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CERTIFICATION OF NOTICE UNDER RULE 5.6(a) Name of Decedent: Ruth V. Jumper Date of Death: February 19, 2001 Estate No. 21-01-230 To the Register: I certify that notice of estate administration required by Rule 5.6(a) of the Orphans' Court Rules was served on or mailed to the following beneficiaries of the above-captioned estate on March 6, 2001. Name Address 1. Debra Jumper 1120 Rockledge Drive=' Carlisle, PA 17013 2. Wilmont Jumper 3. Luther Dean Jumper 4. Charolette Killinger 5. Galen Lee Jumper 6. Duane Jumper 7. Barry Jumper 8. Miley Jumper, Jr. 9. Gary Jumper 10. Bonnie McKee 11. Twila Stacker 1136 Rockledge Drive Carlisle, PA 17013 1120 Rockledge Drive Carlisle, PA 17013 945 Trindle Road Carlisle, PA 17013 230 Mulberry Avenue Carlisle, PA 17013 342 South Washington Street Mechanicsburg, PA 17055 30 Conrad Road Carlisle, PA 17013 37 "G" Street Carlisle, PA 17013 8 North High Street Newville, PA 17241 20 Kissme Road Newville, PA 17241 215 Hoffman Street Jackson, CA 95642 Notice has now been given to all persons entitled thereto under Rule 5.6(a) except None Date: March 6, 2001 ~, ~~~ , Dale F. S ugha Jr. 35 East High Street, Suite 203 Carlisle, PA 17013 Telephone (717) 241-4311 Capacity: Counsel for Personal Representative IMPORTANT NOTICE NOTICE OF ESTATE ADMINISTRATION THIS NOTICE DOES NOT MEAN THAT YOU WILL RECEIVE ANY MONEY OR PROPERTY FROM THIS ESTATE OR OTHERWISE Whether you will receive any money or property will be determined wholly or partly by the decedent's will. If the decedent died without a will, whether you will receive any money or property will be determined by the 1T]tP~rar.r i a~.,c ,.~ IMPORTANT NOTICE NOTICE OF ESTATE ADMINISTRATION THIS NOTICE DOES NOT MEAN THAT YOU WILL RECEIVE ANY MONEY OR PROPERTY FROM THIS ESTATE OR OTHERWISE Whether you will receive any money or property will be determined wholly or partly by the decedent's will. If the decedent died without a will, whether you will receive any money or property will be determined by the intestacy laws of Pennsylvania. BEFORE THE REGISTER OF WILLS, COUNTY OF CUMBERLAND, PENNSYLVANIA In re Estate of Ruth V. Jumper, deceased Estate No. 21-01-230 TO: Debra Jumper 1120 Rockledge Drive Carlisle, PA 17013 Please take notice of the death of decedent and the grant of letters to the personal representative(s) named below. The Decedent Ruth V. Jumper, died on the 19th day of February, 2001, at Carlisle, Cumberland County, Pennsylvania. The Decedent died testate. The personal representatives of the Decedent are: Debra Jumper 1120 Rockledge Drive Carlisle, PA 17013 John E. Killinger, Jr. 41 Yorwick Road Carlisle, PA 17013 A copy of the Will or Petition may be obtained by contacting the Register of Wills and paying the charges for duplication. Date: March 5, 2001 Dale F. Shughart, Jr. Attorney Supreme Court I.D. #19373 35 East High Street, Suite 203 Carlisle, PA 17013 Telephone (717) 241-4311 Capacity: Counsel for Personal Representative IMPORTANT NOTICE NOTICE OF ESTATE ADMINISTRATION THIS NOTICE DOES NOT MEAN THAT YOU WILL RECEIVE ANY MONEY OR PROPERTY FROM THIS ESTATE OR OTHERWISE Whether you will receive any money or property will be determined wholly or partly by the decedent's will. If the decedent died without a will, whether you will receive any money or property will be determined by the intestacy laws of Pennsylvania. BEFORE THE REGISTER OF WILLS, COUNTY OF CUMBERLAND, PENNSYLVANIA In re Estate of Ruth V. Jumper, deceased Estate No. 21-01-230 TO: Luther Dean Jumper 1120 Rockledge Drive Carlisle, PA 17013 Please take notice of the death of decedent and the grant of letters to the personal representative(s) named below. The Decedent Ruth V. Jumper, died on the 19th day of February, 2001, at Carlisle, Cumberland County, Pennsylvania. The Decedent died testate. The personal representatives of the Decedent are: Debra Jumper 1120 Rockledge Drive Carlisle, PA 17013 John E. Killinger, Jr. 41 Yorwick Road Carlisle, PA 17013 wilmont Jumper 1136 Rockledge Drive Carlisle, PA 17013 The will has been filed with the Office of the Register of Wills of Cumberland County. 1 Courthouse Square, Carlisle, PA 17013. Phone No. 717-240-6345. A copy of the Will or Petition may be obtained by contacting the Register of Wills and paying the charges for duplication. Date: March 5, 2001 Dale F. Shughart, Jr. Attorney Supreme Court I.D. #19373 35 East High Street, Suite 203 Carlisle, PA 17013 Telephone (717) 241-4311 Capacity: Counsel for Personal Representative IMPORTANT NOTICE NOTICE OF ESTATE ADMINISTRATION THIS NOTICE DOES NOT MEAN THAT YOU WILL RECEIVE ANY MONEY OR PROPERTY FROM THIS ESTATE OR OTHERWISE Whether you will receive any money or property will be determined wholly or partly by the decedent's will. If the decedent died without a will, whether you will receive any money or property will be determined by the intestacy laws of Pennsylvania. BEFORE THE REGISTER OF WILLS, COUNTY OF CUMBERLAND, PENNSYLVANIA In re Estate of Ruth V. Jumper, deceased Estate No. 21-01-230 TO: Charolette Killinger 945 Trindle Road Carlisle, PA 17013 Please take notice of the death of decedent and the grant of letters to the personal representative(s) named below. The Decedent Ruth V. Jumper, died on the 19th day of February, 2001, at Carlisle, Cumberland County, Pennsylvania. The Decedent died testate. The personal representatives of the Decedent are: Debra Jumper 1120 Rockledge Drive Carlisle, PA 17013 John E. Killinger, Jr. 41 Yorwick Road Carlisle, PA 17013 Wilmont Jumper 1136 Rockledge Drive Carlisle, PA 17013 The will has been filed with the Office of the Register of Wills of Cumberland County. 