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Equitable Distribution Affidavit Instructions Form. This is a North Carolina form and can be use in Davidson, Iredell (District 22) Local County.
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EQUITABLE DISTRIBUTION AFFIDAVIT INSTRUCTIONS
Filling out the Equitable Distribution Affidavit is a very important part of your case.
Making a mistake can really cause problems.
The law of Equitable Distribution is printed in the North Carolina General Statutes,
Chapter 50, sections 50-20 and 50-21. There are also cases that have been decided that interpret
the statutes. In addition, this county's judges go by Rules called the Twenty-Second Judicial
District Rules of District Civil Court. A copy of those Rules can be found in your county's Clerk
of Superior Court's office. Many times, getting a legal opinion can be helpful.
On the attached Short Forms, fill in the County that your lawsuit is filed in and then the
File Number that the Clerk of Court has given to your case. Next, fill in the names of the
Plaintiff and the Defendant in the space provided on the Form 22I/22S. Below each name, put
your Social Security number and your spouse's Social Security number in the space beside
"SSN". [These are the only things that the Clerk is authorized to help you with -- you are on
your own for the rest of the form].
If you are only filing the Short Forms, check off the boxes beside both Equitable
Distribution Inventory Affidavit [Form 22I] and Short Form Equitable Distribution
Affidavit [Form 22S]. If you are filling out the Long Form Affidavit, check only the box beside
Equitable Distribution Inventory Affidavit [Form 22I].
In the blank beside Date of Separation, put the last day that you and your spouse lived
together as husband and wife.
Then, fill out the Columns as indicated by the Column letter and title, as follows:
1.
No. "No." stands for "Number". Number the assets down the page. Since both
sides use the same numbers, this makes it easier for the judge to find assets.
2.
Description of Asset or Name of Creditor. List everything you owned as of the
date of the separation., but be reasonable about details. List all the items, vehicles,
bank accounts, debts, insurance cash values, pension plans, and other assets. Write
the description clearly enough so that someone who doesn't know you will know
what you're talking about. For example, if it's a car, what year and model? If it's a
sofa, what room was it in? If it's a debt, who do you owe (who is the "creditor")?
3.
M/S Is the item "Marital" or "Separate" property? Sometimes, this can be a hard
question requiring a legal opinion.
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Generally, the property that you got while you were married and living together is
Marital. So usually if the item or debt was acquired while you were married and before you
separated, you would put an M (for "Marital").
Property that you had prior to marriage is "Separate" and gets an S. Property that you
acquired by gift from someone other than your spouse or by inheritance is generally Separate as
well.
If you have questions, getting legal advice is frequently advisable.
4.
FMV stands for Fair Market Value. What was the item worth on the day you
separated? (Not its value today, not the value on the day you got your divorce, but
the value on the day you separated).
On some assets, such as houses, business interests, and pension plans, it is good to
have an appraisal done if there is a dispute about value.
5.
Debt/Lien How much was owing as of the day (or month) you separated? Where
the debt is secured by a particular asset, list the debt beside the asset. Statements
from your lender (or "creditor") usually show this "payoff" or "balance" amount.
Some debts, such as credit cards, are unsecured and should be listed on a separate
line. For that, list the creditor under the Description column, put a zero in the
FMV column, and the amount you owed under the Debt/Lien column.
6.
Net FMV Simply subtract Debt/Lien from FMV for this. Some people call this
the "equity" that a thing, such as a house, has.
7.
To H/W. Which person, the Husband or the Wife, should the court give the item or
debt to? Put an H or W in this column according to who you want to get the item
or the debt.
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NORTH CAROLINA
____________ COUNTY
GENERAL COURT OF JUSTICE
DISTRICT COURT DIVISION
FILE NO. _________________
Party Filing Affidavit:
? Plaintiff ? Wife ? Defendant ? Husband
____________________________________
_________________________
SSN: ____________________
Plaintiff
?
v.
?
