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202301743
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Last modified
4/12/2023 9:20:23 AM
Creation date
4/12/2023 9:20:11 AM
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DEEDS
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202301743
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202301743 <br />property statement (Exhibit 7) shall be equitably distributed between the parties as <br />follows: <br />a. Personal Property. The Plaintiff shall have the personal property <br />currently in his possession quieted in him as well as the property listed in A-12, A- <br />13, A-18, A-19, A-25, A-31, A-32, and the Blu-Ray DVD and AppleTV listed in <br />A-33 of Exhibit 7. The Defendant shall have the personal property currently in her <br />possession quieted in her as well as the property listed in A-1 through A-11, A-14 <br />through A-17, A-20 through A-24, A-26 through A-30, the Shredder and Rockville <br />Pro Karaoke listed in A-34, A-37, and the items in the storage room listed in A-41 <br />of Exhibit 7. The Court finds that there was not sufficient testimony to establish <br />any other personal property that needs to be addressed by the Court. <br />b. Bank Accounts. The Plaintiff shall receive as his sole and absolute <br />property any checking or savings account currently in his name. The Defendant <br />shall retain as her sole and absolute property any checking or savings account <br />currently in her name. The Court finds that the remaining balance of the parties' <br />joint savings account was equitably divided by the parties before the account was <br />closed by the Plaintiff on July 24, 2020. The Court finds that there was no credible <br />evidence of any cash being maintained in the safe in the parties' marital home. <br />c. Automobiles and Other Vehicles. The Plaintiff shall receive as his <br />sole and absolute property the 2012 GMC Sierra truck, the 2001 Toyota Camry, the <br />2012 Keystone Camper, the 2019 H&H Trailer, the 2008 Flatbed Trailer, the 2015 <br />H&H Trailer, the 2015 Haulmark Trailer, and the 2002 Chevy Dually subject to <br />any encumbrances thereon and shall solely assume and hold the Defendant <br />harmless therefrom. The Court finds that the Plaintiff has sold some of these <br />vehicles during the pendency of this action and he shall receive the proceeds, if any, <br />from the sale of these vehicles as his sole and absolute property. The Defendant <br />shall receive as her sole and absolute property the 2012 Toyota Highlander VIN <br />No. JTEDC3EJXC2008748 subject to an encumbrance thereon through Centris <br />Bank and shall solely assume and hold the Plaintiff harmless therefrom. The <br />Defendant shall receive as her sole and absolute property the 1966 Jeep Classic. <br />d. Farm and Business Equipment, Inventory, and Supplies. The <br />Plaintiff shall receive as his sole and absolute property, the tools and electrician <br />supplies currently in his possession. The Defendant shall receive as her sole and <br />absolute property, the tools and electrician supplies currently in her possession. The <br />Page of �iq <br />6 <br />
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