Riker, Holly T vs Knuth, Janell
STATE OF SOUTH DAKOTA )) SS. COUNTY OF FALL RIVER)
IN CIRCUIT COURT SEVENTH JUDICIAL CIRCUIT COUNTY OF FALL RIVER
HOLLY T. RIKER AS GUARDIAN AND CONSVERVATOR OF DAVID L. TURNBULL (a protected person), Plaintiff,
JANELL KNUTH, Defendant.
YOU ARE HEREBY summoned and required to answer the Complaint of the Plaintiff, a copy of which is herewith served upon you, and to serve a copy of your answer on the attorneys
for Plaintiff, Christopher A. Christianson and Ali J. Tornow of Gunderson, Palmer, Nelson and Ashmore, 506 Sixth Street, Rapid City, South Dakota 57709, within thirty (30) days from the date of the service of this Summons upon you, exclusive of the day of such service.
IF YOU FAIL TO PROVIDE AN ANSWER, judgment by default may be rendered against you as requested in Plaintiff’s Complaint, sixty (60) days after the completed service of Plaintiff’s Summons and Complaint.
South Dakota law provides that upon the filing of a Complaint for divorce or separate maintenance and upon personal service of the Summons and Complaint on the defendant, a Temporary Restraining Order shall be in effect against both parties until the final decree is entered, the complaint is dismissed, or until further order of this Court. Either party may apply to the Court for further temporary orders or modification or revocation of the order.
TEMPORARY RESTRAINING ORDER
BY ORDER OF COURT, YOU AND YOUR SPOUSE ARE:
A. Restrained from transferring, encumbering, concealing, or in any way dissipating or disposing of any marital assets, without the written consent of the other party or an order of the Court, except as may be necessary in the usual course of business or for the necessities of life. You are to notify the other party of any proposed extraordinary expenditures and to account to the Court for all extraordinary expenditures made after the Temporary Restraining Order is in effect;
B. Restrained from molesting or disturbing the peace of the other party; and
C. Restrained from making any changes to any insurance coverage for the parties without the written consent of the other party or Order of the Court unless the change under the applicable insurance coverage increases the benefit, adds additional property, persons or perils to be covered or is required by the insurer.
DATED this 3 rd day of November, 2020. GUNDERSON, PALMER, NELSON & ASHMORE, LLP By:_/s/ Christopher A. Christianson
Christopher A. Christianson, Ali J. Tornow, Attorney for Plaintiff
506 Sixth Street, P.O. Box 8045, Rapid City, SD 57709 Telephone: (605) 342-1078 Telefax: (605) 342-9503 E-mail: firstname.lastname@example.org
A copy of the Complaint may be obtained from: Ali J. Schaefbauer, Gunderson, Palmer, Nelson, Ashmore LLP, PO Box 8045, Rapid City, SD 57709, Phone: (605) 342-1078 Email: email@example.com
12/25, 2020, 1/1, 1/8, 1/15, 2021 EDITIONS ARIZONA CAPITOL TIMES