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IN THE MATTER OF
KAMERIN P. JUMPER, a minor
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1N THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY,
PENNSYLVANIA
ORPHAN'S COURT DIVISION
NO. t~~' ~~' ~~'
GUARDIANSHIP -MINOR
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IVIINOR OVER THE AGE OF FOURTEEN YEARS PURSUANT TO ?~0 PA C S A
SECTION 5111
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AND NOW, this %L~ day of January, 2011, comes Kamerin P. Jumper, by and
through her attorneys, Salzmann Hughes, P.C., and makes the following Petition for
Appointment of Guazdian of the Estate of a Minor over the Age of Fourteen Years for Kamerin
P. Jumper as follows:
1. The Petitioner is Kamerin P. Jumper, a minor, age 16, born on July 6, 1994, and residing
at 658 Hillcrest Drive, Carlisle, Pennsylvania, with her natural mother, Kendra Hatch.
2. The natural father of the Petitioner, Curtis A. Jumper, died intestate on September 22,
2010, with a last principal residence of 13 West Springville Road, Boiling Springs,
Cumberland County, Pennsylvania, 17007.
3. Petitioner's estate will be comprised of the property, both probate and non-probate, she
inherits from her natural father, Curtis A. Jumper.
4. Upon information and belief, Petitioner's estate is comprised of the following property
with the following approximate values:
• 1/3'~ of real estate at 13 W. Springville Rd., Boiling Springs,
Cumberland County, Pennsylvania 17007 $13,000.00
• 1/3`~ beneficiary of Thrift Savings Plan $50 000.00
• 1/3'~ share of Met Life Insurance proceeds $24 333.33
• State Farm Life Insurance proceeds $10 852.79
Approximate Total: $98,186.12
5. The proposed co-guazdians, DAVID C. HATCH, stepfather, and KENDRA C. HATCH,
natural mother, are adult individuals who reside with the Petitioner at 658 Hillcrest Drive,
Carlisle, Cumberland County, Pennsylvania.
6. T'he consent of the proposed co-guardians is attached as Exhibit A.
7. T'he Petitioner has no guardian of her estate and the appointment of a guazdian of her
estate is necessary for the Petitioner to receive death benefits from the MetLife Insurance
Company with an approximate balance of $24,333.33.
8. An accounting will be filed by the proposed co-guardians at the discretion of the Court in
accordance with 20 Pa. C.S.A. Section 5161.
9. It is requested that bond be waived in accordance with 20 Pa. C.S.A. Section 5122, due to
the fact that the w-guardianship is being requested by the Petitioners natural mother and
her stepfather.
10. The proposed co-guardian, Kendra C. Hatch, is co-administrator of the estate of Curtis A.
Jumper. Proposed co-guardian, David C. Hatch, has no interest adverse to the minor.
WHEREFORE, Petitioner respectfully requests this Honorable Court appoint David C.
Hatch and Kendra C. Hatch as co-guardians of her estate.
Respectfully Submitted:
SALZMANNHUGHES, P. C.
Dated:. U~r+4~,~ ~ / za 1 / By: ~~. ~ ~'~~~
George F. Douglas, III, Esquire
Supreme Court I.D. #61886
354 Alexander Spring Road, Suite 1
Carlisle, PA 17015
Phone: (717) 249-6333
Attorney for Kamerin P. Jumper
1N THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PENNSYLVANIA
ORPHAN'S COURT DIVISION
NO.
ESTATE OF KAMERIN P. JUMPER, MINOR
CONSENT TO SERVE AS CO-GUARDIAN
OF THE ESTATE
I, DAVID C. HATCH, do hexeby consent to serve as Co-Guardian of the Estate of my
stepdaughter, KAMERIN P. JUMPER, a minor.
I am a citizen of the United States and reside at 658 Hillcrest Drive, Carlisle,
Pennsylvania, 17015.
I can read, write and speak the English language.
I have no interest adverse to Kamerin P. Jumper.
DAVID C. HATCH
EXHIBIT "A"
IN THE COURT OF COMMON PLEAS
OF CUMBERLAND COUNTY, PENNSYLVANIA
ORPHAN'S COURT DIVISION
NO.
ESTATE OF KAMERIN P. JUMPER, MINOR
CONSENT TO SERVE AS CO-GUARDIAN
OF THE ESTATE
I, KENDRA C. HATCH, do hereby consent to serve as Co-Guardian of the Estate of my
daughter, KAMERIN P. JUMPER, a minor.
I am a citizen of the United States and reside at 6S8 Hillerest Drive, Carlisle,
Pennsylvania, 17015.
I can read, write and speak the English language.
I have no interest adverse to Kamerin P. Jumper.
i
DRA C. HATCH
EXHIBIT "A"
CERTIFICATE OF SERVICE
I, George F. Douglas, III, of Salzmann Hughes, P.C., hereby certify that a copy of the
foregoing Petition was served this date by depositing the same in the Post Office at Carlisle,
Pennsylvania, first class mail, postage prepaid, addressed as follows:
Kamerin P. Jumper
c/o Kendra C. Hatch
658 Hillcrest Drive
Carlisle, PA 17015
David C. Hatch
Kendra C. Hatch
658 Hillcrest Drive
Carlisle, PA 17015
Respectfully Submitted,
SALZMANN HUGHES, P.C.
Date• ~-o t 261
By ~
George F. Douglas, III, Esquire
Attorney ID: 61886
354 Alexander Spring Road, Suite 1
Carlisle, PA 17015
(717)249-6333