This family law application proceeded to trial regarding equalization of net family property, a trust claim over the matrimonial home, and a restraining order.
The court upheld a 2007 separation agreement as valid and binding, which explicitly precluded further equalization upon reconciliation and subsequent separation.
The applicant's claim for a resulting, implied, or constructive trust over the Rutherford Road property against her former husband and mother-in-law was dismissed, as she had legally transferred her interest in 2007, and the former husband had subsequently transferred it to his mother in 2010.
The request for a restraining order was denied due to lack of evidence.
The court ordered the discharge of a certificate of pending litigation and that the applicant vacate the property.