SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK KANNIKAR RAVINSKY Plaintiff

,

Index No.:_________/11 Date Summons Filed: May 4, 2011 . Plaintiff designates New York County as the place of trial. The basis of venue is the residence of the Plaintiff.

- against -

SUMMONS WITH NOTICE
RICHARD RAVINSKY Defendant. Plaintiff resides at 572 Grand Street, Apartment G1501-02, New York, New York 10002

ACTION FOR A DIVORCE
To the above named Defendant:

YOU ARE HEREBY SUMMONED to serve a Notice of Appearance on the Plaintiff's Attorney within twenty (20) days after the service of this Summons, exclusive of the day of service (or within thirty (30) days after the service is complete if this summons is not personally delivered to you within the State of New York); and in case of your failure to appear, judgment will be taken against you by default for the relief demanded in the notice set forth below.
Dated, New York, New York May 4, 2011 _______________________________________ KANNIKAR RAVINSKY Plaintiff pro se 572 Grand Street, Apartment G1501-02 New York, New York 10002

NOTICE: The nature of this action is to dissolve the marriage between the parties, on the
grounds of DRL §170 subd. (7) (Irretrievable Breakdown of the Marriage). The relief sought is a judgment of absolute divorce in favor of the Plaintiff dissolving the marriage between the parties in this action. The nature of any ancillary or additional relief demanded is the incorporation by reference, but not merger, of the parties' Separation Agreement.

SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK Index No.:_________/11 KANNIKAR RAVINSKY, Plaintiff, VERIFIED COMPLAINT -againstACTION FOR DIVORCE RICHARD RAVINSKY, Defendant.

Plaintiff, appearing on her own behalf, complaining of the Defendant, alleges: FIRST: The Plaintiff and Defendant were married on October 7, 1987 in the City of New York, County of New York, State of New York. The Plaintiff's address is 572 Grand Street, Apartment G1501-02, New York, New York 10002, and her Social Security number is 102-72-0926. The Defendant's address is 572 Grand Street, Apartment G1501-02, New York, New York 10002, and his Social Security number is 12048-1619 . SECOND: The Plaintiff has lived in New York State for a continuous period in excess of two years immediately preceding the commencement of this action. THIRD: (21), namely: Name Emily Ravinsky Social Security Number 107-86-4126 Date of Birth July 28, 1997 Address 572 Grand Street, Apartment G1501-02 New York, New York 10002 There is one (1) child born of the marriage under the age of twenty-one

FOURTH: Plaintiff Group Health Plan:

The parties are covered by the following group health plans: Defendant Group Health Plan: National Association of Letter Carriers Health Benefit Plan N32184333 Health

National Association of Letter Carriers Health Benefit Plan N32184333 Health

Identification Number: Type of Coverage:

Identification Number: Type of Coverage:

Dated: New York. Plaintiff demands judgment against the Defendant as follows: A judgment dissolving the marriage between the parties. A copy of the Separation Agreement is attached to the Findings of Fact filed in this action. minister or by a leader of the Society for Ethical Culture. effecting an equitable distribution of the parties' marital property and the resolution of all parenting rights and responsibilities and economic issues between them. Apartment G1501-02 New York. 2011. 2011 ___________________________________ KANNIKAR RAVINSKY Plaintiff pro se 572 Grand Street. wherein the Plaintiff resides. subscribed and acknowledged in the form required to entitle a deed to be recorded. of the parties' Separation Agreement dated May 4. and the incorporation and survival. and the parties have on this date resolved all matters regarding their finances in a formal written agreement. but not merger. which was fair when made and remains so at the present time. the marriage has been irretrievably broken.FIFTH: The grounds for divorce are the irretrievable breakdown of the marriage based on the following: Plaintiff avers that for a period of not less than six (6) months prior to the date hereof. The Plaintiff has nevertheless taken all steps solely within her power to remove any barrier to the Defendant's remarriage. SEVENTH: The Plaintiff has substantially complied with all the terms and conditions of the parties' written Separation Agreement. New York May 4. EIGHTH: There is no judgment in any court for a divorce in favor of either party and against the other and no other matrimonial action for divorce between the parties is pending in any court of competent jurisdiction. NINTH: The marriage was not performed by a clergyman. along with such other and further relief as this Court may deem necessary and proper. 2011 in the Judgment. SIXTH: On May 4. the parties entered into an Agreement that is being filed with the commencement of this action in accordance with the requirements of the Domestic Relations Law in the Office of the Clerk of the County of New York. WHEREFORE. New York 10002 (646) 361-4690 .

and as to those matters I believe them to be true. Plaintiff Sworn to before me on May 4.: COUNTY OF NEW YORK ) I am the Plaintiff in the within action for a divorce. ____________________________ KANNIKAR RAVINSKY.STATE OF NEW YORK ) : ss. The contents are true to my own knowledge except as to matters therein stated to be alleged upon information and belief. 2011 ______________________________ Notary Public . I have read the foregoing complaint and know the contents thereof.

