Plaintiff seeks divorce from Defendant with custody agreement for minor children.
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- Published
- Category
- Probate
- Case #
- D-26-726016-D
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What to do next
- 1
Review custody agreement
Ensure you understand the custody arrangement for the minor children.
- 2
Contact attorney
Reach out to Summer Squires for any questions regarding the divorce process.
- 3
Prepare for court
Gather necessary documents and evidence for the upcoming court proceedings.
Frequently asked questions
- What is the case number for the divorce?
- The case number is D-26-726016-D.
- Who is the plaintiff in this case?
- The plaintiff is Tianyi Yu.
- What is the reason for the divorce?
- The parties are incompatible in marriage.
- Where do the minor children reside?
- Two children reside with the defendant in New Jersey, and one with family in China.
The suggestions and answers above are AI-generated for general information only. They can be wrong, and we don't take responsibility for their accuracy. Talk to a qualified professional before acting on them.
Full Notice Text
COMD Summer Squires, Esq. Nevada Bar Number 16453 MCFARLING COHEN FIC & SQUIRES 6230 W. Desert Inn Road Las Vegas, NV 89146 (702) 565-4335 phone (702) 732-9385 fax eservice@mcfarlinglaw.com Attorney for Plaintiff, Tianyi Yu CASE NO: D-26-726016-D Department: S EIGHTH JUDICIAL DISTRICT COURT FAMILY DIVISION CLARK COUNTY, NEVADA TIANYI YU, Plaintiff, vs. YIMENG FAN, Defendant. COMPLAINT FOR DIVORCE COMES NOW Plaintiff, Tianyi Yu, by and through his attorney, Summer Squires, Esq. of McFarling Cohen Fic & Squires, and for cause of action, alleges the following: 1. For more than six (6) weeks immediately preceding the commencement of this action, Plaintiff has been, and now is, a bona fide and actual resident and domiciliary of the State of Nevada and has been actually and corporeally present in the State of Nevada for more than six (6) weeks immediately prior to the commencement of this action. 2. The Plaintiff and Defendant were duly and legally married on or about the 29th of December, 2011, and ever since said date have been married. 3. The parties are hereto incompatible in marriage. 4. There are three minor children born the issue of Plaintiff and Defendant, to wit: Jialin Yu, born October 12, 2013; Jiaqi Yu, born October 12, 2013; Jiajun Yu, born September 12, 2018. 5. Minor children Jialin Yu and Jiaqi Yu reside with Defendant in the State of New Jersey. 6. The youngest minor child, Jiajun Yu, resides with Plaintiff's family in China. 7. The State of Nevada is NOT the home state of the minor children. 8. The parties have a full agreement regarding the custody of the minor children. 9. There are no other minor children born or adopted to this marriage. To the best of Plaintiff's knowledge, neither spouse is pregnant. 10. Neither spouse is entitled to spousal support. 11. Community property and debt exist and have been divided pursuant to the parties' agreement. 12. Neither spouse changed their name during the marriage, therefore, does not require a name change. WHEREFORE, Plaintiff requests: 1. That the marriage existing between Plaintiff and Defendant be dissolved and that Plaintiff be granted an absolute Decree of Divorce and that each of the parties be restored to the status of a single, unmarried person. 2. Plaintiff's claims for relief in this Complaint be granted; and, 3. For such other relief as the Court deems just and equitable. DATED this 9th of March, 2026. MCFARLING COHEN FIC & SQUIRES /s/Summer Squires Summer Squires, Esq. Nevada Bar Number 16453 6230 W. Desert Inn Road Las Vegas, NV 89146 (702) 565-4335 Attorney for Plaintiff, Tianyi Yu DECLARATION OF TIANYI YU 1. I, Tianyi Yu, declare that I am competent to testify to the facts contained in the preceding filing. 2. I have read the preceding document, and I have personal knowledge of the facts contained therein, unless stated otherwise. Further, the factual averments contained therein are true and correct to the best of my knowledge, except those matters based on information and belief, and as to those matters, I believe them to be true. 3. The factual averments contained in the preceding filing are incorporated herein as if set forth in full. I declare under penalty of perjury, under the laws of the State of Nevada and the United States (NRS 53.045 and 28 USC 1746), that the foregoing is true and correct. EXECUTED this 3/9/2026 Tianyi Yu
Related Notices
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Defendant Yimeng Fan has been sued by Tianyi Yu.
May 6, 2026Court Notice
Plaintiff seeks divorce from Defendant with custody agreement for minor children.
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Apr 29, 2026Court Notice
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