HomeMy WebLinkAbout12-04-09IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PENNSYLVANIA
IN THE MATTER OF THE PERSON :ORPHANS' COURT DIVISION
AND ESTATE OF LESLIE LOUISE
WALLS, AN ALLEGED : No. o2I - ~-'1- /~o?~i
INCAPACITATED PERSON
PETITION FOR APPOINTMENT OF PERMANENT
PLENARY GUARDIANS OF THE PERSON AND ESTATE
AND NOW come the Petitioners, WILLIAM L. WALLS and HELEN L. WALLS,
who represent and aver as follows:
1. The Petitioners are WILLIAM L. WALLS AND HELEN L. WALLS, adult
individuals residing at 614 Magaro Road, Enola, Cumberland County, Pennsylvania.
2. The alleged incapacitated person is LESLIE LOUISE WALLS, 46 years of
age, who has resided with Petitioners for her entire lifetime, most recently at 614
Magaro Road, Enola, Cumberland County, Pennsylvania. ~
3. LESLIE LOUISE WALLS is the adult daughter of Petitioners. ~',
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4. LESLIE LOUISE WALLS is unmarried and has no children. vi ~"
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5. The next of kin of LESLIE LOUISE WALLS are as follows: ~
a. William L. Walls - 614 Magaro Road, Enola, PA 17025 $ w
b. Helen L. Walls - 614 Magaro Road, Enola, PA 17025
c. Lori L. Costea - 301 Cockleys Lane, Mechanicsburg, PA 17055
d. Kelly L. Thomson - 30 West Green Street, Mechanicsburg, PA 17055
e. William C. Walls - 300 Dauphin Street, Enola, PA 17032
f. Anthony R. Walls - 27 North Cameron Street, Harrisburg, PA 17101
6. LESLIE LOUISE WALLS is not veteran of the armed services of the United
States of America, nor is she receiving any benefits from the Administration of Veterans
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Affairs of the United States of America.
7. LESLIE LOUISE WALLS was bom November 23, 1963, and from birth she
suffered from a chromosome deficiency known as "CRI DU CHAT" syndrome which has
for her entire Iffetime rendered her incapable of managing and caring for herself.
8. LESLIE LOUISE WALLS mental incapacity prevents her from managing and
caring for the affairs of her person to such an extent that she is incapable of making
responsible decisions concerning her personal and financial affairs.
9. The approximate gross value of the separate estate of LESLIE LOUISE
WALLS is less than $2,000.00, and her monthly income is consists of social security
benefits of $694.00 per month.
10. Petitioners WILLIAM L. WALLS and HELEN L. WALLS are willing to accept
the appointment of Permanent Plenary Guardians of the Person and Estate of LESLIE
LOUISE WALLS.
11. The Petitioners have no interest adverse to the alleged incapacitated person.
12. No previous application, to the knowledge of Petitioners, has been made for
the Order herein requested.
13. No order Court has ever assumed jurisdiction in any proceeding to determine
the capacity or incapacity of LESLIE LOUISE WALLS.
14. The failure to appoint the Petitioners as Permanent Plenary Guardians of the
Person and Estate of LESLIE LOUISE WALLS will result in irreparable harm to the
person and estate of LESLIE LOUISE WALLS.
15. Petitioners believe and therefore aver that the relief sought is the least
restrictive alternative available.
16. WILLIAM L. WALLS and HELEN L. WALLS are qualified to be the
Permanent Plenary Guardians of the person and of the Estate of LESLIE LOUISE
WALLS.
17. Petitioners have cared for LESLIE LOUISE WALLS since birth, and were not
aware of the necessity or availability of Guardianship until very recently when they
consulted Counsel on estate planning matters.
WHEREFORE, Petitioners pray that this Honorable Court appoint Petitioners,
WILLIAM L. WALLS and HELEN L. WALLS, to the be Permanent Plenary Guardians
of the person of LESLIE LOUISE WALLS, and Permanent Plenary Guardians of the
estate of LESLIE LOUISE WALLS.
Rgbert G. R~bach,
912 North River Road
Halifax, PA 17032
(717)896-2666
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PENNSYLVANIA
IN THE MATTER OF THE PERSON
AND ESTATE OF LESLIE LOUISE
WALLS,
AN ALLEGED INCAPACITATED
PERSON
VERIFICATION
ORPHANS' COURT DIVISION
No.
We hereby verify that the facts and information set forth in the foregoing Petition
are true and correct to the best of my knowledge, information, and belief. We
understand that any false statements contained herein are subject to the penalties of
18 Pa. C.S. Section 4904, relating to unsworn falsecation to authorities.
Dated:~~ j aG 0 9
Dated:../~01 /- ~r.~
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WILLIAM L. WALLS
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HELEN L. WALLS
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PENNSYLVANIA
IN THE MATTER OF THE PERSON :ORPHANS' COURT DIVISION
AND ESTATE OF LESLIE LOUISE
WALLS, AN ALLEGED : No.
INCAPACITATED PERSON
Consent of Proposed Guardians
Wel, WILLIAM L. WALLS and HELEN L. WALLS, of 641 Magaro Road, Enola,
Pennsylvania, do hereby certify that we are willing to act as Guardians of the Person
and Estate of LESLIE LOUISE WALLS, an alleged incapacitated parson, if the Court
shall so appoint.
Further, we do hereby certify that we am not fiduciaries of any estate in which
the alleged incapacitated person has an interest, nor have we any interest adverse to
the alleged incapacitated person.
The facts and opinions contained herein are true and correct to the best of our
knowledge, information and belief.
Dated ~ >..~q
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WILLIAM L. WALLS
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HELEN L. WALLS