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  • BE21D0138DR Jordan-Shepard, April vs. Shepard, Mathew John Divorce 1B document preview
  • BE21D0138DR Jordan-Shepard, April vs. Shepard, Mathew John Divorce 1B document preview
  • BE21D0138DR Jordan-Shepard, April vs. Shepard, Mathew John Divorce 1B document preview
  • BE21D0138DR Jordan-Shepard, April vs. Shepard, Mathew John Divorce 1B document preview
						
                                

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ommonwea of Massacl usc © . Tal " Docket No. a ID 0 23 Division Berkshire The Trial Court Probate and Family Court Department COMPLAINT FOR DIVORCE PURSUANT TO G.L. c. 208 § 1B April Jordan-Shepard , Plaintiff Vv. Mathew John Shepard , Defendant OO _ T 1. Plaintiff who resides at 2 Lebanon Avenue Pittsfield Berkshire (Sirest Addressy (Cily/Towny (Countyy MA 01201 was lawfully married to the defendant who now resides at 635 Lakeway Drive Bay Ty eset Adress) Pittsfield Berkshire MA 01201 TeiyrTowny County} Say Tipy 2. The parties were married at Pittsfield, Massachusetts on December 7, 2018 (Date) and last lived together at 2 Lebanon Avenue on April 26, 2021 (ate) 3. The minor or dependent child(ren) of this marriage is/are: Harley Gage Shepard 02/16/2019 (name of chid and date of birthy ‘(name Of child and date of birthy ‘(name of child and date of birthy (name Of child and date of birthy 4. 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: 5. On or about November 10, 2021 an irretrievable breakdown of the marriage under G.L. c. 208 § 1B (Date) occurred and continues to exist. (Pate) 6. Wherefore, plaintiff requests that the Court: grant a divorce on the ground of irretrievable breakdown. KI grant © piaintitf Odefendant custody of the above-named child(ren). (J prohibit defendant from imposing any restraint on plaintiff's personal liberty. RQ order a suitable amount for support of @) plaintiff and/or @) above-named child(ren) with suitable provision for health insurance. (J order conveyance of the real estate located at standing in the name of as recorded with the Registry of Deeds, Book Page £X] allow plaintiff to resume former name of April Jordan oO FILED JUN 09 202 CJD 101B (3/13/17) \e _) Date: June 07, 2024 ZS pe Signature of Attomey or Plainti 10 Se Christine A. Ford, Esq. ‘Print namey 135 State Street ESS) Cpt, Unit, No- ety Springfield MA 01201 Cilyrrowny Bate) Cp) Primary Phone #: 413-304-3528 B.B.O. # (if applicable): 665941 Email: cford@kgalegal.com FILED JUN 09 2021