CHANCERY COURT
STATE OF MISSISSIPPI
JOINT COMPLAINT DIVORCE PACKET
NO CHILDREN - NO OR FEW PROPERTY OR ASSETS
PACKET
“A”
(Based on Irreconcilable Differences)
This packet contains the following:
1. Instructions for completing the forms;
2. Joint Complaint for Absolute Divorce; and
3. Separation and Property Settlement Agreement
4. Final Judgment for Absolute Divorce.
5. Financial Statement
You will also need to get from the Court.
6. C vil Cover Sheet
You and your spouse must agree to all terms of the divorce to use this packet.
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I. GENERAL INSTRUCTIONS
WHO MAY USE THESE FORMS?:
You may use this complaint form for divorce only when all of the following facts
are true:
you and your spouse have lived separated in that you have not
cohabitated as husband and wife;
there were no children born to or adopted by you and your spouse, wife
is not pregnant, or if there were, the child(ren) is (are) now over the age
of 21; and
you and your spouse have no property, either real or personal, that you
are asking the court to divide or distribute.
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IN THE CHANCERY COURT OF ________________ COUNTY
STATE OF _______________________
IN THE MATTER OF THE DISSOLUTION )
OF _______________________________
AND _____________________________, BY
JOINT COMPLAINT )
)
)
) CASE NO. ___________________
)
) RELATED CASES:
JOINT COMPLAINT FOR ABSOLUTE DIVORCE
COMES, _____________________________ and _________________________,
Husband and Wife and file this Joint Complaint and Absolute Divorce and would state in support
thereof the following:
1. This Court has jurisdiction of the parties and subject matter pursuant to the laws
of the State of Mississippi.
2. _________________________ is/are a bona fide resident(s) of _____________
County, State of _____________________ for more than six months immediately prior to filing
this Joint Complaint for Absolute Divorce.
3. The Parties were lawfully married on ___________________ in _____________
County, __________________________.
4. There were no children born to or adopted by the Parties. Wife is not now
pregnant.
5. From and after __________________________________ and up to the present,
the Parties have lived separate and apart from each other. This separation has continued without
interruption or cohabitation.
6. The present address of the Parties are as follows:
Husband: _________________________ Wife: __________________________
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Address: _________________________ Address:____________________________
_________________________________ ___________________________________
7. The Parties have no property, either real or personal, that we are asking the court
to divide or distribute. The Parties have agreed to all property matters in the separation and
property settlement agreement mentioned below.
8. There is no reasonable expectation that my spouse and I will reconcile.
9. Party ____________________ (DOES/DOES NOT) request restoration of my
former name, _________________________________. This request is not made for any illegal
or fraudulent reason.
10. The Parties further state the following:
( ) We do not know of any other cases in the State of Mississippi or any state or
territory involving the same claim or subject matter as this case.
OR
( ) I know of the following related eases concerning the same claim or subject
matter as this case
11. The Parties allege that they are entitled to a Divorce on the grounds of ________ .
12. The Parties have executed a Separation and Property Settlement Agreement
disposing of all jointly owned property and settling all jointly owed debts and rights and
liabilities of the parties, a copy of which is attached hereto as Exhibit "A".
WHEREFORE, __________________________ and _______________________
request and pray that:
a) The Court grant the Parties an Absolute Divorce on the ground of irreconcilable
differences;
b) That the Separation and Property Settlement Agreement disposing of all jointly
owned property and settling all jointly owed debts and rights and liabilities of the parties, a copy
of which is attached hereto as Exhibit "A", be incorporated into the final judgment of divorce;
c) Party, ___________________, requests that she be restored her maiden name of
________________________ .
d) That the Court will grant such other relief as deemed appropriate;
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Respectfully submitted,
_________________________________
Signature of Husband
Print Name: _______________________
_________________________________
Signature of Wife
Print Name: _______________________
STATE OF MISSISSIPPI
COUNTY OF _________________
PERSONALLY appeared before me, the undersigned authority in and for the county and state
aforesaid, the within named, __________________________, one of the Co-Plaintiffs, who,
being by me first duly sworn, stated on oath that the matters, facts and averments set forth,
contained and alleged in the above and foregoing Joint Complaint for Divorce are true and
correct as therein stated.