1 Courthouse Square, Carlisle, PA 17013. Phone No. 717-240-6345. A copy of the Will or Petition may be obtained by contacting the Register of Wills and paying the charges for duplication. Date: March 5, 2001 Dale F. Shughart, Jr. Attorney Supreme Court I.D. #19373 35 East High Street, Suite 203 Carlisle, PA 17013 Telephone (717) 241-4311 Capacity: Counsel for Personal Representative IMPORTANT NOTICE NOTICE OF ESTATE ADMINISTRATION THIS NOTICE DOE5 NOT MEAN THAT YOU WILL RECEIVE ANY MONEY OR PROPERTY FROM THIS ESTATE OR OTHERWISE Whether you will receive any money or property will be determined wholly or partly by the decedent's will. If the decedent died without a will, whether you will receive any money or property will be determined by the intestacy laws of Pennsylvania. BEFORE THE REGISTER OF WILLS, COUNTY OF CUMBERLAND, PENNSYLVANIA In re Estate of Ruth V. Jumper, deceased Estate No. 21-O1-230 TO: Galen Lee Jumper 230 Mulberry Avenue Carlisle, PA 17013 Please take notice of the death of decedent and the grant of letters to the personal representative(s) named below. The Decedent Ruth V. Jumper, died on the 19th day of February, 2001, at Carlisle, Cumberland County, Pennsylvania. The Decedent died testate. The personal representatives of the Decedent are: Debra Jumper 1120 Rockledge Drive Carlisle, PA 17013 John E. Killinger, Jr. 41 Yorwick Road Carlisle, PA 17013 Wilmont Jumper 1136 Rockledge Drive Carlisle, PA 17013 The will has been filed with the Office of the Register of Wills of Cumberland County. 1 Courthouse Square, Carlisle, PA 17013. Phone No. 717-240-6345. A copy of the Will or Petition may be obtained by contacting the Register of Wills and paying the charges for duplication. Date: March 5, 2001 Dale F. Shughart, Jr. Attorney Supreme Court I.D. #19373 35 East High Street, Suite 203 Carlisle, PA 17013 Telephone (717) 241-4311 Capacity: Counsel for Personal Representative IMPORTANT NOTICE NOTICE OF ESTATE ADMINISTRATION THIS NOTICE DOES NOT MEAN THAT YOU WILL RECEIVE ANY MONEY OR PROPERTY FROM THIS ESTATE OR OTHERWISE Whether you will receive any money or property will be determined wholly or partly by the decedent's will. If the decedent died without a will, whether you will receive any money or property will be determined by the intestacy laws of Pennsylvania. BEFORE THE REGISTER OF WILLS, COUNTY OF CUMBERLAND, PENNSYLVANIA In re Estate of Ruth V. Jumper, deceased Estate No. 21-01-230 TO: Duane Jumper 342 South Washington Street Mechanicsburg, PA 17055 Please take notice of the death of decedent and the grant of letters to the personal representative(s) named below. The Decedent Ruth V. Jumper, died on the 19th day of February, 2001, at Carlisle, Cumberland County, Pennsylvania. The Decedent died testate. The personal representatives of the Decedent are: Debra Jumper 1120 Rockledge Drive Carlisle, PA 17013 John E. Killinger, Jr. 41 Yorwick Road Carlisle, PA 17013 Wilmont Jumper 1136 Rockledge Drive Carlisle, PA 17013 The will has been filed with the Office of the Register of Wills of Cumberland County. 1 Courthouse Square, Carlisle, PA 17013. Phone No. 717-240-6345. A copy of the Will or Petition may be obtained by contacting the Register of Wills and paying the charges for duplication. Date: March 5, 2001 Dale F. Shughart, Jr. Attorney Supreme Court I.D. #19373 35 East High Street, Suite 203 Carlisle, PA 17013 Telephone (717) 241-4311 Capacity: Counsel for Personal Representative IMPORTANT NOTICE NOTICE OF ESTATE ADMINISTRATION THIS NOTICE DOES NOT MEAN THAT YOU WILL RECEIVE ANY MONEY OR PROPERTY FROM THIS ESTATE OR OTHERWISE Whether you will receive any money or property will be determined wholly or partly by the decedent's will. If the decedent died without a will, whether you will receive any money or property will be determined by the intestacy laws of Pennsylvania. BEFORE THE REGISTER OF WILLS, COUNTY OF CUMBERLAND, PENNSYLVANIA In re Estate of Ruth V. Jumper, deceased Estate No. 21-O1-230 TO: Barry Jumper 30 Conrad Road Carlisle, PA 17013 Please take notice of the death of decedent and the grant of letters to the personal representative(s) named below. The Decedent Ruth V. Jumper, died on the 19th day of February, 2001, at Carlisle, Cumberland County, Pennsylvania. The Decedent died testate. The personal representatives of the Decedent are: Debra Jumper 1120 Rockledge Drive Carlisle, PA 17013 John E. Killinger, Jr. 41 Yorwick Road Carlisle, PA 17013 Wilmont Jumper 1136 Rockledge Drive Carlisle, PA 17013 The will has been filed with the Office of the Register of Wills of Cumberland County. 