Andriy Fetisov v. Mariia Shatalova
Jordan B. Rickards, Esq., Attorney ID #018782004 The Law Office of Jordan B. Rickards, Esq., LLC 196 Riva Ave., Milltown, NJ 08850 P: 7322978200 Attorney for the Plaintiff Andriy Fetisov v. Mariia Shatalova Superior Court of NJ Chancery Division Family Part Middlesex County FM-12-1389-25 Civil Action Summons From: The State of NJ To The Defendant(s) Named Below: Mariia Shatalova The plaintiff, named above, has filed a lawsuit against u in the Superior Court of NJ. The complaint attached to this summons states the basis for this lawsuit. If u dispute this complaint, u or ur attorney must file a written answer or motion & proof of service with the deputy clerk of the Superior Court in the county listed above within 35 days from the date u received this summons, not counting the date u received it.(A directory of the addresses of each deputy clerk of the Superior Court is available in the Civil Division Management Office in the county listed above & online at http://www.judiciary.state.nj.us/pro se/10153_deptyclerklawref.pdf.) If the complaint is one in foreclosure, then u must file ur written answer or motion & proof of service with the Clerk of the Superior Court, Hughes Justice Complex, P.O. Box 971, Trenton, NJ 08625. A filing fee payable to the Treasurer, State of NJ & a completed Case Information Statement (available from the deputy clerk of the Superior Court) must accompany ur answer or motion when it is filed. U must also send a copy of ur answer or motion to plaintiff's attorney whose name & address appear above, or to plaintiff, if no attorney is named above. A telephone call will not protect ur rights; u must file & serve a written answer or motion (with fee of $175.00 & completed Case Information Statement) if u want the court to hear ur defense. If u do not file & serve a written answer or motion within 35 days, the court may enter a judgment against u for the relief plaintiff demands, plus interest & costs of suit. If judgment is entered against u, the Sheriff may seize ur money, wages or property to pay all or part of the judgment. If u cannot afford an attorney, u may call the Legal Services office in the county where u live or the Legal Services of NJ Statewide Hotline1-888-576-5529. If u do not have an attorney & are not eligible for free legal assistance, u may obtain a referral to an attorney by calling one of the Lawyer Referral Services. A directory with contact information for local Legal Services Offices & Lawyer Referral Services is available in the Civil Division Management Office in the county listed above & online at http://www.judiciary.state.nj.us/prose/10153_deptyclerklawref.pdf. /S/ Michelle M. Smith Michelle M. Smith Clerk of the Superior Court Dated: 9/3/25 Name of Defendant to be Served: Mariia Shatalova Heroiv-Pidpilnykiv Avenue, 21, Apt. 4 Kryvyi Rih, Dnipropetrovsk Oblast 50007 Ukraine
Andriy Fetisov v. Mariia Shatalova Superior Court of NJ Chancery Division Family Part Middlesex County Docket No. Civil Action Complaint for Divorce The Plaintiff, residing at 101 William Street, Borough of Jamesburg, State of NJ, by way of Complaint against the above Defendant, says: First Count 1. Plaintiff was lawfully married to Mariia Shatalova, the Defendant herein, on 8/13/10, in a civil ceremony in NY, NY. 2.The Plaintiff was a bona fide resident of the County of Middlesex, State of NJ when this cause of action arose & has ever since & for more than one year next preceding the commencement of this action continued to be such a bona fide resident. 3. Mariia Shatalova, currently resides at Titova Street, Building 6, Apt 10 in Dnipro, Ukraine. 4. Irreconcilable differences have arisen between the Plaintiff & Defendant which have caused the breakdown of the marriage for a period of over 6 months, which make it appear that the marriage should be dissolved & that there is no reasonable prospect of reconciliation. 4. Irreconcilable differences have arisen between the Plaintiff & Defendant which have caused the breakdown of the marriage for a period of over six months, & which make it appear that the marriage should be dissolved & that there is no reasonable prospect of reconciliation. 5. There were no children born of this marriage. 