____________________________________
Signature
Type Name: __________________________
SWORN TO AND SUBSCRIBED this the _____ day of _________, 20__.
____________________________________
NOTARY PUBLIC
MY COMMISSION EXPIRES:
______________________
STATE OF MISSISSIPPI
COUNTY OF ______________
PERSONALLY appeared before me, the undersigned authority in and for the county and state
aforesaid, the within named ____________________, on of the Co-Plaintiffs, who, being by me
first duly sworn, stated on oath that the matters, facts and averments set forth, contained and
alleged in the above and foregoing Joint Complaint for Divorce are true and correct and therein
stated.
____________________________________
Signature
Print Name: _________________________
SWORN TO AND SUBSCRIBED this the ______ day of _________, 20____.
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___________________________________
NOTARY PUBLIC
MY COMMISSION EXPIRES:
_______________________
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IN THE CHANCERY COURT OF ___________________ COUNTY
STATE OF MISSISSIPPI
IN THE MATTER OF THE DISSOLUTION )
OF _______________________________
AND _____________________________, BY
JOINT COMPLAINT )
)
)
) CASE NO. ___________________
)
) RELATED CASES:
FINDINGS OF FACT. CONCLUSIONS OF LAW AND
JUDGMENT OF ABSOLUTE DIVORCE
This matter was heard on the ______ day of __________________, 20____, upon the
pleadings filed herein. Upon the evidence adduced, the court makes the following:
FINDINGS OF FACT
1. _____________________________ is/are and has been a bona fide resident(s)
of ______________ County, the State of Mississippi for more than six (6) months next
preceding the filing of the complaint herein.
2. The plaintiff and defendant were lawfully married to each other on
______________________ in _____________________________.
3. There were no children born to or adopted by the Parties, wife is not now
pregnant, or if there were, the child(ren) is (are) now over the age of twenty-one.
4. Since __________________________ , ________, the date of separation, the
parties have lived continuously separate and apart from each other without cohabitation.
5. There are no property rights to be adjudicated between the Parties. The parties
have agreed to all property issues in the Separation and Property Settlement Agreement of the
Parties attached hereto as Exhibit “A”.
6. There is no reasonable prospect of reconciliation of this marriage.
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7. Party ___________________________, requests restoration of his/her former
name ________________________________ be restored unto her. This request is not made for
any illegal or fraudulent reason.
8. The Court finds that it has jurisdiction of the parties and the subject matter of the
Joint Complaint.
CONCLUSIONS OF LAW
Based upon the foregoing Findings of Fact, the court concludes as a matter of law that
the plaintiff is entitled to a Judgment of Absolute Divorce from the defendant on the ground of
irreconcilable differences.
JUDGMENT
IT IS THEREFORE, ORDERED AND ADJUDGED AS FOLLOWS:
a) That __________________________ and
_____________________________, be and hereby are awarded a divorce absolute from each
other on the grounds of irreconcilable differences, and the parties shall from date forward are
declared to be single persons;
b) That the Separation and Property Settlement Agreement entered into by
and between the parties and attached hereto as Exhibit “A’ is incorporated herein by reference.
c) That _______________________ is hereby restored her maiden name of
__________________________.
SO ORDERED, this the ________ day of _________________, 20_____.
