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  • Diana Burger-Pedraza v. Gunnar BurgerDissolution of Marriage document preview
  • Diana Burger-Pedraza v. Gunnar BurgerDissolution of Marriage document preview
  • Diana Burger-Pedraza v. Gunnar BurgerDissolution of Marriage document preview
  • Diana Burger-Pedraza v. Gunnar BurgerDissolution of Marriage document preview
						
                                

Preview

Filed in Otoe District Court er EFILED** Case Number: D11C1240000074 Transaction ID: 0021377635 Filing Date: 03/29/2024 09:26:21 AM CDT IN THE DISTRICT COURT OF OTOE COUNTY, NEBRASKA DIANA L. BURGER-PEDRAZA,) Case No. CI 24- Plaintiff, COMPLAINT FOR Vs, DISSOLUTION OF MARRIAGE GUNNAR L. BURGER, Defendant. COMES NOW, the Plaintiff, Diana L. Burger-Pedraza, and for this, her cause of action for Dissolution of Marriage, alleges: 1. Plaintiff is an adult individual, a resident of Otoe County, Nebraska and has been a resident of Nebraska for at least one year prior to the date of the filing of this complaint. 2. Plaintiff resides at 820 N 16 Street, Lot #11, Nebraska City, NE 68410. 8. Defendant, Gunnar L. Burger, resides at 1053 Wise Street, Apt. B, Fort Johnson, LA 71459. 4, The parties were married at Talmage, Nebraska in Otoe County on October 5, 2023 and no children were born of the marriage. 5. Neither Plaintiff nor Defendant is a party to any other pending actions for divorce, legal separation or dissolution of marriage in this state or in any other state. 7. The Defendant is a member of the United States Armed Forces. 8. That there are no existing restraining orders, protection orders, or criminal no-contact orders regarding any party to these proceedings. 9. The marriage between the parties is irretrievably broken and should be dissolved. 10. During the course of the marriage the parties have accumulated certain assets and debts that should be equitably divided 11. Plaintiff requests that her maiden name be restored. 12. Plaintiff requests this matter be heard before a District Court Judge. WHEREFORE, Plaintiff prays that this Court, Dissolve the marriage of the parties, equitably divide the assets and debts of the parties and provide such further and other relief as in the premises is just and equitable. Respectfully Submitted, Diana L. Burger-Pedraza, Plaintiff By: //s// Michael Ziskey, #21357 FANKHAUSER, NELSEN, WERTS, ZISKEY & MERWIN, P.C., L.L.0. Attorneys at Law 602 Central Avenue Nebraska City, NE 68410 iskeym@yahoo.com (402) 873-3715 Attorney for Plaintiff