: COUNTY OF NEW YORK ) KANNIKAR RAVINSKY. 4. I have lived in New York State for a continuous period in excess of two years immediately preceding the commencement of this action. State of New York. and his Social Security number is 12048-1619 . I married the Defendant on October 7. Apartment G1501-02. New York 10002. My address is 572 Grand Street. Name Emily Ravinsky There is one (1) child born of the marriage: Social Security Number 107-86-4126 Date of Birth July 28. 2. being duly sworn. STATE OF NEW YORK ) : ss. I am the Plaintiff in the within action and both the Defendant and I are over the age of eighteen (18) years. Apartment G1501-02. 1997 The present address of the child and all other places where the child has lived within the last five (5) years is as follows: Child Emily Ravinsky Present Address 572 Grand Street. 3. New York 10002 . says: 1. and my Social Security number is 102-72-0926. The marriage was not performed by a clergyman. minister or by a leader of the Society for Ethical Culture.:_________/11 KANNIKAR RAVINSKY. Plaintiff. Apartment G1501-02 New York. New York 10002. New York. County of New York. 1987 in the City of New York. The Defendant's address is 572 Grand Street. New York. Defendant.SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK Index No. I have nevertheless to the best of my knowledge taken all steps solely within my power to remove any barriers to the Defendant's remarriage. -againstAFFIDAVIT OF PLAINTIFF RICHARD RAVINSKY.

Apartment G1501-02 New York. and we have this date resolved all matters regarding our finances and our parenting rights and responsibilities in a formal written agreement. but not merger therein. Apartment G1501-02 New York. I have substantially complied with all of the terms and conditions of the Separation Agreement. and I do not know of any person who is not a party to this proceeding who has physical custody of the child or claims to have custody or visitation rights with respect to the child. of the written Separation Agreement between the Defendant and myself dated May 4.Other Address Within Last 5 year N/A The names and present addresses of the persons with whom the child has lived within the last five (5) years are: Kannikar Ravinsky Richard Ravinsky 572 Grand Street. New York 10002 572 Grand Street. We are covered by the following group health plans: Plaintiff Group Health Plan: National Association of Letter Carriers Health Benefit Plan N32184333 Health Defendant Group Health Plan: National Association of Letter Carriers Health Benefit Plan N32184333 Health Identification Number: Type of Coverage: Identification Number: Type of Coverage: 6. 9. effecting an equitable distribution of our marital property and the resolution of all parenting issues. I do not have information of any custody proceeding concerning the child pending in a court of this or another state. The Defendant is not in the active military service of this state. In addition to the dissolution of the marriage. subscribed and acknowledged in the form required to entitle a deed to be recorded. New York 10002 I have not participated in other litigation concerning the custody of the child in this or another state. the County in which I reside. 7. The grounds for dissolution of the marriage are that for a period in excess of six months prior to the date hereof. the Defendant and I executed a written Separation Agreement that we subscribed and acknowledged in the form required to entitle a deed to be recorded. The Separation Agreement is being filed with the commencement of this action in the office of the Clerk. our marriage has been irretrievably broken. 11. 10. 5. 2011. 8. nation or any . I am seeking the following relief: the incorporation by reference. On May 4. County of New York. which was fair when entered into and remains so at the present time. 2011. a copy of which is attached to the Findings of Fact filed in this action.

2011 ____________________________ KANNIKAR RAVINSKY. 12. 13. WHEREFORE. Plaintiff Sworn to before me on May 4. 14.other nation. My premarital name was Suanphothong. 2011 _____________________________ Notary Public . I respectfully request that judgment be entered for the relief sought and for such other relief as the court deems fitting and proper. No other matrimonial action is pending in any other court. I know this because the Defendant has admitted it to me. I am not receiving Public Assistance. To my knowledge. the Defendant is not receiving Public Assistance. and the marriage has not been terminated by any prior decree of any court of competent jurisdiction. Dated: May 4.

