HomeMy WebLinkAbout11-02-12IN RE: IN THE COURT OF COMMON PLEAS OF
MARGARET B. MASTERS, CUMBERLAND COUNTY, PENNSYLVANIA
Living Person,
ORPHANS' COURT DIVISION
No. 21-12-1065
RESPONSE TO PETITION TO ALLOW CO-AGENTS UNDER DURABLE
POWER OF ATTORNEY TO MAKE ESTATE PLANNING GIFTS
Tri-County Planned Parenthood Association, Inc. ("Planned Parenthood"), by its
undersigned attorney, responds to the petition in this matter as follows:
1. Admits.
2. Admits in part and denies in part. Admits that Hackett and French are
acting as agents. The Durable Power of Attorney is a document that speaks for itself and any
averment that misconstrues or misinterprets it is specifically denied.
3. Admits in part and denies in part. Admits that Hackett and French are
named in the Durable Power of Attorney. The Durable Power of Attorney is a document that
speaks for itself and any averment that misconstrues or misinterprets it is specifically denied.
4. To the extent that the averments of this numbered paragraph state a legal
conclusion, no response is required. The remaining averments are denied in that, after
reasonable investigation, Planned Parenthood is without sufficient information to form a belief as
to the truth of the averments.
5. Denies. After reasonable investigation, Planned Parenthood is without
sufficient information to form a belief as to the truth of the averments.
6. Denies. The Durable Power of Attorney is a document th~~eaks for.~~
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itself and any averment that misconstrues or misinterprets it is specifically denied;; ; _}; `~~,
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7. The averments of this numbered paragraph state a legal conclusion to
which no response is required.
8. The averments of this numbered paragraph state a legal conclusion to
which no response is required.
9. The averments of this numbered paragraph state a legal conclusion to
which no response is required.
10. Denies. After reasonable investigation, Planned Parenthood is without
sufficient information to form a belief as to the truth of the averments, except that Planned
Parenthood specifically denies that Hackett and French have maintained Masters' regular pattern
of charitable gifting.
11. Denies. After reasonable investigation, Planned Parenthood is without
sufficient information to form a belief as to the truth of the averments.
12. The averments of this numbered paragraph state a legal conclusion to
which no response is required.
13. Denies. After reasonable investigation, Planned Parenthood is without
sufficient information to form a belief as to the truth of the averments.
14. Denies. After reasonable investigation, Planned Parenthood is without
sufficient information to form a belief as to the truth of the averments.
1 S. Denies. After reasonable investigation, Planned Parenthood is without
sufficient information to form a belief as to the truth of the averments.
16. Denies. After reasonable investigation, Planned Parenthood is without
sufficient information to form a belief as to the truth of the averments. By way of further
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response, however, the risk associated with changing tax rates was, in fact, present at the time
that the Durable Power of Attorney was executed.
17. Denies. After reasonable investigation, Planned Parenthood is without
sufficient information to form a belief as to the truth of the averments.
18. Denies. After reasonable investigation, Planned Parenthood is without
sufficient information to form a belief as to the truth of the averments.
19. Denies. After reasonable investigation, Planned Parenthood is without
sufficient information to form a belief as to the truth of the averments. Upon information and
belief, however, the premature loss of the income stream from the assets proposed to be gifted
will have a substantial impact upon Masters' residuary estate.
20. The averments of this numbered paragraph state a legal conclusion to
which no response is required.
21. The averments of this numbered paragraph state a legal conclusion to
which no response is required.
22. The averments of this numbered paragraph state a legal conclusion to
which no response is required.
23. The averments of this numbered paragraph state a legal conclusion and
request for judicial relief. To the extent that the averments state a legal conclusion, no response
is required. In response to the request for judicial relief, Planned Parenthood objects to the
extent that the charitable bequests will be negatively impacted by the proposed distribution.
24. Denies. After reasonable investigation, Planned Parenthood is without
sufficient information to form a belief as to the truth of the averments.
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WHEREFORE, Planned Parenthood objects to the proposed gifts unless and until
the impact upon the residuary charities can be assessed and addressed.
Respectfully submitted:
Thomas B. Schmidt, III (PA 19196)
Justin G. Weber (PA 89266)
PEPPER HAMILTON LLP
100 Market Street, Suite 200
P. O. Box 1181
Harrisburg, PA 17108-1181
717.25 5.115 5 (phone)
717.238.0575 (fax)
schmidtt@pepperlaw. com
weber] g@pepperlaw.com
November 1, 2012
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VERIFICATION
I, Thomas B. Schmidt, III, am attorney for Tri-County Planned Parenthood
Association, Inc. in the above-captioned action, and am authorized to make this verification on
its behalf. The facts set forth in the foregoing response are true and correct to the best of my
knowledge, information and belief. This verification is made subject to the penalties of 18 Pa.
C.S. § 4905 (unsworn falsification to authorities).
Thomas B. Schmidt, III
Date: November 1, 2012
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IN RE:
MARGARET B. MASTERS,
Living Person,
IN THE COURT OF COMMON PLEAS OF
CUMBERLAND COUNTY, PENNSYLVANIA
ORPHANS' COURT DIVISION
No. 21-12-1065
CERTIFICATE OF SERVICE
NOW, this 1St day of November, 2012, I, Thomas B. Schmidt, III, caused to be
served a true and correct copy of the foregoing Response to Petition to Allow Co-Agents Under
Durable Power of Attorney to Make Estate Planning Gifts by placing a true and correct copy of
same in the United States Mail, first class postage prepaid, to the following:
Thomas P. Gacki, Esquire
Eckert, Seamans, Cherin & Mellott
213 Market Street, 8th Floor
Harrisburg, PA 17108-1248
Heather Vance-Rittman, Esquire
Sr. Deputy Attorney General
Mark A. Pacella, Esquire
Chief Deputy Attorney General
Office of Attorney General
Charitable Trusts and Organizations Sect.
14th Floor, Strawberry Square
Harrisburg, PA 17120
Bryn Mawr College
Development Office, Helfarian
101 N. Merion Avenue
Bryn Mawr, PA 19010-2899
R. Scott Shearer, Esquire
Keefer, Wood, Allen & Rahal, LLP
210 Walnut Street
P.O. Box 11963
Harrisburg, PA 17108-1963
Thomas B. Schmidt, III
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