1 Courthouse Square, Carlisle, PA 17013. Phone No. 717-240-6345. A copy of the Will or Petition may be obtained by contacting the Register of Wills and paying the charges for duplication. Date: March 5, 2001 Dale F. Shughart, Jr. Attorney Supreme Court I.D. #19373 35 East High Street, Suite 203 Carlisle, PA 17013 Telephone (717) 241-4311 Capacity: Counsel for Personal Representative IMPORTANT NOTICE NOTICE OF ESTATE ADMINISTRATION THIS NOTICE DOES NOT MEAN THAT YOU WILL RECEIVE ANY MONEY OR PROPERTY FROM THIS ESTATE OR OTHERWISE Whether you will receive any money or property will be determined wholly or partly by the decedent's will. If the decedent died without a will, whether you will receive any money or property will be determined by the intestacy laws of Pennsylvania. BEFORE THE REGISTER OF WILLS, COUNTY OF CUMBERLAND, PENNSYLVANIA In re Estate of Ruth V. Jumper, deceased Estate No. 21-01-230 TO: Miley Jumper, Jr. 37 "G" Street Carlisle, PA 17013 Please take notice of the death of decedent and the grant of letters to the personal representative(s) named below. The Decedent Ruth V. Jumper, died on the 19th day of February, 2001, at Carlisle, Cumberland County, Pennsylvania. The Decedent died testate. The personal representatives of the Decedent are: Debra Jumper 1120 Rockledge Drive Carlisle, PA 17013 John E. Killinger, Jr. 41 Yorwick Road Carlisle, PA 17013 Wilmont Jumper 1136 Rockledge Drive Carlisle, PA 17013 The will has been filed with the Office of the Register of Wills of Cumberland County. 1 Courthouse Square, Carlisle, PA 17013. Phone No. 717-240-6345. A copy of the Will or Petition may be obtained by contacting the Register of Wills and paying the charges for duplication. Date: March 5, 2001 Dale F. Shughart, Jr. Attorney Supreme Court I.D. #19373 35 East High Street, Suite 203 Carlisle, PA 17013 Telephone (717) 241-4311 Capacity: Counsel for Personal Representative IMPORTANT NOTICE NOTICE OF ESTATE ADMINISTRATION THIS NOTICE DOES NOT MEAN THAT YOU WILL RECEIVE ANY MONEY OR PROPERTY FROM THIS ESTATE OR OTHERWISE Whether you will receive any money or property will be determined wholly or partly by the decedent's will. If the decedent died without a will, whether you will receive any money or property will be determined by the intestacy laws of Pennsylvania. BEFORE THE REGISTER OF WILLS, COUNTY OF CUMBERLAND, PENNSYLVANIA In re Estate of Ruth V. Jumper, deceased Estate No. 21-01-230 TO: Gary Jumper 8 North High Street Newville, PA 17241 Please take notice of the death of decedent and the grant of letters to the personal representative(s) named below. The Decedent Ruth V. Jumper, died on the 19th day of February, 2001, at Carlisle, Cumberland County, Pennsylvania. The Decedent died testate. The personal representatives of the Decedent are: Debra Jumper 1120 Rockledge Drive Carlisle, PA 17013 John E. Killinger, Jr. 41 Yorwick Road Carlisle, PA 17013 Wilmont Jumper 1136 Rockledge Drive Carlisle, PA 17013 The will has been filed with the Office of the Register of Wills of Cumberland County. 1 Courthouse Square, Carlisle, PA 17013. Phone No. 717-240-6345. A copy of the Will or Petition may be obtained by contacting the Register of Wills and paying the charges for duplication. Date: March 5, 2001 Dale F. Shughart, Jr. Attorney Supreme Court I.D. #19373 35 East High Street, Suite 203 Carlisle, PA 17013 Telephone (717) 241-4311 Capacity: Counsel for Personal Representative IMPORTANT NOTICE NOTICE OF ESTATE ADMINISTRATION THIS NOTICE DOES NOT MEAN THAT YOU WILL RECEIVE ANY MONEY OR PROPERTY FROM THIS ESTATE OR OTHERWISE Whether you will receive any money or property will be determined wholly or partly by the decedent's will. If the decedent died without a will, whether you will receive any money or property will be determined by the intestacy laws of Pennsylvania. BEFORE THE REGISTER OF WILLS, COUNTY OF CUMBERLAND, PENNSYLVANIA In re Estate of Ruth V. Jumper, deceased Estate No. 21-01-230 TO: Bonnie McKee 20 Kissme Road Newville, PA 17241 Please take notice of the death of decedent and the grant of letters to the personal representative(s) named below. The Decedent Ruth V. Jumper, died on the 19th day of February, 2001, at Carlisle, Cumberland County, Pennsylvania. The Decedent died testate. The personal representatives of the Decedent are: Debra Jumper 1120 Rockledge Drive Carlisle, PA 17013 John E. Killinger, Jr. 41 Yorwick Road Carlisle, PA 17013 Wilmont Jumper 1136 Rockledge Drive Carlisle, PA 17013 The will has been filed with the Office of the Register of Wills of Cumberland County. 