On June 04, 2021 a
Complaint,Petition
was filed
involving a dispute between
Pimental, Zana,
and
Pimental, George B.,
for Domestic Relations
in the District Court of Dukes County.
Preview
Commonwealth of Massachusetts
The Trial Court
Docket No. DU Zi voyszdoe
DUKES Division Probate and Family Court Department
COMPLAINT FOR DIVORCE PURSUANT TO G. L. c. 208, § 1B
ZANA PIMENTEL , Plaintiff v. GEORGE B. PIMENTEL , Defendant
. Plaintiff, who resides at 5080 N Ocean Drive, Apt. 1A Singer Island Palm Beach
(Steet Address) (City/Town) (County)
FL 33404 ___ is lawfully married to defendant who now resides at 37 Clevelandtown Road
(State) (Zip) (Street Address)
Edgartown Dukes MA 02539
(City or Town) (County) (Stats) Zipy
. The parties were married at Bali, Indonesia on October 5, 1993
‘Daley
and last lived together at Chicago, Illinois on July 16, 2010
{Cate}
. The minor or dependent child(ren) of this marriage is/are:
None
(name of child and date of birth)
(name of child and date of birth)
Game of child and date of birth)
(name of child and date of birth)
(name of child and date of birth)
(name of child and date of birth)
|. On or about
. Plaintiff certifies that no previous action for divorce, annulment or affirmation of marriage, separate support, desertion, living
apart for justifiable cause, or custody of child(ren) has been brought by either party against the other except:
Dissolution of Marriage in the Superior Court of California, County of Los Angeles, case number $D030577 (dismissed
October 23, 2011
(Date)
occurred and continues to exist.
, an irretrievable breakdown of the marriage under G.L. c. 208, §1B
. Wherefore, plaintiff requests that the Court:
grant a divorce on the ground of irretrievable breakdown
grant Oplaintiff Oodefendant physical and legal custody of the above-named child(ren)
prohibit defendant from imposing any restraint on plaintiff's personal liberty
order a suitable amount for support of Oplaintiff and/or Mabove-named child(ren) with suitable provision for health
insurance
order conveyance of the real estate located at
standing in the name(s) of
as recorded with Registry of Deeds, Book ______m_ Page
allow plaintiff to resume former name of Zana Lynn Reinshagen
order an equitable division of the marital estate pursuant to M.G.L, c, 208 § 34.
make any other orders that are meet and just.
0 OOOf
ORR
Date May 27, 2021
(Signature of attomey or plaintiff, if pro se), io
Rachel A. Deering
(Print name)
Kates & Barlow, P.C., 21 Custom House Street
(Street address)
Boston MA 02110
(CityTowny (Stata) Zip)
(617) 412-4200
FILET
B.B.O. # 691386
JUN 04 2021
CJ-D 101B (4/07) TurboLaw (800) 518-8726 c.g.
DUKES PROBATE COURT ()
Document Filed Date
June 04, 2021
Case Filing Date
June 04, 2021
Category
Domestic Relations
For full print and download access, please subscribe at https://www.trellis.law/.