V I R G I N I A: IN THE CIRCUIT COURT FOR ____________________________________________ _________________________________________
Plaintiff
_________________________________________
Address
_________________________________________
City, State & Zip Code
v. Case No. __________ _________________________________________
Defendant
_________________________________________
Address
_________________________________________
City, State & Zip Code
COMPLAINT
No Fault (One Year Separation); No Contest
COMES NOW Plaintiff who represents as follows: 1. 2. That your Plaintiff is a resident and domiciliary of the Commonwealth of Virginia That your Plaintiff was lawfully married to the Defendant
Date of Marriage Place of Marriage
and has been so for more than six months next preceding the commencement of this suit. on _______________________ in ________________________________________. 3. That there are no children born to or adopted by the parties. OR That there were ________ children born to or adopted by the parties, whose
Number
full name(s) and date(s) of birth are as follows: _____________________________________________________________________________ _____________________________________________________________________________ Page 1 of 3
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and/or (If applicable) That the custody and support of the children named above have been addressed in an Order dated _______________from the Juvenile and Domestic Relations District Court for ________________________________________County/City, Case No(s).:
__________________________________________________________________________________________________________________ Case Number(s)
4. 5.
The parties last cohabited together in __________________________________
City or County, and State
That the parties hereto separated on ____________________________, at
Date of Separation
which time it was the intent of one or both of the parties that the separation be permanent, and have lived separate and apart without any cohabitation and without interruption for at least one year preceding the institution of this suit. 6. (If applicable) That on _________________________________ the parties
Date of Separation Agreement
entered into a Separation Agreement that decides all property and support issues between the parties and there are no further issues for the Court to determine. OR That the parties do not have any property issues to be addressed by the Court. 7. That neither of the parties hereto are active members of the Armed Forces of the
United States and they both are over the age of eighteen (18) years. 8. That there is no hope of reconciliation between the parties. WHEREFORE, your Plaintiff prays as follows: That Plaintiff be awarded a divorce a vinculo matrimonii from the Defendant on the ground of the parties living separate and apart without any cohabitation or interruption for a period of one year. (If applicable) That the Property Settlement Agreement entered into between the parties and dated the __________________ be affirmed, ratified, and Incorporated (but not merged)
Date of Separation Agreement
into the Final Order of divorce to the extent permitted under Section 20-109.1 of the Code of Virginia, and the parties may be ordered to comply with its terms.
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That Plaintiff be restored and confirmed to Plaintiff’s former name, to-wit: ________________________________________, and that Plaintiff may have such other and further relief as the nature of this case may require. Respectfully submitted, ____________________________________
Plaintiff
Phone/Fax:
__________________________________
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