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HomeMy WebLinkAbout11-14-07 : IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY PENNSYLVANIA IN RE: Lieselotte Schall, : DOCKET NUMBER: 21-07-0987 a/k/a Rosemary L. Schall : : EMERGENCY GUARDIANSHIP PETITION FOR APPOINTMBNT OF PERMANENT PLENARY GUARDIANS OF THE PERSON AND ESTATE PURSUANT TO 20 P.S. §5511 AND NOW, this day of November, 2007, comes the Petitioner, Cumberland County Aging & Community Services, by and through it's Solicitor, Anthony L. DeLuca, Esquire, and files this Petition for Appointment of Permanent Plenary Guardians of the Person and Estate of Lieselotte Schall, a1k/a Rosemary L. Schall,based upon the following: l. On or about November 1, 2007, Carlisle Regional Medical Center filed an Emergency Petition for Temporary Guardianship of the Person of Lieselotte Schall, a1k/a Rosemary L. Schall, which resulted in a Hearing being scheduled for November 5, 2007. 2. A Hearing was held on this matter on November 5, 2007 and, upon conclusion of the Hearing, the Court found that Lieselotte Schall, a/k/a Rosemary L. Schall was adjudicated an incapacitated person on an emergency basis and Petitioner was appointed Emergency Plenary Guardian of the Person of Lieselotte Schall, a/k/a Rosemary L.� � � ,.W► �=�-� --: ,;:_,., Schall. � � � �_�_�� �� .�y�"Gr' ` 1u 4�,..t Y'�"1 ��l3� .�" ���. t4f Jr V' � w��. {~,r-T_i� y vp �..�...i � �"`� 7`�_-'�'f � �'''''�"_•} �� '1':� ♦ / 3. The Cumberland County Aging & Community Services is willing to continue as Permanent Plenary Guardian of the Person and Estate of Lieselotte Schall, a/k/a Rosemary L. Schall. 4. The proposed guardian has no interest which is adverse to the interest of Lieselotte Schall, a/k/a Rosemary L. Schall. 5. Petitioner incorporates by reference all of the averments set forth in the Emergency Petition for Temporary Guardianship of the Person and further avers that her incapacity affects her ability to conduct and handle her financial affairs. 6. The only known relatives of the alleged incapacitated person are: A. Mara Shall—Daughter 3323 North Second Street Harrisburg, PA 17110 B. Rose Herman—Daughter 15246 Thomas Avenue Allen Park, Michigan 48101 C. John Schall—Son 2685 Ritner Highway Carlisle, PA 17015 D. Martin Schall— Son P.O. Box 836 Nokomis, Florida 34274 �. Petitioner believes and therefore avers that the income of Lieselotte Schall, a/k/a Rosemary L. Schall consists of monthly social security in the amount of$713.00. 8. Petitioner asserts that Lieselotte Schall, a/k/a Rosemary L. Schall, is incapacitated as defined in Chapter 55 of the Probate Estates and Fiduciaries Code. 9. Because of her impaired mental condition, Lieselotte Schall, a/k/a Rosemary L. Schall, lacks the capacity to provide for her own personal care and maintenance. 10. Because of her impaired mental condition, Lieselotte Schall, a/k/a Rosemary L. Schall, is unable to manage her financial affairs, property and business and to make and communicate responsible decisions relating thereto. 11. A Power of Attorney would be a less restrictive alternative than Guardianship but none exists to the knowledge of the Petitioner. 12. No member of Lieselotte Schall, a/k/a Rosemary L. Schall's family is in a position to assume responsibility as Guardian of her Person and Estate. 13. The failure to appoint Petitioner as Permanent Plenary Guardian of her Person and Estate would result in irreparable harm to the person and estate of Lieselotte Schall, a1k/a Rosemary L. Schall. 14. Petitioner avers that the emergency has continued beyond 72 hours and, therefore, seeks to extend the time of the Emergency Order an additional twenty(20) days. 15. Counsel for Lieselotte Schall, a!k/a Rosemary L. Schall does not object to the 20 day extension. 16. Petitioner, if appointed as Guardian, requests that it be compensated for said services pursuant to the rules and regulations set forth by the Department of Public Welfare. - WHEREFORE, the Petitioner respectfully requests that: l. Pursuant to 20 Pa. C.S.A. §5513, the Court find that the emergency necessitating the filing of the Emergency Petition will continue beyond seventy-two (72)hours from the date of the Emergency Order of November 6, 2007; 2. Pursuant to 20 Pa. C.S.A. §5513, the Court schedule a final Hearing on or within twenty(20) days from the date of the filing of this Petition; and 3. The Court appoint the Cumberland County Aging& Community Services as Permanent Plenary Guardians of the Person and Estate of Lieselotte Schall, a/k/a Rosemary L. Schall. 4. Petitioner be compensated for said services pursuant to the rules and regulations set forth by the Department of Public Welfare. Respectfully Submitted, C�c�� � Anthony L. eLuca, Esquire � 113 Front Street P.O. Box 358 Boiling Springs, PA 17007 (717) 258-6844 VERIFICATION I hereby verzfy that the facts and infarmatian set forth in t�.e foregoing Petition far Appointment of Permanent Plenary�-uardians pursuant to 20 P.S. §5511 of Lieselotte Scha11, a!k1a Rasemary L. Scha11 are true and correct to the best af my know�edge, information, and belief. I understand that any false statements contained herein are subject to the penalties of 18 Pa. C.S. Section 4904, relating ta unsworn falsification to authorities. Llated: ��� �'"� C.-Ja"��� �� �����- Janet Paull �