_______________________________________
CHANCERY JUDGE
AGREED AND APPROVED:
_______________________________
SIGNATURE OF HUSBAND
3
_______________________________
SIGNATURE OF WIFE
4
SEPARATION AND PROPERTY SETTLEMENT AGREEMENT
WHEREAS, ___________________, hereinafter referred to as "Wife", and
________________________, hereinafter referred to as "Husband", are now married; and
WHEREAS, the parties were separated on or about ___________________ in
___________________ County, Mississippi, and since that date have been living separate and
apart; and
WHEREAS, the parties are separated and now living separate and apart and desire to make a
mutually acceptable settlement of their rights, liabilities, obligations and property rights arising
out of and during the course of their marital relationship. No reconciliation is contemplated.
NOW THEREFORE, FOR AND IN CONSIDERATION OF the mutual benefits and advantages
accruing to each party, the undersigned do hereby solemnly covenant, agree and contract as
follows:
1. CHILD CUSTODY : No children were both to this marriage, wife is not now pregnant
and no children were adopted by the parties, except the following children who are above the
age of 21.________________________________________________________________.
2. PROPERTY SETTLEMENT : Husband and Wife are in possession of all personal
property belonging to each, and neither makes any claim to any personal property in the
possession of the other, except as stated below.
Wife shall be entitled to the exclusive use, possession and title to the following assets:
(a)
(b)
Husband shall be entitled to exclusive use, possession and title to the following assets:
(a)
(b)
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The Parties agree to the following additional provisions relating to property settlement:
______________________________________________________________________
______________________________________________________________________
3. DEBTS : Wife shall be responsible for her individual debts and Husband shall be
responsible for his individual debts. The Parties further agree that the joint debts of the parties
shall be paid as follows:
(a) Debt to _________________ in the approximate amount of
$_________________ shall be paid by ____________ and
_____________ shall convey her/his interest same to
_____________________.
(b) Debt to _____________________________ in the approximate amount of
$_________________ shall be paid by
____________________________.
4. ALIMONY : Neither Party claims entitlement to alimony as they are not entitled
to same and both Parties expressly waive any claim to alimony.
5. LEGAL REPRESENTATION DISCLOSURE : Each party agrees that neither
party has been represented by an attorney in this matter and that both parties have had an
opportunity to consult, with any attorney of his/her choice.
6. FURTHER DOCUMENTS : Each party agrees that he or she will sign and
execute any further or additional documents as may be necessary to put into effect the intended
purposes hereof.
7. ENTIRE AGREEMENT : This Agreement constitutes the entire agreement
between the parties and each party acknowledges that there are no further agreements not
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expressly included herein and that this Agreement may be modified, altered, or amended only in
writing, duly signed and notarized by each in the form of this original.
8. FULLY READ AND UNDERSTAND : Each party represents and acknowledges that he
or she has fully read this Agreement, consulted with each other, carefully considered same, and
have signed and executed same after such consultation, and after consulting with their respective
attorneys, that the signing of this Agreement is free and voluntary without force or collusion by
either party or any third party, and that each party signed same with the full knowledge of said
party's rights, obligations, and responsibilities.
9. MODIFICATION : This Agreement shall estop and preclude either party from making
other or further demands and claims upon the other, not included herein, except that such legal
action may be taken by either party as is necessary to enforce or modify the terms and provisions
hereof, except that the Property Settlement provision shall not be subject to modification.
10. SUBSEQUENT DIVORCE : It is agreed and understood that this Agreement finally
settles all rights of the parties and the property jointly or individually owned by the parties, and
that this Agreement, and the enforceability thereof, is not contingent upon either party or both
parties being granted a divorce on any grounds. However, if either or both parties are granted a
divorce on any grounds, the parties agree that this Agreement shall be made a part thereof and
that such decree or judgment shall not conflict with the terms hereof.
11. CONTROLLING LAW : This Agreement shall be governed, enforced and interpreted
according to the laws of the State of Mississippi.
12. EFFECTIVE DATE: This Agreement shall not be enforceable until duly executed by
both Husband and Wife.
13. HEIRS AND ASSIGNS: This Agreement shall be binding upon the heirs,
administrators, estate and assigns of the parties.