_________________________
SSN: ____________________
Defendant
Equitable Distribution Inventory Affidavit
[Form 22I]
Short Form Equitable Distribution Affidavit
[Form 22S]
Date of Separation: ___________________
The undersigned party, pursuant to 22 Local Rule _____, deposes and says that the
following items constitute all property claimed by the party to be marital property and all
property claimed by the party to be separate property, the estimated date-of-separation fair
market value and applicable debt or lien of each item of marital and separate property, and the
proposed distribution of each:
No.
Description of Asset or
Name of Creditor
M/S
FMV
Debt/Lien
Net FMV
To H/W
1
2
3
4
5
6
7
8
9
10
11
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No.
Description of Asset or
Name of Creditor
M/S
FMV
Debt/Lien
Net FMV
To H/W
12
13
14
15
16
17
18
19
20
21
22
23
24
25
?
TOTALS
(If applicable) The parties have more than 25 assets which are shown on the attached
pages.
The undersigned party contends that an equal division ? would be ? would not be (check one)
equitable. Attached to this Affidavit are the undersigned party's contentions as to why an
unequal division would be equitable, if so contended (attach a page showing why you should get
more than one half of the marital assets if you think that would be equitable).
_______________________________________(Signature)
Name (Typed or Neatly Printed)
Sworn to and subscribed before me this _____ day of _____________, 19____.
______________________________
Notary Public
My Commission Expires:________________
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CERTIFICATE OF SERVICE
I certify that service of the foregoing Affidavit was made upon the opposing party by deposit of a
true copy of same in the United States Mail, postage prepaid, addressed to the opposing party or
to the opposing party's attorney of record, to wit:
_______________________________
(Name)
_______________________________
(Street Address or PO Box)
_______________________________
(City, State, Zip)
This the ___ (day) of __________________(month), 19___.
_______________________________________(Signature)
Typed Name of Party Whose Affidavit is Being Sent to the Opposing Party or Attorney
_______________________________________
Street or PO Box
_______________________________________
City, State, Zip
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Additional Page ____ of _____ (total pages)
No.
Description of Asset or
Name of Creditor
M/S
FMV
Debt/Lien
Net FMV
To H/W
1
2
3
4
5
6
7
8
9
10
11
12
13
14
15
16
17
18
19
20
TOTALS
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NORTH CAROLINA
____________ COUNTY
_________________________
Plaintiff
v.
GENERAL COURT OF JUSTICE
DISTRICT COURT DIVISION
FILE NO. ___________________
Short Form Pretrial Order
[Form 22PTS]
_________________________
Defendant
THIS MATTER COMING ON TO BE HEARD upon pre-trial conference before the
undersigned Presiding Judge upon pleadings seeking a determination of marital property and an
equitable distribution of such property as shall be determined to be marital; and it appearing
that:
1. The parties have reached agreement on certain facts and on certain issues and have
delineated the areas of agreement and disagreement;
2. By their signatures affixed hereto, each party stipulates that he or she agrees with the
facts and issues classified as agreed upon and stipulates that the facts and issues classified as
being in dispute are accurately reflected and that there are no other issues to be determined by
the Court;
3. Each party, by signing this Pre-Trial Order, warrants and avows that he or she has
disclosed the existence of all property, both separate and marital, to which he or she may have
claim at the date of valuation of marital property, regardless of to whom such property may be
titled or in whom actual ownership may be designated. Said disclosure has been full and honest
and is free from taint of fraud;
IT IS, THEREFORE, ORDERED, ADJUDGED AND DECREED and stipulated as
follows:
4. The Court has jurisdiction over the parties and subject matter of this action.
5. Plaintiff and Defendant were married on ______________.
6. The names and birthdates of all children born of the marriage are as follows:
a. _______________________ _______
b. _______________________ _______
7. The date of the parties' separation is _______________.
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8. The date of the parties' divorce is ________________.
9. The parties contend that an equal division ? would be ? would not be (check one)
equitable.
