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<br />200801637 <br /> <br />10. Each of the parties shall have access to information relating to the minor <br />children, including but not limited to school records, governmental records, law <br />enforcement, physicians, and other professionals who may have contact with the minor <br />children. Such information and contact shall be available to each party without notice to <br />or further consent from the other. <br />11. Each parent is authorized to consent to emergency medical care for the <br />minor children at the times when the other parent is not reasonably accessible to give <br />such consent. <br />12. Each party shall have one tax exemption with the Defendant receiving the <br />tax exemption for the minor child, Valerie Juarez until he/she reaches the age of <br />majority, if he is current on his child support obligation on the last day of the calendar <br />year and the Plaintiff receiving the tax exemption for the minor child, Moses Juarez. <br />When there is one remaining minor child, the parties shall alternate the <br />exemption with the Plaintiff having odd numbered years and the Defendant having even <br />numbered years, if the Defendant is current on his child support obligation to the <br />Plaintiff on the last day of the year. <br />13. The Defendant shall maintain health insurance for the Plaintiff for six months <br />following the entry of a Decree of Dissolution in this matter. <br />14. The Plaintiff shall receive as her sole and separate property the personal <br />property and bank accounts currently in her possession including the 2002 Chevrolet <br />VIN , subject to any indebtedness thereon. The Plaintiff shall hold the <br />Defendant harmless from said debt. The Parties acknowledge that the parties' 2000 <br />Nissan Altima was used as a "trade-in" toward the purchase of the Chevrolet and the <br />outstanding indebtedness on the Nissan was refinanced by the Plaintiff and is an <br />indebtedness on the Plaintiff's Chevrolet. <br />15. The Defendant shall receive as his sole and separate property the personal <br />property and bank accounts currently in his possession including the Honda <br />Passport, VIN and the 2005 Ford Expedition, VIN 1 FMPU16505LL38003, <br />subject to any indebtedness thereon. The Defendant shall hold the Plaintiff harmless <br /> <br />4 <br />