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SUPREME COURT OF THE STATE OF NEW YORK

COUNTY OF QUEENS
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Index No.  
SUSANA ALEMAN JIMENEZ

  Plaintiff,                     AMENDED
AFFIDAVIT OF DEFENDANT
-against-                                       

CRISTIAN ORTEGA ORELLENA,


  Defendant.
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STATE OF NEW YORK, 


COUNTY OF QUEENS, ss.

CRISTIAN ORTEGA ORELLENA, being duly sworn, says:

1. The Defendant, CRISTIAN ORTEGA ORELLENA, born on AUGUST 29, 

1989 and residing at 7719 101 AVE, FLOOR 1, OZONE PARK, NY 11416 and the plaintiff
ST

were both 18 years of age or over when this action was commenced.  

2.  This court has jurisdiction to hear this action for divorce.  The Plaintiff has

resided in New York State for a continuous period in excess of two years immediately preceding

the commencement of this action.  

3.  The Plaintiff and the Defendant were married on December 16, 2011, in the

County of New York.  The marriage was NOT performed by a clergyman, minister or leader of

the Society for Ethical Culture.  To the best of my knowledge I have taken all steps solely within

my power to remove all barriers to the Defendant's remarriage following the divorce.  

4.  There are Two (2) Minor children of the marriage.

5.  The parties are covered by the following group health plans:  

Plaintiff:      GROUP HEALTH PLAN

Defendant:   GROUP HEALTH PLAN


I fully understand that upon the entrance of a judgment of divorce, I may no longer be

allowed to receive health coverage under my former spouse's health insurance plan.  

6.    The parties have divided up the marital property, and no claim will be made

by either party under equitable distribution.  

7.  The grounds for divorce are as follows:  Irretrievable Breakdown of the

Relationship (DRL Sec. 170(7)):  The relationship between the Plaintiff and Defendant has

broken down irretrievably for a period of at least six months.  

8.  I am not receiving Public Assistance.  To my knowledge the Defendant is not

receiving Public Assistance.  

9.  No other matrimonial action is pending in any other court, and the marriage

has not been terminated by any prior decree of any court of competent jurisdiction.  

10.  The Defendant is not in the active military service of the United States, New

York or any other state or territory.  

11.   I hereby submit with these papers and affirm that I am not in the active 

military service of this state, any other state or this nation.  

12.  The parties have no debts or liabilities.  

WHEREFORE, the Plaintiff demands judgment against the Defendant, dissolving

the marriage between the parties to this action, and granting the following relief:

That the Court grant such other and further relief as the Court may deem just and

proper.  

Dated:  AUGUST 30, 2020


________________________________________
CRISTIAN ORTEGA ORELLENA
Subscribed and sworn to before me
on this      TH Day of AUGUST      , 2020
_____________________________ 
Notary Public

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