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200406260 <br />5. Petitioner shall assume and be individually liable for <br />the following debts: <br />(a) Petitioner's individual account with J. C. Penney & Company; <br />(b) Five Points Bank, Account No. 0348755; <br />(c) Central Nebraska Credit Union, Account No. 2462007; <br />(d) Comprehensive Dental Lab; <br />(e) Beverly J. Eastman, $300. <br />6. Respondent shall assume and be individually liable for <br />the following debts: <br />(a) Respondent's personal account with J. C. Penney & Company; <br />(b) Beverly J. Eastman, $300; <br />(c) Central Mortgage Corporation, Account No. 1520028455; <br />(d) ITT Financial Services, Account No. 59570395. <br />7. Except as provided hereinabove, each party shall assume, <br />pay, and be individually liable for any and all debts incurred by <br />each party from and after the date of filing of the Petition herein. <br />8. Petitioner shall pay the costs of this action in the <br />amount of $81. Each party shall pay their respective attorney's <br />fees. <br />9. Neither party shall pay alimony to the other party. <br />10. Both parties agree to sign and execute any and all <br />deeds, titles, bills of sale, or other instruments necessary or <br />convenient for the purpose of putting into effect any of the pro- <br />visions of this Property Settlement Agreement. <br />-3- <br />