Defendant.: COUNTY OF NEW YORK ) RICHARD RAVINSKY. I have taken all steps solely within my power to remove any barriers to the Plaintiff's remarriage. except for the signed Judgment of Divorce. New York. and I am over the age of eighteen (18). I admit service of the Notice of Automatic Orders pursuant to Domestic Relations Law § 236. I am the Defendant in the within action for divorce. 3. -againstRICHARD RAVINSKY. 8.:_________/11 KANNIKAR RAVINSKY. 6. STATE OF NEW YORK ) : ss. 5. I appear in this action. 2. or any other Country. Dated: May 4. 4. I waive the forty (40) day waiting period to place this matter on the calendar. any State within the United States. Defendant AFFIDAVIT OF DEFENDANT IN ACTION FOR DIVORCE . I hereby consent to this action being placed on the uncontested divorce calendar immediately. deposes and says: 1. 2011 of the Summons with Notice for divorce based upon the following grounds: DRL §170 subd. However. Apartment G1501-02. I am not seeking equitable distribution other than what was already agreed to in the Agreement between myself and the Plaintiff dated May 4. 2011. I am not a member of the armed forces of the United States. (7) (Irretrievable Breakdown). I understand that I may be prevented from further asserting my right to equitable distribution. I do not intend to respond to the Summons or answer the Complaint and I waive the twenty (20) or thirty (30) day period provided by law to answer the Summons. 7. I reside at 572 Grand Street.SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK Index No. being duly sworn. I waive the service of all further papers in this action (including Notice of Settlement of the Judgment as well as any sworn statement pursuant to DRL § 253 that the Plaintiff has taken all steps within her power to remove all barriers to my remarriage following the divorce). Plaintiff. I admit service on May 4. New York 10002. 2011 _________________________ RICHARD RAVINSKY.

2011 _____________________________ Notary Public .Sworn to before me on May 4.

-againstAFFIDAVIT OF REGULARITY BY ATTORNEY PRO SE RICHARD RAVINSKY. STATE OF NEW YORK ) : ss. Dated: May 4. and am acting as an attorney on my own behalf.: COUNTY OF NEW YORK ) KANNIKAR RAVINSKY. Plaintiff. 2011 _____________________________ Notary Public ____________________________ KANNIKAR RAVINSKY Plaintiff pro se . Defendant.:_________/11 KANNIKAR RAVINSKY.SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK Index No. as admitted in the Affidavit of Defendant submitted herewith. says: 1. I am the Plaintiff herein. I respectfully request that this action be placed on the undefended matrimonial calendar for trial. This is a matrimonial action. WHEREFORE. 4. 3. 2. The Defendant has appeared on his own behalf and executed an affidavit agreeing that this matter be placed on the matrimonial calendar immediately. being duly sworn. 2011 Sworn to before me on May 4. Service of the Summons with Notice was duly acknowledged by the Defendant herein within the State of New York.

County of New York. THIRD: The Plaintiff and the Defendant were married on October 7. on ___________________________. on _________________________________. -againstFINDINGS OF FACT AND CONCLUSIONS OF LAW . and having considered the allegations and proofs of the respective parties. New York County. after reading and considering the papers submitted.:_________/11 Calendar No. New York. New York. NOW. State of New York. 60 Centre Street. and due deliberation having been had thereon. The issues of this action having been submitted to me as one of the Justices / Referees of this Court at Part _____ hereof. Plaintiff. Justice / Referee Index No. FOURTH: There is one child born of the marriage under the age of twenty-one (21). 1987 in the City of New York. . RICHARD RAVINSKY. held in and for the County of New York. Defendant. I do hereby make the following findings of essential facts which I deem established by the evidence and reach the following conclusions of law: FINDINGS OF FACT FIRST: Plaintiff and Defendant were both eighteen (18) years of age or over when this action was commenced. Present: Hon.At the Matrimonial Part ____ of New York State Supreme Court at the Courthouse. KANNIKAR RAVINSKY. SECOND: The Plaintiff has lived in New York State for a continuous period in excess of two years immediately preceding the commencement of this action.