1 Courthouse Square, Carlisle, PA 17013. Phone No. 717-240-6345. A copy of the Will or Petition may be obtained by contacting the Register of Wills and paying the charges for duplication. Date: March 5, 2001 Dale F. Shughart, Jr. Attorney Supreme Court I.D. #19373 35 East High Street, Suite 203 Carlisle, PA 17013 Telephone (717) 241-4311 Capacity: Counsel for Personal Representative IMPORTAN'T' NOTICE NOTICE OF ESTATE ADMINISTRATION THIS NOTICE DOES NOT MEAN THAT YOU WILL RECEIVE ANY MONEY OR PROPERTY FROM THIS ESTATE OR OTHERWISE Whether you will receive any money or property will be determined wholly or partly by the decedent's will. If the decedent died without a will, whether you will receive any money or property will be determined by the intestacy laws of Pennsylvania. BEFORE THE REGISTER OF WILLS, COUNTY OF CUMBERLAND, PENNSYLVANIA In re Estate of Ruth V. Jumper, deceased Estate No. 21-O1-230 TO: Twila Stacker 215 Hoffman Street Jackson, CA 95642 Please take notice of the death of decedent and the grant of letters to the personal representative(s) named below. The Decedent Ruth V. Jumper, died on the 19th day of February, 2001, at Carlisle, Cumberland County, Pennsylvania. The Decedent died testate. The personal representatives of the Decedent are: Debra Jumper 1120 Rockledge Drive Carlisle, PA 17013 John E. Killinger, Jr. 41 Yorwick Road Carlisle, PA 17013 Wilmont Jumper 1136 Rockledge Drive Carlisle, PA 17013 The will has been filed with the Office of the Register of Wills of Cumberland County. 1 Courthouse Square, Carlisle, PA 17013. Phone No. 717-240-6345. A copy of the Will or Petition may be obtained by contacting the Register of Wills and paying the charges for duplication. Date: March 5, 2001 Dale F. Shughart, Jr. Attorney Supreme Court I.D. ##19373 35 East High Street, Suite 203 Carlisle, PA 17013 Telephone (717) 241-4311 Capacity: Counsel for Personal Representative 21 -01 -230 REGISTER OF WILLS OF CUMBERLAND COUNTY OATH OF SUBSCRIBING WITNESS Dale F. Shu~hart Jr and Debra C Tumper , (each) a subscribing witness to the will presented herewith, (each) being duly qualified according to law, depose(s) and say(s) that t h e X present and saw Ruth V. Jumper , the testat r i x ,sign the same and that they signed as a witness at the request of testat r i x in lt~~ presence and (in t pr Bence e c of er (in the presence of the other subscribing witness(es)). v Sworn to or affirmed and subscribed before D a l e F. S h u art J r. me this 27TH day of ame) F RU Y ~ 1 35 East High Street, Ste 203 Address) C a r l i s l e, P A 17 013 MARY C LEWIS Regis - Name) Debra C. Jumper 1120 Rockledge Drive, Carlisle, PA (Address) 17 013 REGISTER OF WILLS OF COUNTY •- OATH OF NON-SUBSCRIBING WITNESS (each) a subscriber hereto, (each) being duly ~ familiar with J testat of (one "of the subscribing wit that ed according to law, depose(s) and say(s) that signature of codicil to) the will believes the signature to the best of ltnowledge and belief. Sworn to or affirmed and subscribed before me this da~~~of Register herewith and ~ codicil will is in the handwriting of !Name) (Address) (Name) (Address) 105.805 REV 9186 This is to certify that the information here given is correctly copied from an original certificate of death duly filed with me as Local Registrar. The original certificate will be forwarded to the State Vital Records Office for pertnanenr filing. WARNING: It is illegal to duplicate this copy by photostat or photograph. Fee for this certificate, $2.00 P 6948351 No. ~~C~~ Local Registrar FEB222001 Date 1105.tt3 Rev. 7157 COMMONWEALTH OF PENNSYLVANIA • DEPARTMENT OF HEALTH • VITAL RECORDS CERTIFICATE OF DEATH E NI NAME OF DECEDENT Ii.v. Mdse. LSel SEK SOCIAL SECURITY NUMBER DATE OF OEATN,Menn. Wy.'RLI male ,. Ruth Virginia Jumper Fe ,. 1 - 0 -8709 February 19,2001 AGE IUp B:IM,N LINGER 1 YEAR LINGER 1 DAY DATE OF &RTN SUTTMPUCE (Cly,ro PUCE OF OERH ICMCA oMy one- see v+Nruclan an ome, noel Md,IV . Wye Noure M'rllAn !Mpmn. DaY.'4er1 SrorodidapnCwNrN ' Mar h 0 S{h•~1 e' sbur n 88 ~ ' HOSPITAL:. OTHER: '^M'»^'~ EPoQApO»M u DGA^ NaM o R.eMl.nu^ S ~e[d ^ Yre. ~ 1 r lilt :. ~ .. 9 ,. e a . , p l ... _ COUNTY Of DERN CT: BORO. TWP OF DEATH iACILRY NAME pI rol mp~RAron, pve s,rM,M nMnosrl NRSoE CEDEM OF HISPANIC ORMaM7 ~E~ m,ncen ple»n. Bl,ce. Wnte. eec. No[~, re. ^ N yN. cp.tb pA,n , IA.,,iirL-IronpRe:en..rc. Carlisle Hospital White Carlisle Cumberland • ' 70. ~ ~ a pECEDEM'SUSUAL OCCUPA7NJN KIND OF BUSINESSANDUSTRV YYIS DECEpEM EVER IN DECEDENT'S EOUCRION MARITAL STdl13-Men»d SVRVMNG SPOUSE S] N IX wN, q,ve moon n,rrwl U.S. MMED Fp~ E ,.F , (Give NM d epF Ovule dM rlgp eleerLll,Ee»;denel~,.~r.d' Own Home ~.^ Nelj7. EMmenu~i9newr10erY CeX.E. Widow d'OV~` k „. ,,, n • „~ Housewife ,,.. ,,. „• DECEDENT'S MAKWO ADDRESS ($XeeL Ciy/W+n.9r.ZDCode1 DECEOENr'S I~ SOUth Ml e a.c.e.n,f+.eln. I.p Pennsylvania ad „e l( ~'M 1120 Rockledge Drive . . , , ACTUAL ,Te.Sroro RESIDENCE e.c.d.M ~~Carlisle,Pennsylvan' 013 "'°°'~°"~ Cumberland b~"A.„ew] 17e.^ ~~a 17b. «~ FIQNER'S NAME (FnL Mboro. Uel) George S. Hock MOTHER'S NAME (FYp. MdUe. Made •ulrrrrorrro „• Lulu. Burkholder WFOf~""T•5 ~` ~mo ~ ,oRMA~T~~+~NDADDRESS ~~~ Carlisle,pennsylvanial C e rive k ed t D. Jumper i ]e.. , g Roc METHOD OF pSPOSrt DATE OF pSPOSRgN PUCE OF DISPOSrtgN•Nmroof Cempery, Crpenay LOCRgN-Ciry/,a.11,5We. I4 Caw &„M Dr.m.,4r,^ R.Rw..lea,sul.