HomeMy WebLinkAbout01-20-12 ra
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IN THE COURT OF COMMON PLEAS OF ~'
CUMBERLAND COUNTY, PENNSYLVANIA '~
IN RE: ~`' ° u~
ESTATE OF DAVID H. CLOUSER ORPHAN'S COURT v1
N0.21-2009-0204
RESPONDENT'S ANSWER TO
PETITIONER'S PETITION FOR ~ RF~CI~h
L Admitted.
2. Admitted.
3. Admitted.
4. Admitted in part. Denied in part. It is admitted that Petitioner has come before this
Court on numerous occasions, but it is denied that this Court is in any way
responsible for the hardships complained of herein by Petitioner. By way of further
answer, Respondent is also not responsible for those hardships.
5. Denied. Respondent has no personal knowledge concerning Petitioner's averment
and therefor, must deny it.
6. Denied. Petitioner seeks to interpret the contents of the Decedent's Will which is a
conclusion of law.
7. Denied. Respondent has attempted to resolve issues with Petitioner, and remains
willing to cooperate.
8. Denied. This allegation is in conflict with this Court's Order of June 27, 2012,
inasmuch as the rent is concerned.
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9. Denied. To the extent that Petitioner has incurred legal fees, such fees have lazgely
been incurred as a result of his own behavior.
10. Admitted.
WHEREFORE, your Respondent prays this Honorable will deny the relief requested by
Petitioner.
NEW MATTER
11. The responses to paragraphs one through ten above aze incorporated herein.
12. Respondent tried to work with Petitioner in June, July and August of this past yeaz to
resolve these issues, but did not receive cooperation from Petitioner at that time.
13. Two (2) months later Respondent received a request for a status update, but nothing
had happened since August.
14. Now, Petitioner files this Petition complaining about matters for which he in lazge
Part created.
Wherefore, respondent prays that this Court will establish new deadlines within which
both parties must move and sell all personalty belonging to the estate. And further, Respondent
requests this Court to set a date by which the real property is to be listed for sale considering the
property as in its current condition.
Respectfully sub 'tted,
R. Mazk Thomas, Esq.
CERTIFICATE OF SERVICE
I, R. Mazk Thomas, Esquire, hereby certify that I have served a true and correct copy of
the within document on the following person by depositing a true and correct copy of the same in
the U.S. Mail at Mechanicsburg, Pennsylvania, First Class Postage pre-paid, addressed to:
Michael O. Palermo
17 West south Street
Cazlisle, PA 17013
Date: January 20, 2012
R. Mazk Thomas, Esq.