Apartment G1501-02 New York. The following is marital property to be disposed of equitably pursuant to DRL § 236B(5): All as set forth in the agreement of the parties dated May 4. New York 10002. New York 10002 FIFTH: The grounds for a divorce that were alleged in the Verified Complaint were proved as follows: for a period in excess of six (6) months prior to the filing of this action. subscribed and acknowledged in the form required to entitle a deed to be recorded. and the parties have resolved all matters regarding their finances and their parenting rights and responsibilities in a formal written agreement. Social Security numbers. as set forth in their Agreement dated May 4. The parties are covered by the following group health plans: . The Defendant's address is 572 Grand Street. NINTH: The Plaintiff's address is 572 Grand Street. Apartment G1501-02. effecting an equitable distribution of the parties' marital property. and a resolution of all parenting issues. addresses and dates of birth are: Name Emily Ravinsky Social Security Number 107-86-4126 Date of Birth July 28. and his Social Security number is 120-48-1619 . New York. New York 10002. and her Social Security number is 102-72-0926. 1997 Address 572 Grand Street. but have nevertheless been exchanged. The following is separate property owned by the Defendant: None. 2011 . SEVENTH: The following is separate property owned by the Plaintiff: None. SIXTH: Sworn statements as to the removal of barriers to remarriage are not required because Defendant waived the need for the statement in his Affidavit. New York.The child's name. EIGHTH: The parties have agreed that [Plaintiff / Defendant/ neither will receive maintenance pursuant to DRL § 236(B)(6)(c) [of $_________ per week / month]. Apartment G1501-02. the Plaintiff has averred that the marriage between the parties has been irretrievably broken. 2011 .

2011 where the Defendant agrees to pay $700 per month child support. namely Kannikar Ravinsky. and relative incomes and earning capacities render the Guidelines inappropriate to their situation. The presumptive amount of child support is $920. 2011. anticipated time with the child. ELEVENTH: (A) The child of the marriage entitled to receive support is: Name Emily Ravinsky Date of Birth July 28. The Plaintiff / Defendant is entitled to visitation away from the custodial residence. as set forth in the Agreement of the parties dated May 4. as set forth in their Agreement dated May 4. expenses allocated directly under their Agreement. The standard of living the child would have enjoyed if the marriage or household . (C) The non-custodial parent's pro rata share of the basic child support obligation is unjust or inappropriate for the following reasons set forth in DRL §240(1-b)(f): C C C The financial resources of the parents and the child.Plaintiff Group Health Plan: National Association of Letter Carriers Health Benefit Plan N32184333 Health Defendant Group Health Plan: National Association of Letter Carriers Health Benefit Plan N32184333 Health Identification Number: Type of Coverage: Identification Number: Type of Coverage: TENTH: The child of the marriage now resides with Plaintiff. The amount agreed to deviates from the presumptive amount for the following reason: the parties’ custodial arrangements. and it is therefore in the best interests of their child to allocate the expenses as set forth in their Agreement. 2011. 1997 (B) The award of child support is based upon the following: The parties entered into an agreement dated May 4.83 per month. The physical and emotional health of the child and his/her special needs and aptitudes.

Any other factor the court decides is relevant. / FIFTEENTH: Plaintiff is entitled to a judgment of divorce on the grounds of DRL § 170 subd.was not dissolved. leave this field blank] was Suanphothong. but only if the custodial parent’s expenses are substantially reduced by the visitation involved. . The needs of the other children of the noncustodial parent for whom the noncustodial parent is providing support. Venue has been set] based pursuant to CPLR. leave the following in this field] . but only (a) if Line 22 is not deducted. THIRTEENTH: The Wife's premarital surname[80. C C C C C The tax consequences to the parents. [If Wife will resume use of her maiden name. / based upon the residence of the Defendant. the amount of extraordinary costs of visitation (such as out-of-state travel) or extended visits (other than the usual two to four week summer visits). §509. The non-monetary contributions the parents will make toward the care and wellbeing of the child. (7) and granting the incidental relief awarded. If a child is not on public assistance. and venue has been set [78. which (she/I) continued to utilize during the marriage. The educational needs of the parents. and (c) if the resources available to support the other children are less than the resources available to support the children involved in this matter. The fact that the gross income of one parent is substantially less than the gross income of the other parent. 2011 . a copy of which is attached./ based upon the residence of the Plaintiff. (b) after considering the financial resources of any other person obligated to support the other children. CONCLUSIONS OF LAW FOURTEENTH: Residency as required by DRL § 230 has been satisfied. If Wife will continue use of her maiden name. C C TWELFTH: The parties entered into an agreement dated May 4.

