IN THE CIRCUIT COURT OF

/ ______ /

COUNTY, ALABAMA

DOMESTIC RELATIONS DIVISION

IN RE: THE MARRIAGE OF

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County Circuit Court

______
Plaintiff,
v. / Civil Action No. / ______
______
Defendant

COMPLAINT

1.  Plaintiff and Defendant are each over the age of nineteen (19) years, and Plaintiff is a bona fide resident citizen of ______County, Alabama.

2.  Plaintiff and Defendant were lawfully married to each other on the ___ day of ______, 2____, in ______, ______County, Alabama.

3.  The parties have the following children of the marriage:

NAME / DATE OF BIRTH / SOCIAL SECURITY NO.

4.  The Plaintiff avers that there exists such a complete incompatibility of temperament between the Plaintiff and the Defendant that the parties can no longer live together, and such incompatibility is irremediable and irreconcilable and by reason thereof, the Plaintiff and the Defendant separated on the ___ day of ______, 2____, and have not lived together since that date. The Plaintiff further avers that the incompatibility of the Plaintiff and Defendant is demonstrated in that the Plaintiff and Defendant do not have the same goals in life, and they do not have mutual friends and interests, and that Plaintiff has lost all love for Defendant.

5.  Plaintiff avers that there has been an irretrievable breakdown of the marriage and that further attempts at reconciliation are impractical or futile and not in the best interests of the parties.

PRAYER FOR RELIEF

WHEREFORE, PREMISES CONSIDERED, Plaintiff prays that upon a final hearing of this cause the Court will grant to the Plaintiff a Divorce from the Defendant.

______

Plaintiff

______

Plaintiff’s Signature

STATE OF ALABAMA

COUNTY OF ______

Personally appeared before me, the undersigned authority, a Notary Public in and for said State and County, ______, who is known to me and who being by me first duly sworn, on oath, deposes and says that he has read the foregoing Bill of Complaint and that the facts set forth therein and the allegations of fact set forth therein are true and correct to the best of his knowledge, information and belief.

______

Plaintiff

______

Plaintiff’s Signature

SUBSCRIBED and SWORN TO before me

this ___ day of ______, 2____.

______

NOTARY PUBLIC STATE OF ALABAMA AT LARGE

My Commission expires ______.

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