^ ""°""•0iK""' era"ir°1eCe Wg gtml n North Middleton Tw . ~ ~ G d~~ens DelroOOn^ olMr ~,+ ^ ~'ebruar 23 2001 MemOT'131 {',timberland County, enna y F ,,, _ • _~~ e $KiNRURE OF FUNERAL SERVICE LICENSEE OR PERSON ACTING AS SUCH LICENSE NUILr@ERr21 L NAME~ANOAOOSf,•~SQfTYrs S ~ ariOV r re V ~j3}j~•oO RG' 9- ~1 O1 ~ ~ O ing vania e Penns rlis _ :se U Canpele e.me 4]ee erM' wnerl t•rI1Mn0 b m, cep o1 my Mnewro00e, d.,m oaume,llM Imro, eela.ne Bete prt,d. LICENSE NUMBER DIQE 91GNED pAOT pry YaeA p1,ye'rl,n~rla sveAepro Mime al eeemq ewTp,l . . • epW uueedd.am. _ ~ ]x. ]x. Xeer 242emW WCOmprotW ey ME OF GERM DATE PRONOVNCEO DEAD (MMM, Day. Year1 WASC REFERRED IO ME EIUMINERICOi10NER7 ~/ ^ Ne10 +a e pwaon.ro pmnpuncee ae.,n. H _,. MITT 1: Enter XM o»e,l1a, injure p terrlplK,nerro wnicn e,u,ee IM atm. Do not emer IM noes e1 oNnq, n a3 diet or raepiril0ry anent, SMCk ar M,R roaure. I Appmeuntle PMT X: Q1ror epni0cenl wndeiorr WMroulYq ro eem. DM ~~n n0l reeUlYlp inlM UrWrlyMq eJIM,Iiren it PARTI. Lip oMypro uwe on eaN int. I I OMp end dNXI MIEDIAT! CAUSE IF'mM /~ I ele,eeeoceneili0n ~1~LD~s/$ li~ i C- T- rwJergneseel)-. a. DUE IOIOR ASAC WENCE Of$ '- I XrryroeQogbnrneu~IM o DUE TO (ON ASA CONSEWENCE OF): nr... EMw uNDERLrxa ; • CAUfE(Onew a+pAy c. .. • er eNMeO event OUE TO IOR AS A CONSEQUENCE OF): reswrq n eaeml LAST d. • WAS MAIJTOPSV WERE AUTOPSY FINDINGS MANNER OF DEATH GATE OFIWVRY TIME OFIWURY IN,NRY AT WORK] DESCRIBE NpWINJURV OCCURRED. PERFORMEO7 AMULASIE PRgR TO N F CA SE (Horror. DeK Yeti) COMPLETM) O U ^ NMUrtl ~ NombiO, OF DERl19 A ^ Ne ^ ActoeM ^ wrleirre lnvefuq,llon ^ ]00. M. ]Ot. ]00 yYe ^ N0~ Yee ^ No ^ SuiciM ^ CpuldM eedewrmmed ^ PLACE Oi XiJUPY-Myome, roan, area. Mtipy. oMke LOCQION rybew. CAy/f .SWeI DuilolnO, BIG ISpecevl ]e.. ]ee. ]e. ]o•. ]a. CERi,Fl£R IChenl ori1' one( F CE IFIER SIGNATURE AryQT1TLE O •CERTXryX1G PNYSICIANlPnyvc»n tentYrlW ta,XedenNvAln,nellls pnyptrM MSprMp/,tee daalnaro COmgNed Gem 731 ~ ~/~ / l / ( ' ` To Ule Cee, e1 my Xrlevledge, de,tl, oceurled Ow ee O,e e,use(e) end menney n tle,ed ..............................................."" ~ V i .l~( µ " ],0. BER r~ DATE SKiNEDIMIKA. O,y, Ys,r1 M LICENSE NU ~ •-RpIM]IINCING AND CERTIFYING PHYSKIAN IPny,aen eom:vano,morq oealn+ro tendYn9lo c,uaeW aeaml {~T ,n0 due le dro t,uwlel,ne manner n e41M ............ . ........... • • ^ llM tlm d,U n0 lea, M d f 1 ],4 ~b• ~9 ~fl~ ]1e. My C3~d p , ptturre , e, . e N+, Beet el my MrowNdge, de, S(~N WNO Cn..]PrLETEO CAUSE OF DEATH NAME MD ADDRESS OF PE V I e (Item 271 Type ar Print ~(A . '/"Y'/%/ "P'~ -MEDICAL EXAMIN£R/CORONER On Xye Oeeb of e„mine,lon and/or Inveetlg,lion, in my opinion, dee,/l oteurred ,I,fte time, dale, ,ntl place, one due to tl+e eeuse(,) and ................................. ^ .... I1j~ ~yT N' /~/H ~ 7G(rf r ~^y s ' /g'~' S F ~( . e,alner ,e Bea,b ........................ . .... . .............................. ]u. P 7s. M "7 REGISTRAR'S SIGNATURE ANO NU ~-~-~ ~ A ~ DATE FILED (MpM. aoo 1 ~ ~ r c . . W ]] ~ ],. , . ~ ~1" umberland County - Register Of Wills One Courthouse Square Carlisle, PA 17013 Phone:(717) 240-6345 Date: 1/10/2005 DEBRA JUMPER 1120 ROCKLEDGE DRIVE CARLISLE, PA 17013 RE: Estate of JUMPER RUTH V File Number: 2001-00230 Dear Sir/Madam: It has come to my attention that you have not filed the Status Report by Personal Representative (Rule 6.12) in the above captioned estate. As per the AMENDMENTS TO SUPREME COURT ORPHANS' COURT RULES, NO. 103 SUPREME COURT RULES DOCKET NO. 1, for decedents dying on or after July 1, 1992, the personal representative or his counsel, within two (2) years of the decedent's death, shall file with the Register of Wills a Status Report of completed or uncompleted administration. This filing will become delinquent on: 2/19/2005 Your prompt attention to this matter will be appreciated. Thank You. S ' ncerel~r, ~.~~ GLENDA FARNER STRASBAUGH REGISTER OF WILLS cc: File Counsel Judge 'JUN 2 5 2D0~ ~ ~; : IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER, :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED NO.21-2001-0230 ORPHANS COURT DIVISION Rule to Show Cause AND NOW, this ~ day of 2007, a Rule to show Cause is hereby issued upon Defendant to show cause why the Petition to Compel Sale of Real Property filed by Plaintiff should not be granted. Defendant shall have (20) days from service in which to file a response to Plaintiff's Petition. Failure to do so will result in the Plaintiff s Petition being granted upon proper filing of a Rule Absolute. Counsel for Plaintiff shall cause to be served on Defendant. J. 3 n ....J ~.%,i `7 ~'"' ` _T~ -~ r.. N s.. x_.~ ~-~ ~ ,~ F~l ~ ~ _ l.. J y ~ , °1 i ~ J ~ N ..