C. New York . / Referee .Dated: New York.S. 2011 ______________________ J.

New York.At the Matrimonial Part ____ of New York State Supreme Court at the Courthouse. New York. it is: ORDERED AND ADJUDGED that Plaintiff shall have a judgment dissolving the marriage on the evidence found in the Findings of Fact and Conclusions of Law based upon DRL § 170 subd. The Defendant personally acknowledged service within the State of New York. Defendant. 60 Centre Street. New York. New York 10002. JUDGMENT OF DIVORCE -against- KANNIKAR RAVINSKY. New York 10002. RICHARD RAVINSKY. Now on motion of the Plaintiff. and it is further . Apartment G1501-02. The Defendant's address is 572 Grand Street. The Defendant has appeared and waived his right to answer. New York County. (7).:_________/11 Calendar No. and his Social Security number is 120-48-1619 . Justice / Referee Index No. Apartment G1501-02. and her Social Security number is 102-72-0926. Plaintiff. on ______________________________ . appearing pro se. Present: Hon. . This action was submitted to the referee / this Court for consideration this date. Plaintiff presented a Verified Complaint. The Court accepted written proof of non-military service. The Plaintiff's address is 572 Grand Street.

a copy of which is attached. and it is further ORDERED AND ADJUDGED that the Agreement dated May 4. a copy of which is attached. and it is further ORDERED AND ADJUDGED that the minor child shall be enrolled and entitled to receive health insurance benefits as described below. and the parties hereby are directed to comply with every legally enforceable term and provisions of such agreement. and it is further ORDERED AND ADJUDGED that the Plaintiff / Defendant is eligible under the following available group health plan: _____________________________________. i. and it is further ORDERED AND ADJUDGED that this Judgment of Divorce shall serve as a Qualified Medical Support Order where a child support determination is being made. and that the Plaintiff / Defendant is legally responsible to supply health insurance benefits. 2011 . 2011. as set forth in the Agreement of the parties dated May 4.: Name Emily Ravinsky Date of Birth July 28. and incorporated by reference into this judgment shall survive and not merge in this judgment.e. 2011 and on the first day of each month thereafter. commencing on May 4. it is further ORDERED AND ADJUDGED that the Agreement dated May 4. 1997 ORDERED AND ADJUDGED that Defendant shall pay to Plaintiff the sum of $700 per month for child support. and shall provide health insurance benefits to the minor child until that child is emancipated as defined under the Agreement of the parties. and the parties hereby are directed to comply with every legally enforceable term and provisions of such agreement. and incorporated by reference into this judgment shall survive and not merge in this judgment.ORDERED AND ADJUDGED that Plaintiff / Defendant shall have custody of the child of the marriage. 2011. and it is further ORDERED AND ADJUDGED that the Family Court shall be granted concurrent .

and it is further ORDERED AND ADJUDGED that the Wife may [79. New York _______________. / Referee ______________________ CLERK . 2011 ENTER: ______________________ J.jurisdiction with the Supreme Court with respect to the issue of child support and maintenance. Dated: New York. Wife will] continue / resume [use of her maiden name] the use of her pre-marriage name of Suanphothong.C. if she so desires.S.

New York 10002 (646) 361-4690 .1. Apartment G1501-02 New York. as indicated: : : : : : : : : : : Summons Verified Complaint Affirmation of Regularity Plaintiff’s Affidavit of Fact Defendant’s Waiver and Consent Note of Issue Decision (Finding of Fact & Conclusions of Law) Separation Agreement Judgment Certificate of Dissolution DOH-2168 (9/97) _____________________________________ KANNIKAR RAVINSKY Plaintiff pro se 572 Grand Street. information and belief. The following papers are included. formed after an inquiry reasonable under the circumstances.This is to attest that to the best of my knowledge. the presentation of the papers or the contentions therein are not frivolous as defined in subsection (c) of Section 130-1.

Calendar No.O. Esq.:_________/11 KANNIKAR RAVINSKY.O. New York 10002 (347) 840-1589 .UNCONTESTED DIVORCE For Use of Clerk SUPREME COURT OF THE STATE OF NEW YORK COUNTY OF NEW YORK Index No.Waiver UNCONTESTED DIVORCE ABSOLUTE DIVORCE KANNIKAR RAVINSKY pro se 572 Grand Street. New York 10013 (212) 790-0875 Plaintiff pro se May 4.: FILED BY: DATE SUMMONS SERVED: DATE ISSUED JOINED: NATURE OF ACTION: RELIEF: Attorney for Plaintiff: Office and P. NO TRIAL PREPARED BY: Office and P.: Attorneys for Defendant: Office and P. Defendant. New York 10002 (646) 361-4690 Richard Ravinsky pro se 572 Grand Street. -againstRICHARD RAVINSKY.: Robert Kirkman Collins. 2011 NOT JOINED -. Apartment G1501-02 New York. Address: Phone No.NOTE OF ISSUE -.O. Director of Cardozo Law School/OCA Divorce Mediation Clinic 80 Centre Street New York. Address: Phone No. Address: Phone No. Apartment G1501-02 New York. Plaintiff.

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