Loading...
HomeMy WebLinkAbout1799 ( ~ L , f t~~ ~ , . n~=FICE . BETTY T. CRAPT, .82 ApR 21 ~1 ~ IN THE CIRCUIT COURT FOR Plaintiff, ) JEFPERSON COUNTY, ALABAMA VS ~.LRE~?~i ~ , ) ~ ~ (IN EQUITY) EDWARD CRAFT, ~ O D ) ) Defendant. ) Civil Action No., DR82-S00-930-~TCZ TESTIMONY I, the Commisaioner herein, being deaignated by C. Michael Crenshaw, • Attorney for Plaintiff in the divorce procedings againet the Defendant, have called and caused to come before me the witness named herein on this the ~ day of 1982, at Birmingham, Jefferson Countq, Alabama, and hav ng duly cautioned and sWOrn the witness to epeak the truth, the whole truth and nothing but the truth, the vitness deposes and says as follows: My name is Betty T. Craft and I am the Plaintiff in the above cause of action. I am over the age of nineteen years and am a bona fide resident citizen of Jefferson County, Alabama, and have been auch for more than six months next immediately preceding the filing of this Complaint for divorce. The Defendant ie also over the age of nine- teen years and is a bona fide resident citizen of Jefferson County, Alabama. The parties hereto Were married on, to-wft: June 30, 1979 in Cullman County, Alabama and thereafter lived together as husband and wife until they separated on January 22, 1982 and since that time have not lived together as husband and wife. There was one minor child born of this marriage, namely, Kristy Yvonne Craft, Who is 2 years of age. There presently exists between the Defendant and myself a complete incompatibilitq of temperament which is irreconcilable. The Defendant and I have been having problems for several months. We have begun to argue frequently and find it imposaible to be I~ d ; civil in front of one another. We yell at one another, an on occassione ~ lately my husband has resorted to physical violence and threats of ' violence. E i I am convinced that We cannot reconcile our differences and that ` there is no alternative but divorce. i ~ My husband is presently employed with Dunham GMC and brings home ~ $370.00 bi/weekly and ia capable of paying an attorneys fee in this ~ matter as Well as providing child support for the minor child. ~ ~ . ~ ~ The debts of the marriage are as follows: ~ A. Chrysler Credit Corp. for one 1979 Plymouth Horizon ° payments Z 12 @$170.00. This sutomobile belongs to my husband. ~ B. Marke Fitzgerald $ C. Pizitz - owes about $400.00 @ 22.50. D. Parisians - owes about $112.29. E. Western Auto - owes about $72.29 (tires for his automobile). F. Sears, Roebuck b Company, - owes about $510.04 which are charges ~ made by husband for his auto. ~ G. B.T.N.B. checking account overdrawn -(wife not on checking ~ account.) ~ ~ ~ ~ c ~ ~ ~ ~ ~ 6QGK674 P~Ei799 ~ ~ - ~-~~.~~~.~~~~u?~ <~~~'~?`=,~°~~`~~T:~~