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IN WITNESS WHEREOF, Husband has executed this Agreement on the ____ day of
______________, 20___, and Wife has executed this Agreement on the ____ day of
_____________, 20___.
_______________________________________
Signature
Print Name:_____________________________
______________________________________
Signature
Print Name: ___________________________
STATE OF MISSISSIPPI
COUNTY OF ___________________
PERSONALLY appeared before me, the undersigned authority in and for the county and state
aforesaid, the with named _______________________________, who, being by me first duly
sworn, states on her oath that the matters and facts set forth in the above and foregoing
Separation and Property Settlement Agreement are true and correct as therein stated and that
___________________________ signed and delivered same on the day and year therein
mentioned..
________________________________________
Signature
GIVEN UNDER MY HAND AND OFFICIAL SEAL, this the ______ day of
___________________, 20___.
________________________________________
NOTARY PUBLIC
MY COMMISSION EXPIRES:
______________________
STATE OF MISSISSIPPI
COUNTY OF ___________________
PERSONALLY appeared before me, the undersigned authority in and for the county and state
aforesaid, the within named ___________________, who, being by me first duly sworn, states
on his oath that the matters and facts set forth in the above and foregoing Separation and
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Property Settlement Agreement are true and correct as therein stated and that
___________________________ signed and delivered same on the day and year therein
mentioned..
__________________________________
Signature
GIVEN UNDER MY HAND AND OFFICIAL SEAL, this the ____ day of ________________,
20___.
__________________________________
NOTARY PUBLIC
MY COMMISSION EXPIRES:
__________________________
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IN THE CHANCERY COURT OF __________ COUNTY
THE STATE OF MISSISSIPPI
IN RE THE DISSOLUTION OF THE
MARRIAGE OF ___________________
AND ___________________ CAUSE NUMBER: ________________
FINANCIAL STATEMENT
*********************************************************************
I. GENERAL INFORMATION
NAME:____________________________________________________________
ADDRESS:_________________________________________________________
CITY, STATE AND ZIP CODE: _________________________________________
DATE OF BIRTH:____________________________________________________
SOCIAL SECURITY NUMBER:__________________________________________
OCCUPATION:______________________________________________________
EMPLOYER:_______________________________________________________
EMPLOYER'S ADDRESS:____________________________________________
__________________________________________________________________
NAME DATE OF BIRTH
MINOR CHILDREN: ________________ _______________
________________ _______________
________________ _______________
II. INCOME STATEMENT
GROSS MONTHLY INCOME AMOUNT
1. Salary and Wages, including commissions, 1.__________
bonuses, allowance and overtime
NOTE: To arrive at a monthly income figure
if paid weekly, multiply weekly
income by 4.3, if paid bi - weekly,
multiply income by 2.16
2. Pensions and retirement 2._________
3. Social Security 3._________
4. Disability and unemployment insurance 4._________
5. Public assistance (welfare, AFDC payments, 5._________
etc.)
