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  • JOHN K GUARASCI vs CARRIE J GUARASCIDISSOLUTION document preview
  • JOHN K GUARASCI vs CARRIE J GUARASCIDISSOLUTION document preview
  • JOHN K GUARASCI vs CARRIE J GUARASCIDISSOLUTION document preview
  • JOHN K GUARASCI vs CARRIE J GUARASCIDISSOLUTION document preview
  • JOHN K GUARASCI vs CARRIE J GUARASCIDISSOLUTION document preview
  • JOHN K GUARASCI vs CARRIE J GUARASCIDISSOLUTION document preview
						
                                

Preview

ELECTRONICALLY FILE DB a Ss. Wednesday, August 30, 2023 2:33:56 PM CASE NUMBER: 2023 DM 00377 Docket ID: 389462342 Mike Fol CLERK OF COURTS MONTGOMERY COUNTY OHIO IN THE COMMON PLEAS COURT OF MONTGOMERY COUNTY, OHIO DOMESTIC RELATIONS DIVISION JOHN K. GUARASCI :: Case No.: 9716 Atchison Road Washington Twp., Ohio 45458 : Judge: DOB: 03/21/1971 First Petitioner, v. PETITION FOR DISSOLUTION OF MARRIAGE CARRIE J. GUARASCI 201 Courtin Drive Centerville, Ohio 45459 DOB: 08/30/1969 Second Petitioner. 1 First Petitioner, John K. Guarasci, has been a resident of the State of Ohio for at least six (6) months and a resident of the County of Montgomery for at least ninety (90) days immediately preceding the filing of this Petition for Dissolution of Marriage. 2 Second Petitioner, Carrie J. Guarasci, has been a resident of the State of Ohio for at least six (6) months and a resident of Montgomery County for at least ninety (90) days immediately preceding the filing of this Petition for Dissolution of Marriage. 3 The parties were married in Franklin, Obio on the 3" day of October, 2003, and thete have been two (2) minor children born of issue of said marriage, to wit: Jacob J. Guarasci, DOB: 03/05/2006 and Alexis J. Guarasci, DOB: 08/03/2009. Wife is not now pregnant. 4 The Petitioners have entered into a written Separation Agreement, with the advice of their respective counsel, settling and adjusting their respective property rights, including all assets, debts, and spousal support. Said Separation Agreement is appended hereto and incor- porated herein. 5 Said Petitioners are both at least eighteen (18) years of age and not under any disability, and each of them do hereby waive service of process, service of summons, and service of copy of the foregoing Petition, and each does hereby waive service of any other papers which may be filed in this proceeding. WHEREFORE, Petitioners pray for a Decree, pursuant to Section 3105.65 of the Ohio Revised Code, dissolving the aforesaid marriage and incorporating all the provisions of the aforesaid Separation Agreement. /s/ John K. Guarasci See Mhached JOHN K. GUARASCI CARRIE J. GUARASCI Fi inst Petitioner Second Petitioner /s/ Richard A. Boucher, Esq. Se Mache Richard A. Boucher, Esq. (#0033614) Keith Kearney, Esq. (#0003191) Attorney for First Petitioner Attorney for Second Petitioner BOUCHER & KOLBER REOGERS & GREENBERG, LLP 77 West Elmwood Drive, Suite 304 40 .N. Main Street, Ste. 2160 Dayton, Ohio 45459. Dayton, Ohio 45423 P: (937) 223-0122 P: (937) 223-8171 F: (937) 223-0120 F: (937) 223-1649 richard@boucherandkolber.com 3 ‘The parties were martied.in Franklin, Ohio on the 3 day of October, 2023, and there have beet two (2) minor‘children born.of isshe-of said mariage, to. wit: Jacob J. Guarasci, DOB: 03/05/2006 and Alexis J, Guarasci, DOB: 08/03/2009. Wite.is not now pregnant. 4. The Petitioners have entered into. a written Separation Agreement, with the advice of their respective counsel, settling and adjusting. their respective property rights, including all assets, debis, and spousal support. Said Separation Agreement is appended hereto and: incor: porated herein. 5, Said. Petitioners are. both at least eighteen (18) years of age and not under any disability, and each-of them do hereby waive service of process, service.of summons, and service of copy of the foregoing Petition, and each does hereby waive service of atiy other papers which may: be-filed in this proceeding. WHEREFORE, Petitioners pray for a Decree, pursuant to Section 3105.65 of the Ohio Revised Code, dissolving the aforesaid marriage and i wating all the provisions of the aforesaid Separation Agreement. fee cag Se > JOHN K. GUARASCI I GUARASEI First Petitioner ei Hitioner RichardA. Boucher, Esq, (#0033614) Kearric y, Esq. (#0 Pl) Attorney for First Petitioner Attorney ‘for Second Petitioner BOUCHER & KOLBER. REOGERS & GREENBERG, LLP 77 West Bimwood Drive, Suite 304 40.N. Main Street; Ste, 2160 - Dayton, Ohio 45459 Dayton, Ohio 45423 Ps (937) 223-0122 P; (037) 223-8171 F:.(937) 223-0120 F:. (937) 223-1649 richard@boucherandkolber.com