-. ,- ORPHANS' COURT DIVISION COURT OF COMMON PLEAS OF In Re: EST OF RUTH V JUMPER CUMBERLAND COUNTY PENNSYLVANIA N0.21-01-0230 ORDER DATE JUDGE'S INITIALS: TIME STAMP DATE: CERTIFICATE OF SERVICE OF ORDER 06/26/07 EEG 06!26/07 IN RE: RULE TO SHOW CAUSE SERVICE TO: RICHARD MISLITSKY CHRISTOPHER RICE CARL RISCH METHOD OF MAILING: ENVELOPES PROVIDED BY: ® USPS ^ RRR ^ HAND DELIVERED ^ OTHER MAILED: 06!27107 SERVICE TO: ® PETITIONER ^ JUDGE ^ CLERK OF ORPHANS COURT METHOD OF MAILING: ^ USPS ^ RRR ^ HAND DELIVERED ^ OTHER MAILED ENVELOPES PROVIDED BY: ^ PETITIONER ^ JUDGE ^ CLERK OF ORPHANS COURT ,~b~pu Clerk of Orphans' Court ~ ~; IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED . N0.21-2001-0230 :~ c_,. ORPHANS' COURT DIVISION °'~ ~ ~~ ~ Petition to Compel Sale of Real Property~~~~ ~ L~~ ,,,d AND NOW comes Galen Jumper, by and through his attorney Richard P. ABrs~i'tsky, an ~ w requests this Honorable Court to compel the Executors of the above estate to sell the real property of the estate and in support thereof avers as follows: 1. Petitioner Galen Jumper is the son of the decedent and one of several beneficiaries under the Last Will and Testament of Ruth V. Jumper. 2. On February 26, 2007, Petitioner herein filed a Petition to Compel Sale of Real Property. The Petition is attached herewith as exhibit A and is incorporated herein by reference. 3. Pursuant to the aforementioned Petition, a hearing was held before Judge Guido and present were Buz Wolfe, the realtor for the executors; Carl Risch, Esquire, attorney for the executors; and Daniel J. Menniti, Esquire, representing Richard P. Mislitsky, Esquire, attorney for the Petitioner. 4. The Court was informed of an offer from Mr. Harold Stoneberger who made an offer to purchase the land as is for $550,000. It was explained that although the land was worth more than that, it would require thousands of dollars to clean it up and consequently Mr. Stoneberger arrived at the figure of $550,000. 5. It was pointed out that Attorney Risch, speaking for his clients, held that they wanted $900,000 for the property as is and consequently the offer was not acceptable to his t=-~-~ _ ~ ---, ~~~ ~ T , r ~+3 ., clients. 6. The hearing concluded with Judge Guido issuing an Order granting the executors authority to "make a reasonable counter-proposal to Mr. Stoneberger." Attached herewith as exhibit B is the Order of the Court. 7. No counteroffer was ever made by the executors or their attorney. 8. Mr. Harold Stoneberger in the letter of Apri12, 2007 made an offer to the executors. Attached herewith as exhibit C is the letter of Mr. Wolfe. 9. No response was received by Mr. Wolfe from the executors or Attorney Risch. I O.On April 12, 2007, Mr. Wolfe wrote a letter to Attorney Risch stating that he had considered the $900,000 counter-proposal of the executors, of which there is no written record, and presented two alternative proposals to the executors. Attached herewith as exhibit D is the letter of Mr. Wolfe. 11. There was never any recordation of a response to Mr. Wolfe. The final letter of Mr. Wolfe was written on June 1, 2007, which is attached herewith as exhibit E, and the offer is extended to June 30, 2007 with the understanding that Mr. Stoneberger was willing to pay $550,000 cash for the farm as is or $650,000 subject to his ability to gain approval for a cluster development on that site. 12. No response has been received from Attorney Risch or the Executors of the Estate to the offer of Mr. Harold Stoneberger. 13. Petitioner herein requests this Honorable Court to compel the sale of real estate property for the following reasons: a. The Decree of Probate and Grant of Letters was issued by the Cumberland County Court on February 28, 2001. Petitioner herein filed his first Petition to Compel the Sale of Real Estate on March 16, 2006, five years after the Letters were granted by the Register of Wills. b. Since that time, the Executors have refused to make any counteroffers or accept any viable offers for the property. c. This Honorable Court on March 16, 2007 expected that a counteroffer would be forthcoming from the Executors within 30 days. It is almost three months since the Order of the Court was issued. d. The condition of the property has been deteriorating since the death of the owner. In fact, Mr. Wolfe claims that the offer of Mr. Stoneberger reflects the acreage value of property in that area. See his letter of April 12, 2007 (exhibit D). e. On May 9, 2006, this Court issued an Order that "counsel fees be paid from the corpus of the estate." This means that as the time goes on and there are hearings and letters and research, the corpus of the Estate will be diminished by the increasing Attorneys' fees. f. The Executors of the Estate have steadfastly requested $900,000 for the property and have received no offer anywhere near that amount of money. They have not come up with any other figures concerning the property or any other proof that the property is valued at $900,000, and their lack of action simply shows that nothing is forthcoming with regard to settlement of this Estate. 