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Affidavit In Support Of Request For Summary Disposition For Decree Of Divorce Form. This is a Nevada form and can be use in District Court Statewide.
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Tags: Affidavit In Support Of Request For Summary Disposition For Decree Of Divorce, Nevada Statewide, District Court
Code No:
_______________________________
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Name:
_______________________________
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Address:
_______________________________
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_______________________________
Telephone Number: ____________________________
In Proper Person
IN THE __________ JUDICIAL DISTRICT COURT OF THE STATE OF NEVADA
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IN AND FOR THE COUNTY OF ________________________, NEVADA
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Plaintiff,
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vs.
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_______________________________,
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Defendant.
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____________________________________)
_______________________________,
CASE NO.:
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DEPT. NO.:
_______________
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AFFIDAVIT IN SUPPORT OF REQUEST FOR SUMMARY DISPOSITION
FOR DECREE OF DIVORCE
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STATE OF NEVADA
COUNTY OF CLARK
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1.
I, (your name)_________________________________, do solemnly swear to testify
herein to the truth, the whole truth and nothing but the truth.
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2.
That I am the (check one)
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3.
That I live at (address) __________________________________________________
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Plaintiff/
Defendant in case number ______________.
(city)__________________, Nevada, (zip code) _____________.
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4.
That I first moved to ________________ County, Nevada on _________________,
(approximate date)
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which is more than six weeks before I filed the (check one)
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Divorce. It is my intention to live in the State of Nevada for the foreseeable future.
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5.
Complaint/
That I have read the (check one that applies to you)
Counterclaim for
Complaint/
Counterclaim for
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Divorce in this case and can testify that the allegations in the document are true and correct to the
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best of my knowledge.
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6.
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The Defendant was personally served with the Complaint and Summons on
____________________ and proof of service has been filed with the Clerk of the Court.
(date of service on Defendant)
OR
The Defendant was served by publication of the Summons in the newspaper and
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(CHECK ALL THAT APPLY)
proof of the publication has been filed with the Court and I also mailed a copy of the Summons and
Complaint to the Defendant certified mail at the Defendant’s last known address
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AND (IF APPROPRIATE)
The Plaintiff was personally served with the (check one)
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Answer and
Counterclaim on ______________ and proof of service has been filed with the Clerk of the Court.
(date of service on Plaintiff)
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AND (IF APPROPRIATE)
The Plaintiff was served by mail with the (check one)
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Answer/
Answer/
Answer and
Counterclaim on _____________ and proof of service has been filed with the Clerk of the Court.
(date of service on Plaintiff)
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7.
(CHECK ONLY ONE BOX)
That my spouse and I were married on ________________ in ______________
(Date of marriage)
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(Place of marriage)
______________________________ are incompatible in marriage. Our likes and dislikes are so
widely divergent that we can no longer live together as husband and wife. A reconciliation is not
possible.
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OR
That my spouse and I were married on __________________ in ____________
(Date of marriage)
(Place of marriage)
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_______________________ and have lived separate and apart for over one year. A reconciliation is
not possible.
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8.
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(CHECK ALL THAT APPLY)
That my spouse and I have no minor children, no adopted children and (check one)
Plaintiff/
Defendant is not currently pregnant.
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That (check one)
is/
Plaintiff/
AND/OR
Defendant is pregnant. Husband (check one)
is not the father of the unborn child. The unborn child is due to be born ________________
(date of expected birth)
AND/OR
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That my spouse and I have (number of child(ren)) _____ children. The provisions
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regarding custody, visitation, child support, and medical insurance outlined in the Decree of Divorce
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are fair, are in the child(ren)’s best interest, and meets the child(ren)’s financial needs.
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9.
(CHECK ONLY ONE BOX)
That there is no community property for the Court to divide.
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OR
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That the community property division in the Decree of Divorce is fair and is an equal
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distribution to the extent practicable.
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(CHECK ONLY ONE BOX)
That there is no community debt for the Court to divide.
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OR
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That the community debt division in the Decree of Divorce is fair and is an equal
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distribution to the extent practicable.
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(CHECK ONLY ONE BOX)
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That neither party should be awarded spousal support.
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That (check one)
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outlined in the Decree of Divorce. That award is fair and equitable.
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12. (IF WIFE IS COMPLETING THIS DOCUMENT, SHE MUST INITIAL ONE OF
THE FOLLOWING LINES AND WRITE “N/A” ON THE LINES THAT DO NOT
APPLY. IF HUSBAND IS COMPLETING THIS DOCUMENT, HE MUST PRINT
N/A” ON ALL OF THE LINES.)
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Plaintiff/
OR
Defendant should be awarded spousal support as
___________ Wife does not wish to return to her former name.
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___________ Wife wishes to return to her former name of _________________________________
___________________________________
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___________ Wife never changed her name and, therefore, does not request restoration of her
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former name.
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FURTHER AFFIANT SAYETH NAUGHT.
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Dated this _____ day of (month)______________________, (year)_____.
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By:
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(Your signature)____________________________
(Your name)
____________________________
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SUBSCRIBED and SWORN to before
me this ______ day of (month)___________, (year)______.
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__________________________
NOTARY PUBLIC
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