10. The parties agree that the Short Form Pretrial Order is appropriate in this case.
11. Attached hereto is a listing of all of the assets and liabilities listed in the following
order:
a. Parties agree the listed item is marital, listed in the following order:
i Parties agree on value and distribution [Schedule A if separate Schedule].
ii Parties agree on distribution, but disagree on value [Schedule B if separate
Schedule].
iii Parties agree on value, but disagree on distribution [Schedule C if separate
Schedule].
iv Parties disagree on both value and distribution [Schedule D if separate
Schedule].
b. Parties cannot agree whether the listed item is marital or separate, listed in the
following order [Schedule E if separate Schedule].
i Parties agree on value and distribution.
ii Parties agree on distribution, but disagree on value.
iii Parties agree on value, but disagree on distribution.
iv Parties disagree on both value and distribution.
c. Parties agree the listed item is separate [Schedule S if separate Schedule].
12. Attached hereto is a list of WIFE's contentions why equal division is not an equitable
division and additional issues to be submitted to the Court [Schedule F].
13. Attached hereto is a list of HUSBAND's contentions why equal division is not an
equitable division and additional issues to be submitted to the Court [Schedule G].
14. Copies of all appraisals and other expert witness reports ordered by the court or agreed
upon by the parties are admissible into evidence without further foundation or authentication are
attached hereto as additional Exhibits.
15. The Presiding Judge shall rule on the following:
a. Whether each item is marital or separate, if there is no agreement.
b. The value of each item, if there is no agreement.
c. The distribution of each item, if there is no agreement.
d. Which contentions of either party supporting an unequal distribution have been
proved, and which should be given weight?
e. An equitable division, if there is no agreement.
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f. The manner of payment of a distributive award, if any.
g. Any issues raised in the Supplemental Schedules attached hereto.
This the _____ day of _________________, 19____.
______________________________________
Judge Presiding
CONSENTED TO:
_______________________________
______________________________
__
Plaintiff
Defendant
_______________________________
______________________________
__
Plaintiff's Attorney
Defendant's
Attorney
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No.
Description of Asset
or Name of Creditor
Wife
M/S
Hus
M/S
Wife
FMV
DOS
Husban
d FMV
DOS
Wife
Debt
Hus
Debt
Wife
Net
FMV
Hus Net
FMV
Wife
Dist
Hus
Dist
1
Jdg
2
Jdg
3
Jdg
4
Jdg
5
Jdg
6
Jdg
7
Jdg
8
Jdg
9
Jdg
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No.
Description of Asset
or Name of Creditor
Wife
M/S
Hus
M/S
Wife
FMV
DOS
Husban
d FMV
DOS
Wife
Debt
Hus
Debt
Wife
Net
FMV
Hus Net
FMV
Wife
Dist
Hus
Dist
10
Jdg
11
Jdg
12
Jdg
13
Jdg
14
Jdg
15
Jdg
16
Jdg
17
Jdg
18
Jdg
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No.
Description of Asset
or Name of Creditor
Wife
M/S
Hus
M/S
Wife
FMV
DOS
Husban
d FMV
DOS
Wife
Debt
Hus
Debt
Wife
Net
FMV
Hus Net
FMV
Wife
Dist
Hus
Dist
19
Jdg
20
Jdg
21
Jdg
22
Jdg
23
Jdg
24
Jdg
25
Jdg
TOTALS
?
Expansion Sheets attached (check if applicable)
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Additional Page ____ of _____ (total pages)
No.
Description of Asset
or Name of Creditor
Wife
M/S
Hus
M/S
Wife
FMV
DOS
Husban
d FMV
DOS
Wife
Debt
Hus
Debt
Wife
Net
FMV
Hus Net
FMV
Wife
Dist
Hus
Dist
1
Jdg
2
Jdg
3
Jdg
4
Jdg
5
Jdg
6
Jd
g
7
Jdg
T
TOTALS FOR PAGE
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