IN THE DISTRICT COURT OF NORTH COUNTY COUNTY,TEXAS LAS COLLINASJUDICIAL DISTRICT In re: The Marriage of Sarah Fisher 7865 Pine Avenue City of Dallas, Texas, 67654 and Case #: ) Charles Fisher 323 Park Avenue Dallas, Texas, 34345 AND IN THE INTEREST OF THE FOLLOWING Harry Stuart PETITION FOR DIVORCE This action is brought by the Petitioner, Sarah Fisher, age, 35, who resides at 7865 Pine Avenue, City of Dallas, Texas, 67654 whose social security number is 7656 4543 7876, and who is employed as a Nurse at Dallas General Hospital located at 5654 Park Avenue Dallas 76765 The undersigned Petitioner states, under oath, the following: 1. RESIDENCY. Petitioner has been a resident of and domiciled in the state of Texas for the preceding 12 and County of Las Collinas for the preceding 10 years. 2. SERVICE OF PROCESS. The Respondent has agreed to file a Waiver of Service of Process in this cause and, therefore, no service of process is necessary at this time. 3. JURISDICTION. The Court has proper jurisdiction to hear this cause.the Respondent has agreed to file an Appearance in this cause. Neither party has ever been involved in any other domestic relations proceeding involving the other party in this or any other jurisdiction. 4. MARRIAGE. The Petitioner and Respondent were married on the 12th of July 1987, in the Dallas, state of Texas and lived together as husband and wife until on or about the 12th of January 2003, at which time they separated and ceased to live together and they have lived separate and apart without

Page 2 of 5. cohabitation ever since. 5. CHILDREN: The following children were born or adopted to te marriage and their dates of birth are as follows : Harry Stuart born on 1993/02/23 The wife is not now pregnant. 6. GROUNDS: The marriage has become insupportable because of discord or conflict of personalities that has destroyed the legitimate ends of the marriage relationship and prevents any reasonable expectation of reconciliation 7. AGREEMENT. This proceeding is uncontested. The Petitioner and Respondent have both signed a Marital Settlement Agreement, dated the house at 3423 Palm Avenue will be sold and the proceeds split 50 50, which is attached and incorporated by reference. By the terms of this Marital Settlement Agreement they have settled all of the issues relating to their marriage, including the division of all of the property, the disposition of all of their bills and obligations, the need for any alimony, maintenance or spousal support, A Financial Statement has been prepared by each of the parties listing their respective income, expences, assets, and liabilities and the individual Financial Statements are attached and incorporated by reference. The Marital Settlement Agreement and Financial Statements were signed under no duress or force and without collusion. 8. CONSENT. The Respondent has agreed to file a Consent to the incorporation and merger of said Marital Settlement Agreement into a DECREE OF DIVORCE in this case. 9. WAIVER. The Petitioner hereby waives any rights to findings of fact and conclusions of law, a record of testimony, motion for a new trial, notice of entry of final judgement or decree, and the right to appeal, but does not waive any rights to the future modification of any judgement or decree in this cause. The Petitioner respectfully requests and prays: 1. That a Divorce be granted by the court dissolving and terminating forever the marriage between the parties. 2. That all of the terms and conditions of the party s Marital

Page 3 of 5. Settlement Agreement, which is attached, be approved and be incorporated, merged into, and made part of a DECREE OF DIVORCE and that the parties be ordered to comply with all terms and conditions of the Marital Settlement Agreement survive. 3. That the court award the parties any other further relief as may be just and equitable. Dated this 14th of February 2003.

Page 4 of 5. DECREE OF DIVORCE Petitioner: Sarah Fisher Address : 7865 Pine Avenue City of Dallas, Texas, 67654 Phone : 212 323 4323 State of Texas County of Las Collinas On this day, before me, the undersigned authority, in and for and residing in the above County and state, personally appeared the Petitioner, Sarah Fisher, who is personally known to me to be the same person whose name is subscribed to the foregoing document, and, being duly sworn, she verified that the information contained in the foregoing document is true and correct on personal knowledge and acknowledged that said document was signed as a free and voluntary act. Subscribed and sworn to this day of, 20. Name and signature My commission expires:

Page 5 of 5. DECREE OF DIVORCE Respondent Charles Fisher Address : 323 Park Avenue Dallas, Texas, 34345 Phone : 323 433 2312 State of Texas County of Las Collinas On this day, before me, the undersigned authority, in and for and residing in the above County and state, personally appeared the Respondent, Charles Fisher, who is personally known to me to be the same person whose name is subscribed to the foregoing document, and, being duly sworn, he verified that the information contained in the foregoing document is true and correct on personal knowledge and acknowledged that said document was signed as a free and voluntary act. Subscribed and sworn to this day of, 20. Name and signature My commission expires:

IN THE DISTRICT COURT OF NORTH COUNTY COUNTY,TEXAS LAS COLLINASJUDICIAL DISTRICT In re: The Marriage of Sarah Fisher 7865 Pine Avenue City of Dallas, Texas, 67654 and Case #: ) Charles Fisher 323 Park Avenue Dallas, Las Collinas, Texas AND IN THE INTEREST OF THE FOLLOWING Harry Stuart APPEARANCE, CONSENT, AND WAIVER The undersigned Defendant, Charles Fisher states on oath, that: 1. RESIDENCY. I have been a resident of and domiciled in the State of Texas for the preceding 12 and the County of Las Collinas for the preceding 10 2. ADMISSION. I have received a copy of the Complaint which was filed in this cause and I have read and understand it and admit all of the allegations contained in it. 3. APPEARANCE AND WAIVER. I waive all objections to venue and the issuance, service, and return of process in this cause and voluntarily enter my general appearance in this cause and submit personally to the jurisdiction of the court. I have never been involved in any other domestic relations proceeding involving the other party in this or any other jurisdiction. 4. AGREEMENT. I have freely and voluntarily entered into a Marital Settlement Agreement, dated 12th of January 2003, and a Financial Statement which are attached to and incorporated into the original Complaint. The Marital Settlement Agreement and Financial Statements were signed under no duress or force and without collusion.

Page 2 of 3. 5. CONSENT. I consent to said Marital Settlement Agreement and Financial Statements being approved and incorporated, merged into, and made part of a DECREE OF DIVORCE, and that the parties be ordered to comply with all terms and conditions of the Marital Settlement Agreement, but that the Marital Settlement Agreement survive. 6. ADDITIONAL CONSENT. I agree that this proceeding is uncontested. I further consent that this cause be heard on any day convenient to the court without further notice to me and that the court enter any Order granting the relief prayed for in the Complaint. 7. ADDITIONAL WAIVER. I further waive my rights to notice of trial, findings of fact and conclusions of law, a record of testimony, motion for a new trial, notice of entry of final judgement or decree, and right to appeal, but do not waive any rights to the future modifacation of any judgement or decree in this cause.

Page 3 of 3. Defendant (Charles Fisher) Address: 323 Park Avenue Dallas, Texas, 34345 Phone: 323 433 2312 State of Texas County of Las Collinas On this day, before me, the undersigned authority, in and for and residing in the above County and state, personally appeared the Defendant, Charles Fisher, who is personally known to me to be the same person whose name is subscribed to the foregoing document, and, being duly sworn, he verified that the information contained in the foregoing document is true and correct on personal knowledge and acknowledged that said document was signed as a free and voluntary act and that a copy of the Complaint has been received. Subscribed and sworn to this day of, 20. Name and signature My commission expires:

IN THE DISTRICT COURT OF NORTH COUNTY COUNTY,TEXAS LAS COLLINASJUDICIAL DISTRICT In re: The Marriage of Sarah Fisher 7865 Pine Avenue City of Dallas, Texas, 67654 and Case #: ) Charles Fisher 323 Park Avenue Dallas, Texas, 34345 AND IN THE INTEREST OF THE FOLLOWING Harry Stuart DECREE OF DIVORCE On the day of, 20, a final hearing was held in this cause. The Petitioner was present, in person. The Respondent waived issuance, service, and return of process and appeared generally by an Appearance, Consent, and Waiver duly filed and did not otherwise appear. The Court, having examined the verified pleadings and heard the evidence and being fully advised finds: 1. That all necessary residency requirements and prerequisites of law have been legally satisfied; 2. That this Court has personal jurisdiction of the parties and the subject matter; 3. That all the material allegations contained in the Complaint are true; and 4. That the parties have voluntarily waived findings of fact, conclusions of law, a record testimony, motion for a new trial, notice of entry of final Judgement, and right to appeal, but have not waived their rights to future modification of this Judgement.

Page 2 of 2. THE COURT ORDERS, ADJUDGES, AND DECREES: 1. That the marriage of the Petitioner and the Respondent is hereby dissolved and that they are hereby divorced; 2. That all of the terms and provisions of the Marital Settlement Agreement between the parties and dated the 12th of January 2003, which is attached and incorporated by reference, are hereby approved and incorporated, merged into, and made part of this court order, and the parties are ordered to comply with all terms and conditions of said Marital Settlement Agreement, but that it shall survive this order; 3. That the party s property and obligations shall be distributed and apportioned according to the terms and conditions of said Marital Settlement Agreement. 4. That alimony and maintenance shall be as set forth in said Marital Settlement Agreement; 5. That the Wife s name be restored to Carolina Mueller as set forth in the Marital Settlement Agreement. 6.That the custody, visitation, care, and support of the parties childrens shall be as set forth in said Marital Settlement Agreement Approved as to form and content: (Petitioner) Sarah Fisher Address:7865 Pine Avenue City of Dallas, Texas, 67654 Phone: 212 323 4323 Presiding Judge Approved as to form and content: (Respondent) Charles Fisher Address: 323 Park Avenue Dallas, Texas, 34345 Phone: 323 433 2312