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  • In the Matter of the Marriage of JASON THOMAS HERRIN and Renee Cherie HerrinDivorce - No Children document preview
  • In the Matter of the Marriage of JASON THOMAS HERRIN and Renee Cherie HerrinDivorce - No Children document preview
  • In the Matter of the Marriage of JASON THOMAS HERRIN and Renee Cherie HerrinDivorce - No Children document preview
  • In the Matter of the Marriage of JASON THOMAS HERRIN and Renee Cherie HerrinDivorce - No Children document preview
  • In the Matter of the Marriage of JASON THOMAS HERRIN and Renee Cherie HerrinDivorce - No Children document preview
  • In the Matter of the Marriage of JASON THOMAS HERRIN and Renee Cherie HerrinDivorce - No Children document preview
						
                                

Preview

RECEIVED AND FILED ‘OR RECORD ale O'Clock M arR 179 2024 NO. ad O4 0 (ZZ) Melisa Miller, District Clerk C , Texas IN THE MATTER OF § IN THE DISTRICT count City Deputy THE MARRIAGE OF § JASON THOMAS HERRIN A\\DLyuprcrat pisrRict AND RENEE CHERIE HERRIN § MONTGOMERY COUNTY, TEXAS ORIGINAL PETITION FOR DIVORCE 1 Discovery Level Discovery in this case is intended to be conducted under level 1 of rule 190 of the Texas Rules of Civil Procedure. No children are involved in this divorce case, and the value of the marital estate is more than zero but not more than $250,000. 2. Parties This suit is brought by Jason Thomas Herrin, Petitioner. The last three numbers of Jason Thomas Herrin's driver's license number are 098. The last three numbers of Jason Thomas Herrin's Social Security number are 815. Renee Cherie Herrin is Respondent. 3 Domicile Petitioner has been a domiciliary of Texas for the preceding six-month period and a resident of this county for the preceding ninety-day period. 4. Service No service on Respondent is necessary at this time. Petitioner believes Respondent will execute a Waiver of Service. If Respondent fails to execute the Waiver of Service, process should be served wherever Respondent may be found. 5. Protective Order Statement Page 1 of 3 No protective order under title 4 of the Texas Family Code, protective order under subchapter A of chapter 7B of the Texas Code of Criminal Procedure, or order for emergency protection under Article 17.292 of the Texas Code of Criminal Procedure is in effect in regard to a party to this suit and no application for any such order is pending. 6 Dates of Marriage and Separation The parties were married on or about August 12, 2016 and ceased to live together as spouses on or about August 7, 2023. 7. Grounds for Divorce The marriage has become insupportable because of discord or conflict of personalities between Petitioner and Respondent that destroys the legitimate ends of the marriage relationship and prevents any reasonable expectation of reconciliation. 8 Children of the Marriage There is no child born or adopted of this marriage, and none is expected. Division of Community Property Petitioner believes Petitioner and Respondent will enter into an agreement for the division of their estate. If such an agreement is made, Petitioner requests the Court to approve the agreement and divide their estate in a manner consistent with the agreement. If such an agreement is not made, Petitioner requests the Court to divide their estate in a manner that the Court deems just and right, as provided by law. 10. Prayer Petitioner prays that citation and notice issue as required by law and that the Court grant a divorce and all other relief requested in this petition. Petitioner prays for general relief. Page 2 of 3 Respectfully submitted, Jason Thomas Herrin 129 Harbour Town Cir Montgomery TX 77356 Home telephone number (832) 259-0350 By ‘homas errin se jasonherrin21@yahoo.com Page 3 of 3