6. Dividends and interest 6._________
7. Rental income 7._________
8. Other income ____________________________ 8._________
9. Other income _____________________________ 9._________
10. TOTAL MONTHLY INCOME 10._________
ITEMIZED MONTHLY DEDUCTIONS:
1. State Income Taxes 1.________
2. Federal Income Taxes 2.________
3. Social Security 3.________
4. Mandatory Insurance 4.________
5. Mandatory Retirement 5.________
6. Union or other dues 6._________
7. Other: (Specify) 7._________
8. Other: __________________________________ 8. ________
9. TOTAL MONTHLY DEDUCTIONS 9. ________
10. NUMBER OF EXEMPTIONS:
11. NET MONTHLY PAY ________
III. EXPENSE STATEMENT
A. LIVING EXPENSES AS OF _______ AS OF _______
Self Children Self Children
1. Rent/Mortgage ____ ____ ____ ____
(Residence)
2. Real Property Taxes ____ ____ ____ ____
3. Real Property Insurance ____ ____ ____ ____
4. Maintenance (Residence) ____ ____ ____ ____
5. Food/Household Supplies ____ ____ ____ ____
6. Water, Sewer, etc. ____ ____ ____ ____
7. Electricity ____ ____ ____ ____
8. Gas (Residence) ____ ____ ____ ____
9. Telephone ____ ____ ____ ____
10. Laundry & Cleaning ____ ____ ____ ____
11. Clothing ____ ____ ____ ____
12. Insurance ____ ____ ____ ____
(Not payroll deducted)
13. Medical ____ ____ ____ ____
14. Dental ____ ____ ____ ____
15. Child Care ____ ____ ____ ____
16. Children's allowance ____ ____ ____ ____
17. Payment of child
support/alimony ____ ____ ____ ____
(Prior marriage)
18. School Expenses ____ ____ ____ ____
19. Entertainment ____ ____ ____ ____
20. Incidentals & Misc. ____ ____ ____ ____
21. Transportation other
than vehicle ____ ____ ____ ____
22. Gasoline & Oil (auto) ____ ____ ____ ____
23. Repair (auto) ____ ____ ____ ____
24. Insurance (auto) ____ ____ ____ ____
25. Auto Payments ____ ____ ____ ____
26. Church donations ____ ____ ____ ____
27. Charitable donations ____ ____ ____ ____
28. Newspaper/Magazines ____ ____ ____ ____
29. Cable TV ____ ____ ____ ____
30. Pet Expenses ____ ____ ____ ____
31. Yard Expenses ____ ____ ____ ____
32. Maid ____ ____ ____ ____
33. Retirement (IRA etc.) ____ ____ ____ ____
34. Pest Control ____ ____ ____ ____
B. TOTAL LIVING EXPENSES:
35. Installment Payments ____ ____ ____ ____
Notes, loans, charge
accounts, etc.
36. ______________________ ____ ____ ____ ____
37. ______________________ ____ ____ ____ ____
38. ______________________ ____ ____ ____ ____
39. OTHER EXPENSES:
40. _____________________ ____ ____ ____ ____
41. ______________________ ____ ____ ____ ____
TOTAL INSTALLMENT PAYMENTS: ____ ____ ____ ____
COMBINED TOTAL EXPENSES: ____ ____ ____ ____
IV. STATEMENT OF ASSETS
A. Real Estate
1. Title in the name of: _______________________
Address:___________________________________
Who paid cost:_____________________________
How cost paid:______________________________
Value (estimate) ___________________
Mortgage Balance ______________________
Equity _______________________
2. Title in the name of: ______________________
Address:_________________________________
Who paid cost:____________________________
How cost paid:____________________________
Value (estimate) ____________________
Mortgage Balance ______________________
Equity _______________________
* List mortgage balance also under liabilities on the next page.
List the amount of your monthly payment only under LIABILITIES.
B. Motor Vehicles
1. Registered in the name of: ________________________
Year:___________ Model: ________ Mileage:_________
How cost paid: __________ How cost paid: ____________
VALUE ________________________
- Loan balance ________________________
= Equity ________________________
2. Registered in the name of: ________________________
Year:___________ Model:_________ Mileage:_________
How cost paid: __________ How cost paid:__________
VALUE ________________________
- Loan balance ________________________
= Equity ________________________
3. Registered in the name of: _______________________
Year:___________ Model: ___________ Mileage:____________
How cost paid: ____________ How cost paid: _____________
VALUE ________________________
- Loan balance ________________________
= Equity ________________________
C. Other Personal Property (such as home computers, guns,
lawnmowers, TVs, jewelry, household furnishings, etc.)
VALUES
_____________________ ______________________
_____________________ ______________________
_____________________ ______________________
_____________________ ______________________
_____________________ ______________________
_____________________ ______________________
TOTAL: ______________________
D. Checking/Savings (name of Bank, Account Number and Amount
in Account, including CD's, money markets, passbook accounts, etc.)
