LEGAL NOTICE
GEORGE KOHRMANN, plaintiff vs. NICOLE SCACCIAFERRO KOHRMANN, Defendant, Superior Court of New Jersey, Chancery Division-Family Part, Middlesex County, DOCKET NO: FM-12-000125-26, Civil Action - AMENDED ORDER.
THIS MATTER being opened to the Court by James F. Weber, Esq., attorney for plaintiff, George Kohrmann, and it appears that service of process cannot be effected by personal service, and it is further appearing that after diligent inquiry and effort, defendant's current residence is unknown; and other good cause having been shown:
IT IS ON THIS 17TH DAY OF NOVEMBER, 2025
ORDERED within twenty (20) days of the signing of this Order together with the contents of the Complaint filed on July 3,2025, shall be transcribed and the transcription shall be published once in The Home News Tribune, a newspaper distributed in Middlesex County, New Jersey, and proof of service shall be filed; and it is further
ORDERED that the defendant shall serve upon the attorney for the plaintiff, James F. Weber, Esq., 3145 Bordentown Avenue, Suite G, Parlin, NJ 08859, 732-727-6774, either (1) a written appearance, or (2) an Answer to the Complaint, in accordance with the Rules of Court; and that if the defendant fails to Answer or file a written appearance, a Judgment by Default nay be rendered against the Defendant for the relief demanded in the Complaint; and it is further
ORDERED that the defendant shall file an Answer or written appearance and proof of service thereof in duplicate with the Clerk of Middlesex County, Family Part, 120 New Brunswick, New Jersey, 08901 in accordance with the Rules of Court; and it is further
ORDERED that a copy of this Order be served upon all parties within ten (10) days of the date hereof.
/s/ ANDREA J. SULLIVAN, J.S.C.
GEORGE KOHRMANN, plaintiff v. NICOLE SCACCIAFERRO KOHRMANN, defendant, Superior Court of New Jersey, Chancery Division-Family Part, Middlese County, DOCKET NO: FM-12-000125-26, COMPLAINT
Plaintiff, George Kohrmann, residing at 26 Dalbert Street, M8, in the Borough of Carteret, County of Middlesex, and State of New Jersey by way of Complaint against the defendant, says:
1. He was lawfully married to Nicole Scacciaferro Kohrmann, the defendant, on the 4th day of June, 2022, in a civil ceremony in Wildwood, New Jersey.
2. He was a bona fide resident of the State of New Jersey when this cause of action arose, and has ever since and for more than one year next preceding the commencement of this action, continued to be such bona fide resident.
3. The defendant, Nicole Scacciaferro Kohrmann, presently resides at 19 Richard Lane, Staten Island, New York,
4. There were no children born of the marriage.
5. Irreconcilable differences which make it appear that the marriage should be dissolved have caused the breakdown of the marriage for a period of six (6) months. There is no reasonable prospect of reconciliation. Therefore, Plaintiff demands judgment for divorce pursuant to N.J.S.A. 2A:34-2 (I) .
6. At the time this cause of action arose, the plaintiff resided at 26 Dalbert Street M8, in the Borough of Carteret, County of Middlesex and State of New Jersey.
7. There have been no previous proceedings between the plaintiff and defendant respecting the marriage or its dissolution in any court.
WHEREFORE, plaintiff demands judgment:
A. Dissolving the marriage between the parties;
B. Equitably distributing all property, both real and personal, which was legally and beneficially acquired by the parties during the marriage;
C. For such further relief as the Court may deem equitable and just.
JAMES F. WEBER
Attorney for Plaintiff
BY:/S/ JAMES F. WEBER, ESQ.
JAMES F. WEBER, ESQ.
DATED: July 2, 2025
CERTIFICATION OF VERIFICATION AND NON-COLLUSION
1. I am the Plaintiff in the Complaint for Divorce to which this is annexed.
2. The allegations contained in the Complaint for Divorce are true to the best of my knowledge and belief. The Complaint for Divorce is made in truth and good faith and without collusion for the cause set forth therein.
I certify that the foregoing statements made by me are true. I am aware if any of the foregoing statements made by me are willfully false, I am subject to punishment.
/S/ GEORGE KOHRMANN
GEORGE KOHRMANN
DATE: JULY 2, 2025
Publication Dates
LNYS0410798
$