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200113028 <br />-2- <br />6. The respondent shall be the sole owner of the auto- <br />mobile now in her possession and described as follows: 1975 <br />Vega automobile, Motor No. IV77B5V102 699. The indebtedness <br />now on said automobile shall be paid by the petitioner. <br />7. The respondent shall have the sole ownership of all <br />household goods, furnishings, furniture, clothing, jewelry <br />and other personal property, including savings accounts and <br />checking accounts now in her sole possession. <br />8. The real estate described in Exhibit "A" attached <br />hereto and incorporated by reference, shall be the sole and <br />separate property of the petitioner and he shall assume the <br />sole responsibility for the payment of the mortgage indebted- <br />ness encumbering said premises. <br />9. The motor vehicles owned by and in the possession of <br />the petitioner shall be his sole and separate property and are <br />described as follows: <br />1976 Cadillac, No. 6L4756Q12696965 <br />1974 Ford Pickup Truck, No. F10APT 21 713 <br />1966 Chevrolet Pickup Truck No. C 15 46S 109 556 <br />10. The household goods, furniture, furnishings, jewelry, <br />clothing, savings accounts and checking accounts, including <br />any business checking accounts in the possession of the <br />petitioner shall be his separate property. <br />11. The construction business owned by the petitioner, <br />together with all assets and all liabilities pertaining thereto <br />shall be the separate property and obligation of the petitioner, <br />including all vehicles, tools, building materials, contracts in <br />process, any finished structures, and any real estate pertaining <br />to such business, whether owned or contracted for purchase by <br />the petitioner, or by the petitioner and the respondent. <br />12. AAk life insurance policies owned by the petitioner <br />shall be his separate property and any life insurance policies <br />owned by the respondent shall be her separate property. <br />