Name(s) on Account Bank/Account No. Type of Account Balance
__________________ ________________ _______________ ___________
__________________ ________________ _______________ ___________
__________________ ________________ _______________ ___________
__________________ ________________ _______________ ___________
TOTAL VALUE ___________
E. Other Investments (IRA's, stock(s), mutual funds, pension plans,
etc.)
Bank/Account Type of Investment Balance
Number
______________________________________________________
______________________________________________________
______________________________________________________
______________________________________________________
______________________________________________________
F. Life Insurance (exclude children)
Insured Company Face Amount Cash Beneficiary
less any loans
_________________________________________________________
_________________________________________________________
_________________________________________________________
TOTAL CASH VALUE (less loans) ____________________
G. All Other Assets
______________________________________________________
______________________________________________________
______________________________________________________
TOTAL VALUE ________________________
TOTAL OF ALL ASSETS $ ____________________________
V. STATEMENT OF LIABILITIES
II. LIABILITIES (Include mortgage, car loan, credit cards,
personal loans).
(Include also under 35 - 4 on Page 4 of Exhibit "A")
A.
Creditor Whose Name(s) Current Monthly Who Pays
Balance Payment
Due
1. ______________________________________________________
2. ______________________________________________________
3. ______________________________________________________
4. ______________________________________________________
B. TOTAL LIABILITIES _____________
ACKNOWLEDGMENT OF TRUTHFULNESS
I declare to the Court that the foregoing Exhibits "A" and "B"
including attachments, are true and correct and that this
declaration was executed on the day of ___________, A.D. 20___
_________________________
PARTY'S SIGNATURE
IN THE CHANCERY COURT OF ___________________ COUNTY
STATE OF MISSISSIPPI
IN THE MATTER OF THE DISSLOUTION
OF MARRIAGE OF ___________________
AND ___________________ NO. ________________
CERTIFICATE OF COMPLIANCE
I, ____________________________________, do hereby certify that I have this date
(Name of party or attorney)
complied with Rule 8.05 of the Uniform Chancery Court Rules and that I have mailed and or
delivered a copy of a detailed written statement of actual income and expenses and assets and
liabilities to the attorney for the opposing party or the opposing party.
SO CERTIFIED on this the day of ________, A.D., 20___.
_____________________________
PARTY
GENERAL DIVORCE OUTLINE – IRRECONCILABLE DIFFERENCES
"Basics": the important things you will need to know before starting your divorce action.
Documents and papers needed to obtain an uncontested divorce.
Instructions for starting the action.
Instructions for filing the action with the court
This outline discusses : and obtaining your divorce.
Scope of this outline :
This outline discusses divorce based on irreconcilable differences. This is the “no-fault”
divorce ground in Mississippi.
The basics :
There are generally several requirements before you can file a divorce action.
Mississippi has residency requirements which require that you or your spouse
reside in the state for a certain period of time before a divorce action is filed.
Likewise, most states require a ground for filing the divorce.
In a typical divorce two requirements that must be met before you can file for a
divorce. Those requirements are below:
1. You must satisfy the residency requirements. You or your spouse
must have resided in Mississippi for at least 6 months immediately
proceeding the filing of the complaint.
2. You must satisfy the no-fault procedures.
Sample Steps to No-Fault Divorce - Joint
STEP 1: Prepare a separation agreement and you and your spouse execute
it.
STEP 2: Compete the Joint Complaint for Divorce and have it notarized.
STEP 3: File the Joint Complaint with agreement attached in the Office of the
Chancery Court Clerk in your County and pay the filing fee. The Clerk should
provide a Civil Cover sheet for you to complete or direct you to a location where
you can obtain this form. Also file completed Financial Statements one for each
party.
STEP 4: Wait the required time, generally at least 60 days after filing and then
schedule a time to present your Judgment to the Chancery Judge. Be prepared to
answer any questions the court may have about the divorce and separation
agreement. Both parties may or may not be required to attend the hearing.
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