In a Decision – M.S. v. M.A.S., (an "Unreported Decision") >> the Court Held:
The Appellate Division affirmed the Trial Court determination denying an Alimony modification.
Substantial credible evidence supported the judge's interpretation of the Divorce Agreement language at issue. As the Divorce Agreement language had two plausible interpretations, the judge properly considered parol evidence in determining the parties' intent at the time the Divorce Agreement was executed.