14. On May 9, 2005, a hearing was held before the Honorable Edward Guido. I5. As a result, an Order dated May 9, 2005 was issued which in part directed the Estate to pay Petitioners' attorneys' fees. Attached as exhibit F is the aforesaid Order. 16. Petitioner requests and is entitled to have the aforesaid Order reaffirmed by the Court. WHEREFORE, for the foregoing reasons, Petitioner prays this Honorable Court for an Order in favor of the Petitioner and to reaffirm the Court' Order regarding attorne s' fees. Date:6 ~ ~ ~ hard P. Mislrtsky, Esquire Attorney ID # 28123 One West High Street, Suite 208 P.O. Box 1290 Caxlisle, PA 17013 717-241-6363 Attorney for Petitioners l '7 ~pp~ ~~~ ~ ~: UT~ ~ ~~~~pER, ~ F K ED 1~Mp1`~ PL~P'L.~ p,NIA` ~pURT OF CQ TAI , P~~SY ~ TAE R~~N~D C~t~N C~~~E O 2l _200 ~ _023 RT DI,~ISIO~ O AS •~ ~,xA~1S CQ~ EST ATE ~DECE ' Q w cruse ~ '~'`" /~ ., 007 ? ~~ ? d y '~ day °f /~ ~ 1~0,~' his ~` ND . ~„ f s P u ~~ _ of u ~ .. ~_ ~,~ t - - - ~~t IM~~IY -_ ~~ }a- a I~ J. 4 ~~ :. ~ ~ .. ,'`ti ~1 ,. ~ - ~ } .. ~.~ t ~",+ ~.) p1.A1MT1FF~s ~ F-XNIB~ .~ ~~ F,r.: IN THL Ct~C_" R,T.. C>F C'Otilti~lO~i PLEAS ES ~ ATE ~JF R~~Tri j1. JUMPER CL~I~iB RL~~~ND C(~li~iT~". PEN~iS~c"L~y"ANIA DE.CE ASED ORr`'HAti S ~ COURT DIVISION Petition to jCornpel Sale o~ Real Property- AND NOW comes Galen Jumper, by and through his attorney Richard P.~lislitsky, and requests this Honorable Court to compel the Executors of the above estate to sell the real property of the estate and in support thereof avers as follows: 1. Plaintiff is Galen Jumper is the son of the decedent and one of several beneficiaries under the Last W'iil and Testament of Ruth V. Jumper. 2. When this matter was first brought to the attention of this Honorable Court, Barry Jumper was a named plaintiff. As a direct result of the Executors' delay in finalizing the estate, Barry Jumper died without the benefit of receiving his portion of his mother's estate as ~_ _ , .. set forth in her Last Will and Testament. -, - 3. This matter has been before this Honorable Court on two prior occasions. _ ~- ' ~-.- `' . ; - -, 4. On or about March 14, ''005, plaintiffs filed a request to remove the Executors. A copy ~ ; -; --; .. -_-, _ - ~: of the Petition is attached hereto and marked exhibit A. ~ ~= 5. Executors failed to respond in a timely fashion and this Honorable Court entered an Order dated April 13, 200. 6. Upon Petition filed on behalf of the Executors, this Court held a hearing on May 9, 2005 and as a result thereof reinstated the named Executors. A copy of the Order is attached hereto and marked exhibit B. 7. Thereafter, representatives of the Executors appraised the real property and established the market value of $550,000. Thereafter, the Executors of the estate refused offers on the nr~pel-ty arc.' t~~rtler re}uszd to pol-mit tllc: 1Jtin`.? of the ~rc~peiL~V' at Or neaI'ti~e apprised value. `'~ 8. As a result of the Eecutors' refusal to n.ove the estate toward finalization, plaintiff was forced to #ile a Petition tc Compel sale of real estate or. March 16, 2006. 9. A hearing was held on May I S, 2006. As a result of the testimony during the hearing, this Honorable Court issued an Order dated ~1ay 1 S, 2006, a copy of which is attached hereto and marked exhibit C. 10. Pursuant to the Court's instructions, a request was submitted to South Middleton Township to rezone the property. I I. The governing body of South Middleton Township refused to rezone the property, thus eliminating any uncertainty as to the value of the property. x-12. The Executors continued to refuse to sell or list the property at its appraised value. 13. Plaintiff believes and therefore avers that the Executors continue to list the property at a totally unreasonable price. Plaintiff filrther believes that recently the Executors reduced their expectation and reduced the list price to $900,000. 14 While the Executors will argue that they agree to re uce t e Tasting price, t e xecutors continue to delay finalization of the estate in that the present listing price remains well above the appraised value of the property. 1 S. At all times material hereto, the Executors have intentionally delayed finalization of the estate so that the original Petitioners would be prevented from receiving the portion of the estate given to them under the Last Will and Testament. 16. The Executors have succeeded in part. Barry Jumper died in 1~1ay 2006. 7. The refusal to permit the re~~l prorert.~ tc3 ~e listed at its appraised ~%i!<.e i:~tentionall~. rrevents the sale of the estate's reai property. r ,' 18. A listing price far in excess of the appraised value deters prospective buyers from pr~sentinv an offer to purchase and purchasing the property. 19. The Executors have at all times material hereto acted with the intent of depriving Petitioner of his portion of the estate. 20. Executors have refused to act in accordance with prior orders issued by this Honorable Court. 