Call us Today at (954) 880-1302

WIFE’S PETITION FOR DISSOLUTION OF MARRIAGE-NO CHILDREN

WIFE’S PETITION FOR DISSOLUTION OF MARRIAGE

(No Children – Distribute Marital Home Equally)


IN THE CIRCUIT COURT OF THE 11TH JUDICIAL CIRCUIT IN AND FOR MIAMI DADE COUNTY, FLORIDA

In Re: The Marriage of                                            Case Number:

 

JAMIE CROWN,

Petitioner/Wife,

and

 

JACK KING,

Respondent/Husband.

_____________________________/

WIFE’S PETITION FOR DISSOLUTION OF MARRIAGE

 GENERAL ALLEGATIONS

  1. Action for Dissolution of Marriage. This is a Petition for Dissolution of Marriage between the Petitioner/Wife, JAMIE CROWN, (hereinafter referred to as the “Husband”), and the Respondent/Husband, JACK KING, (hereinafter referred to as the “Wife”).
  2. Residency and Jurisdiction. Both parties have been residents of Miami-Dade County, Florida for more than six months next before filing this petition.
  3. Marriage of the Parties. The parties were married to each other on XXXXXX XX, 20__ in Miami, Florida.  The parties separated on XXXXX XX, 20__.
  4. Irretrievably Broken. The marriage between the parties is irretrievably broken.
  5. Non-Military Affidavit Neither party is in the military service of the United States or any of its allies.
  6. Minor Children. There were no minor children born of the marriage.
  1. Alimony. Neither party should receive alimony from the other now and

forever.

  1. Equitable Distribution– Marital Home – The parties own a martial home located at: XXXXXXXXXXX legally described as:

XXXXXXXXXXXXXXXXXXXXXXXXXXXXXXXXXXXXXXXXXXXXX

which should be equitably distributed 50/50.

  1. Automobiles. The Wife has Honda CRV which is titled in her sole name.   The Wife requests that she be awarded her automobile as her sole property.
  2. Marital Debts. The parties have no marital debts to divide.
  3. Bank Accounts/Retirement Accounts.  The parties have no bank or retirement accounts that need to be equitably divided.
  4. Settlement Agreement. The parties intend to enter into a Settlement

Agreement and which will be filed contemporaneously with the Court and should be incorporated into a Final Judgment of Dissolution of Marriage.

  1. Attorney’s Fees and Costs. The Wife has retained the undersigned

law firm to represent her in this action.    Each party should be responsible for their own attorneys fees and costs.

  1. Dissolution of Marriage. The Wife states that the parties marriage

Is irretrievably broken and seeks a dissolution of same.

WHEREFORE, the Petitioner/Wife, JAMIE CROWN, prays this Honorable Court will:

  1. Assume jurisdiction of the parties hereto and the subject matter hereof.
  2. Upon final hearing in this cause, dissolve the parties’ marriage a vinculo matrimonii.
  3. Approve the parties Settlement Agreement;
  4. Grant such other and further relief this Honorable Court deems just and proper.
  5. Reserve jurisdiction over the parties for purposes of enforcement hereof.

 

The Petitioner/Wife, JAMIE CROWN, verifies that all of the foregoing information is true and correct to the best of his personal knowledge.

 

________________________________
JAMIE CROWN
Petitioner/Wife

 

STATE OF FLORIDA         )

          )§:

COUNTY OF BROWARD  )

 

BEFORE ME, the undersigned authority, duly authorized in the State and County aforesaid to take acknowledgments, personally appeared, JAMIE CROWN, who produced _____________________ as identification, after first being duly sworn upon oath, deposes and says that she has read the allegations contained herein, that the information contained herein is true and correct, and that she executed this document.

WITNESS my hand and seal in the County and State aforesaid this ___ day of _________________, 20__.

 

_______________________________
Notary

 

CERTIFICATE OF SERVICE

I HEREBY CERTIFY that a true and correct copy of the foregoing was provided to: Jack King, Husband, by personal service.

 

LARRY D. SCHOTT

Attorney for Wife

 

By:_____________________________

LARRY D. SCHOTT

 

Do You Have a Question?

If you have a question about a family law case, please feel free to call us at 954-880-1302. We promise to get back to you promptly.

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.