petition to enforce parenting time order
DESCRIPTION
Enclosed is a sample petition that details the proper way to enforce child support involving any matter sitting in the various counties within the State of Illinois.Regards,RPotterTRANSCRIPT
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IN THE CIRCUIT COURT OF COOK COUNTY, ILLINOIS COUNTY DEPARTMENT-DOMESTIC RELATIONS DIVISION
IN RE: THE VISITATION OF: ) Rogelio Vader DOB: 1/01/99 )
) Princess Leia, ) Petitioner, ) ) No. : 01 D6 1234 ) ) Cal : 21 V. ) ) Darth Vader, ) Respondent, )
) RESPONDENTS VERIFIED PETITION TO ENFORCE PARENTING TIME ORDER AND FOR
THE COURT TO FIND PETITIONER IN INDIRECT CIVIL CONTEMPT OF COURT PURSUANT TO 750 ILCS 5/607.1
NOW COMES the Respondent, DARTH VADER, PRO SE, on his own, petitions this
Honorable Court, pursuant to 750 ILCS 5/607.1, to enter a rule requiring
Petitioner, PRINCESS LEIA, to show cause, if any she has, why she should not
be held in indirect contempt of this Court for failure to perform the
following:
FACTUAL BACKGROUND a. This Court entered orders granting the Respondent, DARTH VADER, a
liberal visitation schedule with the parties minor child ROGELIO
VADER;
b. Respondent, DARTH VADER, Pro Se further represents that all parties were advised by this Honorable Court on May 20th, 2014 of the
visitation provisions set forth by the Court in its prior ruling(s),
and even furnished courtesy copies of said visitation order to all
parties;
c. That pursuant to the Visitation Order Respondent, DARTH VADER was granted a liberal visitation schedule where hes entitled to enjoy
his visitation every other weekend from the entry date of said order;
Visitation Interference v. Princess Leia
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d. Furthermore, Petitioner, PRINCESS LEIA, has her Petition to Modify Child Support which is currently pending and undetermined, and during
the pendency of said petition; Respondent has been subjected to
visitation interference;
e. Further, Respondent hasnt seen or spoken with his son since April 18th, 2014;
f. Respondent, DARTH VADER, Pro Se now charges that Petitioner, PRINCESS LEIA has wrongfully influenced the parties minor child to avoid
visiting or communicating with Respondent;
g. Respondent now demonstrates that the courts do not accept the withholding of support by a parent whose visitation has been
interfered with by the other parent. (See, e.g. Hess v. Hess, 87 Ill.
App. 3d 947, 952, 42 Ill. Dec. 882, 886, 409 N.E.2d 497, 501 (3d
Dist. 1980), lack of payment[of child support] has no bearing, per
se, on visitation rights; and furthermore child support and
visitation issues are treated as independent issues;
h. Respondent, DARTH VADER, now charges that Petitioners actions are willful, deliberate, and contumacious in order to get even with
Respondent because of his major shift in income, and this Honorable
Court should adjudicate Petitioner, PRINCESS LEIA to be in indirect
civil contempt of court citing the aforesaid;
WHEREFORE, Respondent, DARTH VADER, Pro Se prays unto this Honorable Court for the following relief:
1. That this Honorable Court enter its Rule to Show Cause against the Petitioner, to show cause, if any she can, why she should not be held in indirect civil contempt of this Court for her failure and refusal to comply with the Judgment and Order previously entered herein, and that said Rule be returnable instanter;
2. That, upon the hearing on the Return of the said Rule to Show Cause, the Court find Petitioner, to be guilty of willful indirect civil contempt of Court for her failure and refusal to comply with said
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Judgment and Order of this Court, as aforesaid; and that the Court enter an Order of Commitment directing the Clerk of the Circuit Court of Cook County, Illinois, to issue a contempt mittimus commanding the Sheriff of Cook County, Illinois, to take and keep custody of the body of the Respondent in the common jail of Cook County, Illinois, until she shall purge herself of his said indirect civil contempt of Court or for a period not to exceed six (6) months.
3. For such other, further and different relief as equity requires in
the premises and as this Honorable Court deems equitable and just.
________________________________ Respondent
VERIFICATION BY CERTIFICATION
STATE OF ILLINOIS ) ) SS COUNTY OF COOK ) Under penalties of perjury as provided by law pursuant to Section 1-109 of the Code of Civil Procedure, the undersigned certifies that the statements set forth in this instrument are true and correct, except as to matters therein stated to be on information and belief and as to such matters the undersigned certifies that she verily believes the same to be true. ______________________________ ______________________________ Notary Respondent Subscribed and sworn to before me this _____ day of June, 2014 SEAL
Darth Vader. Attorney # 99500, Pro Se 4222 Galaxy Way Orland Park, Illinois 60423 (312) 123 4567 Mobile