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MOTION TO VACATE ABATEMENT

MOTION TO VACATE ABATEMENT


IN THE CIRCUIT COURT OF THE 17TH JUDICIAL CIRCUIT IN AND FOR BROWARD COUNTY, FLORIDA

In Re: The Marriage of                                                        Case Number:

JAMIE CROWN,

 

Petitioner/Wife,

and

 

JACK KING,

 

Respondent/Husband.

____________________________/

MOTION TO VACATE ABATEMENT

The Petitioner/Wife, JAMIE CROWN by and through undersigned counsel, files this her Motion to Vacate Abatement and states as follows:

  1. The Wife filed for Dissolution of Marriage on XXXXXX XX, 20__.
  2. The Court entered into an Agreed Order on Motion to Abate Divorce Proceedings (copy attached hereto) on XXXX XX, 20__ for 60-90 days without prejudice to either party.
  3. The Wife requests that the Court vacate the abatement and proceed with the case.

WHEREFORE, the Wife requests the court vacate the abatement and any other relief deemed necessary by the Court.

 

CERTIFICATE OF SERVICE

I HEREBY CERTIFY, that a true and correct copy of the foregoing was provided to XXXXXX, Esquire, XXXXXXX, XXXXXXXXX., XXXXXX,

Florida XXXX by e-service at XXXXXXXXXX on this ____day of XXXX 20__.

 

LAW OFFICES OF LARRY D. SCHOTT

Attorney for Wife

By:_____________________________

LARRY D. SCHOTT

 

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This document is a sample pleading related to a specific set of facts and circumstances and should not be used or relied upon for any family law matter. This document is being provided for illustrative purposes only. We recommend and urge you to consult with an experienced divorce lawyer for professional advice as each case is unique.

To Learn About Larry Schott’s Qualifications as a Divorce Lawyer and Family Law Advocate, See His About Me Page.