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HomeMy WebLinkAbout12-28-04 (2) IN RE: MILDRED J. GERBER TRUST IN THE COURT OF COMMON PLEAS UNDER AGREEMENT, DATED CUMBERLAND COUNTY, PENNSYLVANIA DECEMBER 19,1997 ORHPANS' COURT DIVISION NO. 21-2002-0540 V r-.;) (") c::::::t = :n S;o ..r:- :Opj ["0:0 C) n1 (n -0 (") rY1 G",) 0 n '";::''i :'"1.) =n ::r: .. <::.-1 C:J IN RE: FRED E. GERBER,SR. NO. 21-1998-0195 ./ '-~m N ('r-i r""'"1 ::c; -:: :0 CD ::tJ C? .::,,(/)7' TRUST, UNDER AGREEMENT, :.')00 -0 <..-,::) 0 -.J~-llf DATED, JUL Y 29,1994 c')O-n :x: --"- ..,., '-)C :...;.; C~ ,- :0 - r=m -l .. ~ N coo -n CD MOTION FOR CONSIDERATION OF VACATION OF MARIL YN GERBER,PRO SE FROM DECEMBER 24, 2004 UNTIL JANUARY 9,2004 NOW COMES Petitioner, Marilyn Gerber, Pro Se and files this Motion for Consideration and Exemption from Answering any Petitions or Motions or Actions on any issues regarding the Mildred J Gerber Trust, the Fred E. Gerber,Sr. Trust or any other old or new matters related to the collective Gerber Estate and Trusts as follows: 1. Petitioner, Marilyn Gerber is Pro Se in matters of the Gerber Estate and Trusts in Orphans Court of Cumberland County. 2. Petitioner is going on vacation from December 24,2004 until January 9,2005 and will not be available or reachable for this time period. 3. Petitioner is Pro Se without any other legal secretary, attorney or profeSSional entity that can or would represent her interests for any petitions, motions or actions whether old or new during this period of time. Marilyn Gerber has announced to Frederick E. Gerber,", PNC Bank and Auditor William Duncan, Esquire or her planned vacation schedule. Petitioner expects that Frederick E. Gerber, PNC Bank and dl.. Jacqueline Verney,Esquire may file with this Court which would unduly prejudice the Petitioner and prevent her from answering within the proscribed amount of time per the Pennslyvania Rules of Civil Procedure or the Court's order. 4. Petitioner requests the consideration of this Court that she be exempted from answering, responding, appearing in Court or be penalized from not being able to answer any old or new petitions, motions, or actions regarding any matters concerning the Mildred J. Gerber Estate and Trust, the Fred E. Gerber Trust or any other old or new matters regarding the Gerber Estate and Trusts or periphery legal matters. 5. Petitioner requests that upon her return on January 9,2005 she be granted one week grace period in order to review any matters that have been filed with this Court in order to prepare and answer them per the Court's decision or order. WHEREFORE, Petitioner respectfully requests that this Honorable Court rule to show consideration and exempt the Petitioner, Marilyn Gerber, Pro Se from answering any actions, pleadings, filings for any matter concerning the Gerber Estate or Trusts or related periphery issues/matters. Respectfully, Marilyn G r,Pro Se 717 Market Street, #317 Lemoyne, PA 17043 TEL 717 503-5280 Date: ~ct?, ~I VERIFICATION I, ~~~ ' Pro Se, deposes and says, subject to the penalties of 18 Pa. C.S. 4904 relating to unsworn falsification to authorities, that he/she is authorized to make this verification and that the facts in the foregoing Petition for Consideration and Exemption of time due to a vacation from December 24, 2004 until January 9,2005 are true and correct to the best of hislher knowledge, information and belief. Date: J~~.~tf I CERTIFICATE OF SERVICE 'IIJ ~ I HEREBY certify that on this tlJ day of , 2004, a true and correct copy of the foregoing Petition for Consideration and Exemption be granted to Marilyn Gerber, Pro Se due to Vacation from December 24,2004 until January 9,2005 was served by means of United States mail, first class, postage prepaid, upon the following: Richard Rupp, Esquire 355 North 21 st Street Camp Hill, PA 17011 Joanne Christine, Esquire Rhoads & Sinon One South Market Square Harrisburg, PA 17018 Jacqueline Verney,Esquire 44 South Hanover Street Carlisle, PA 17103 William A. Duncan, Esquire One Irvine Row Carlisle, PA 17103 Date: Jet~~ PrMl./ ,