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Sample
Complaint for Absolute Divorce in
Maryland
This is a sample complaint for an
absolute divorce in Maryland based upon
a mutual and voluntary agreement to
separate. There are several other
grounds for divorce that you can plead.
I am offering the sample only as a
general outline. Your case may have
difference facts and different prays for
relief.
IN THE
CIRCUIT
COURT OF MARYLAND FOR
xxxxxxxxxxxxxxx COUNTY
CASE NO.:
xxxxxxxxxxxxxxxx
xxxxxxxxxxxxxx
xxxxxxxxxxxxx
*
Plaintiff
v.
*
xxxxxxxxxxxxx
xxxxxxxxxxxxx
xxxxxxxxxxxxx
Defendant
**********************************************
COMPLAINT FOR ABSOLUTE DIVORCE
XXXXXXXXXXXXX
, Plaintiff, by Keith Blair
Bartnik,
his/her attorney, respectfully
represents unto Your Honor:
1. That Plaintiff is an adult and is a
resident of
XXXXXXX
County, State of Maryland; that
Defendant is an adult and is a resident
of
XXXXXXXXX
County, State of Maryland; that both
parties have been residents of the State
of Maryland for more than one (1) year
prior to the filing of this Complaint.
2. That the parties were married in a
xxxxxxxxx ceremony on the day of , , in
, State of Maryland, in accordance with
the laws of that State.
3. That
XXXXXXX
children were born as a result of said
marriage; namely, ,
that said children are in the care and
custody of xxxxxx . That xxxxx is not a
fit person to have custody of said
children.
4. That the parties have acquired and
accumulated property during their
marriage
to each other and is "marital property",
the same not having been acquired by an
inheritance or gift from a third party,
and is not excluded by a valid agreement
nor is it directly traceable to any of
these sources.
5. That the parties have acquired and
accumulated marital debt during the
marriage to each other and is "marital
debt".
6. That there are no other suit and or
cases involving these parties.
7. That the parties are presently living
separate and apart and have voluntarily
lived separate and apart from one
another without cohabitation from
XXXXXXXXX
to the date of the filing of this
Complaint; that said separation is
beyond any reasonable expectation of
reconciliation.
WHEREFORE, Plaintiff request the
following relief:
That Plaintiff be granted an absolute
divorce from the Defendant.
That Plaintiff be awarded temporary
and/or permanent custody of the minor
children of the parties.
That the Defendant be ordered to pay to
the Plaintiff a reasonable sum for
temporary and permanent child support
and child care.
That the Defendant be ordered to pay the
cost of health insurance for Plaintiff
and
the minor child(ren)
of the parties.
That the Court determine the ownership
of all personal property and real
property regardless of how titled.
That the residence of the parties be
declared a family home.
That the Plaintiff be granted a use and
possession order of said family home for
the benefit of the minor child(ren)
both
pendente
lite and for a period of not less than
three years from the date of divorce.
That the Defendant be ordered to pay all
or part of the mortgage payments/rent,
all or any part of the indebtedness
related to the property, the cost of any
maintenance, insurance, assessments and
taxes, and any other similar expenses in
connection with the property.
That the Defendant be restrained from
entering upon the family home property
in violation of the use and possession
order.
That the furniture and furnishings in
said residence be declared family use
personal property both
pendente
lite and for a period of not less than
three years from the date of divorce.
That the family use car be declared
family use personal property both
pendente
lite and for a period of not less than
three years from the date of divorce.
That the Defendant be ordered to pay to
the Plaintiff
Pendente
lite and permanent alimony.
That the Court make a determination of
all marital property of the parties.
That the Court determine the value of
all marital property of the parties.
That the Court make a monetary award to
the Plaintiff after adjusting the
parties'
equities in the marital property.
That such monetary award in favor of
Plaintiff be reduced to a judgment
together with interest in Plaintiff’s
favor.
That the Court order a sale in lieu of
partition of all real and person
property
determined to be jointly owned and not
determined to be family home or family
use personal property and divide the
proceeds.
That the Defendant be enjoined from
disposing of or otherwise encumbering
any of the property marital property or
property acquired during separation.
That the Court order the real and
personal marital property to constitute
lis
pendens
with respect to all real and personal
property.
That the Defendant be ordered to pay to
the Plaintiff suit money and court
costs,
including a reasonable contribution
toward Plaintiff's attorney's fees in
connection with
legal services for the benefit of said
child(ren)
and attorney's fees for the Plaintiff,
and
that such order be reduced to Judgment
in favor of Keith Blair
Bartnik,
P.A..
That the Plaintiff be granted the use of
her maiden name.
That the Court enter an Order as justice
may require both
pendente
and permanent
That the Court grant such other and
further relief as the Plaintiff’s cause
may require.
______________________________
Plaintiff
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