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Affidavit of Plaintiff

Chhetry & Associates, P.C., a full service law firm, has taken pride in providing first-class representation for its clients since 1987. The Firm’s main office is located in midtown Manhattan, and the Firm maintains branch offices in Downtown Manhattan-Chinatown, Texas, and in Nepal. Our Firm is known for its expertise in Immigration and Nationality Law, but also provides excellent legal service in the fields of Personal Injury, Business Law and Contracts, Workers’ Compensation, Bankruptcy, Ener

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0% found this document useful (0 votes)
223 views2 pages

Affidavit of Plaintiff

Chhetry & Associates, P.C., a full service law firm, has taken pride in providing first-class representation for its clients since 1987. The Firm’s main office is located in midtown Manhattan, and the Firm maintains branch offices in Downtown Manhattan-Chinatown, Texas, and in Nepal. Our Firm is known for its expertise in Immigration and Nationality Law, but also provides excellent legal service in the fields of Personal Injury, Business Law and Contracts, Workers’ Compensation, Bankruptcy, Ener

Uploaded by

Neeraj Ojha
Copyright
© © All Rights Reserved
We take content rights seriously. If you suspect this is your content, claim it here.
Available Formats
Download as DOCX, PDF, TXT or read online on Scribd
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SUPREME COURT OF THE STATE OF NEW YORK

COUNTY OF QUEENS
------------------------------------------------------------------
JASON M. BUSCH,
Index No:
Plaintiff,

-against
AFFIDAVIT OF PLAINTIFF
SABILA RANA,

Defendant
------------------------------------------------------------------
STATE OF NEW YORK }
ss:
COUNTY OF QUEENS }

I, JASON M. BUSCH, being duly sworn, deposes and says:

1. I, the Plaintiff in this action, presently reside at123-25 82nd Av., Apt. 5, Kew Gardens,
New York 11415, and my Social Security Number is 111-82-3543. The Defendant,
SABILA RANA, presently resides at 48-36 47th St., Apt. 3G, Woodside, New York
11377 and her Social Security Number is 087-65-2029.

1. I have resided in New York State for a continuous period of five (5) years immediately
preceding the commencement of this action.

2. I married the Defendant on October 25, 2010 in Kew Gardens, New York. The marriage
was not performed by a clergyman, minister or by a leader of the Society for Ethical
Culture.

3. There are no children of this marriage.

4. I am not covered under any health insurance plan and upon information and belief, the
defendant is also not covered under an health insurance plan.

5. I respectfully request the court to enter a judgment for dissolution of marriage and any
and all relief the court deems just and proper, but I waive any right to equitable
distribution of marital property.
GROUNDS FOR DIVORCE

6. The ground for dissolution of this marriage is that the relationship between husband and
wife has broken down irretrievably for a period of at least six months based on the
Domestic Relations Law §170(7).

7. On or about ___________________ and continuing to this day, which is within the


period contemplated by law, the relationship between the plaintiff and defendant has
become irretrievably broken down.

8. I am not receiving any form of public assistance and upon information and belief,
defendant is not receiving any form of public assistance.

9. No other matrimonial action is pending in this court or in any other court, and the
marriage has not been terminated by any decree of any court of competent jurisdiction.

10. A photograph of the defendant has been annexed to the Affidavit of Service for the
Summons and Complaint. It is a fair and accurate representation of the defendant.

WHEREFORE, I, JASON M. BUSCH, respectfully request that judgment be entered for the
relief sought and for any other such relief that the court deems just and proper.

Subscribed and Sworn to


before me on _______________________________
December _______, 2011 JASON M. BUSCH

____________________
NOTARY PUBLIC

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