6.There are no prior proceedings between the parties. Wherefore, Plaintiff demands judgment: (A Dissolving the marriage between the parties pursuant to N.J.S.A. 2A:34-24; B. Providing equitable distribution of all property, both real & personal, which was legally acquired during the marriage; C. For such other further relief as the Court may deem equitable & just. Certification Pursuant to R. 4:5-1(c) I hereby certify that to the best of my information, knowledge & belief that the matter in controversy is not the subject of any other action pending in any court or of a pending arbitration proceeding, that no other action or arbitration proceeding is contemplated, & I am aware of any other person who should be joined in this matter. for the Law Office of Jordan Rickards Esq., L.L.C.: Trial Counsel Designation Pursuant to R. 4:5-1(c) Jordan Rickards, Esq. is hereby designated trial counsel in this matter. for the Certification of Verification & Non-Collusion Pursuant to R. 5:4-2(c) I, &riy Fetisov, being of full age, hereby certify: I am the Plaintiff in the foregoing Complaint. The allegations in the Complaint are true to the best of my knowledge, information belief, & the said Complaint is made in truth & good faith & without collusion for the causes set forth therein. I am aware that if any of the foregoing statements made by me are willfully false, I am subject to punishment. Andriy Fetisov Andriy Fetisov (3/8/23 11:21 CST)
Andriy Fetisov, v. Mariia Shatalova. Superior Court of NJ Middlesex County Family Part Docket No.: FM-12-1389-25 Civil Action Rule 5:4-2(h) Certification of Attorney & Client I, Jordan Rickards, Esq., of full age, do hereby certify that: 1. I am the attorney for the Plaintiff in the above-captioned matter. 2. I make this Cert pursuant to Rule 5:4-2(h). 3. I have provided my client with a copy of the document entitled "Divorce-Dispute Resolution Alternatives to Conventional Litigation." 4. I have discussed with my client the complementary dispute resolution alternatives to litigation contained in the document. 5. I hereby certify that the foregoing statements made by me are true. I am aware that if any of the foregoing statements made by me are willfully false, I am subject to punishment. Date 1/13/23
Andriy Fetisov v. Mariia Shatalova Superior Court of NJ Middlesex County Chancery Division, Family Part FM-12-1389-25 Civil Action Rule 5:4-2(h) Cert of Attorney & Client I, Andriy Fetisov, of full age, do hereby certify that: 1. I am the Plaintiff in the above-captioned matter, represented by The Law Office of Jordan Rickards, Esq.,. 2. I make this Certi pursuant to Rule 5:4-2(h). 3. I have read the document entitled "Divorce-Dispute Resolution Alternatives to Conventional Litigation." 4. I thus have been informed as to the availability of complementary dispute resolution alternatives to this litigation. 5. I hereby certify that the foregoing statements made by me are true. I am aware that if any of the foregoing statements made by me are willfully false, I am subject to punishment. Andriy Fetisov Andriy Fetisov (3/8/23 11:21 CST) Andriy Fetisov 3/8/23
Certification as to Insurance-R.5:4-2(f) I. Health insurance. We have the following health insurance coverage: Ins. Co. policy number Named insured persons covered description of the coverage policy term NIA 2. Life insurance. We have the following Life Insurance coverage: Ins. Co. policy number insured life persons covered 1. n/a 2. Life insurance. We have the following Life Insurance coverage. 1. n/a 3. Automobile Insurance. We have the following Automobile Insurance: 1. Njm named insured Andriy Fetisov persons covered Andriy Fetisov description of the coverage $5OOK liability $1M PIP policy renews 03/15 every year 4. Homeowners renters insurance. We have the following Homeowners renter's insurance: Ins. Co. policy number Named insured persons covered description of the coverage policy term 1. n/a 5. I know of no policies that were cancelled or modified in the last 90 days. 6. I certify that the foregoing statements made by me are true. I am aware that if any of the foregoing statements made by me are willfully false, I am subject to punishment. Dated: 12/20/21 /s/ Fetisov
September 8 2025
LNYS0364638
$107.64