21. Petitioners request this Honorable Court to Order sale of the property at public auction. WHEREFORE, Petitioner prays this Honorable Court for an Order in favor of the Petitioner. Date: /1 Z ~j ~ 1 of Richard P.1~lislitsky, Esquire Attorney ID # 28123 One West High Street, Suite 208 P.O. Box 1290 Carlisle, PA 17013 717-241-6363 Attorney for Petitioners Attor~ev's ~v'erifc~tio~ I verify that the statements made in thz foreg~~ing Petition to Compel Sale of Real Property are true and correct. I understand that false statements herein are made subject to the penalties of 18 Pa. C.S. ~ 4904, relating to unsworn falsification to authoritizs. Dare:~~ Richard P. 1!Iislitskv, Esquire i \T ~? `, . BS'raTE Gr RUTH V . U L~I~ ER, DECE?SD, , Ill TT~~ CCliR^ OF CGNIMCN rLEAS CL~IE RL ``iD COL7~iT`I, PE'~iNS'jLVAl'VIA : i~i0. 21-2C01-0230 : ORP'r•_?~1S COURT DIVISION RULH TO SHOW CAUSE AND NOTr7, this day cf 2005, a Ruie to Show Cause is hereby issued upon Wilmont Jumper, Debra Jumper and John E. Killinger, Jr. to show cause why the relief requested in the Petition to Compel the Filing of an Accounting and/or to Remove Executors shall not be granted. A response to this Rule is returnable within ten (10) days of the date of service. BY THE COURT J. a PLAINTIFF'S W EXHIBIT J Q N J J Q r~; R=- iii TAE CCUnT CF CCNI~~IOii FLEAS EST~~TE CF' R.:;~~'n V. ~JUi~I =F. P., C L'i~I;~~.~~{~,A~a~ COU~i`:.', PE~ItiSYLVA~;TA ~Ji.~" aJ.//, i`i0. ''-.~JCl-C~3^ CP.F~A~`3S COURT D~.V~SiCi`~1 PETITION TO COMPEL THE FILING OF AN ACCOUNTING AND/OR TO REMOVE EXECUTORS AND NOW, come Petitioners, Barry Jumper, Galen Lee Jurr~per and Duane Jumper by and through their attorneys, Richard P. Mislitsky, Esquire and Mark W. Allshouse, Esquire and file the following Petition. to Compel Distribution, File Accounting and/or Remove Executors, and in support thereof respectfully aver as follows: 1. Petitioner, Barry Jumper, is an adult individual having a current address of 30 Conrad Road, Carlisle, Cumberland County, Pennsylvania. 2. Petitioner, Galen Lee Jumper, is an adult individual hav' r~ s~dre~~ °-f Y` venue, Carlisle, Cumberland County, Pennsylvania. 3. Petitioner, Duane Jumper, is an adult individual having a current address of 342 South Washington Street, Mechanicsburg, Cumberland County, Pennsylvania. 4. Ruth V. Jumper ("Decedent"), a resident of Cumberland County, Pennsylvania, died testate on February 19, 2001. A true 1 Y ~ '~ ; ^ ~ ^ _ Ye`o and made a a_ ~ COirCCL CO~'i OL deCeCen~S N_~~ i~ a~.~a`.~let.. 1_`... ~. ~a~~t hereof as Exhibit "r" . S . Udder the provisions of Deceder_t' s Last Will and testament, in addition to other directives, Decedent's farm in South Middleton Township, located at 120 Rockledge Drive, Carlisle, Cumberland County, Pennsylvania, was to be subdivided by and between Decedent's beneficiaries. Specifically, Petitioners are to receive a sub-divided parcel of real property to be approximately one acre in size. 6. In the Petition for Probate and Grant of Letters, filed February 27, 2001, the estimate values of Decedent's property including real estate was $41,000, which value is believed to be an underestimation of the real value of the estate. A true and correct copy of the Petition for Probate and Grant of Letters is attached hereto and made a part hereof as Exhibit "B" _ -__ 7. On February 28, 2001, the Register of Wills of Cumberland County, Pennsylvania granted Letters Testamentary to Wilmont Jumper, Debra Jumper and John E. Killinger, Jr. pursuant to Decedent's Will, The Letters were advertised accordingly. 2 I PETITION FGR ACCGT.FNTING ~ . Paraura n.., 1 t hough 7 of tr~is Fetitiorl are herby il.corporated by reference as if set forth at lengt'r.. 9. retitior~ers are parties in interest in the Estate because each is a beneficiary under t'flZ '~1i11 . 10. It is affirmatively averred that no action to finalize the estate has taker place in over four years. Also over six months have elapsed since the first complete advertising and Grant of Letters and no Account of the Executors has been completed or filed. 11. It is believed and therefore averred that all known creditors of Decedent have been paid in full and there is a balance of cash and/or property in the hands of the Executors of an unknown amount. 12. It is believed and therefore averred that taxes for the Estate have not been filed either with -the-Interx~i P~e~~ ,a -- Service or the Department of Revenue of the Commonwealth of Pennsylvania. 13. Petitioners have been provided no information regarding the amount of assets left in the Estate and have not received distribution of the real estate devised to them in the Will. 3 ~xe.c.~~~o_~ cf ~.~ e ~sL~ ..e a-~_~ __f~_ e~ ~.c -e r~ 1 11G~'.r cle the Cw .7 Sett CJ_ t:l~ L'J ~C~.tC aJ iC~y~....i~`.'~ Cis ~i~wu~~C~l.ej for the Estate . 15. It is believed. and therefore averred that the E:{ecutors of the Estate ha~re failed to file an Accounting in accordance with 20 Pa.C.S. 3501.1. 16. The Executors have failed to provide Petitioners with any informal account of their administration despite being requested to do so. 17. Four years have passed since the date of Decedent's death and there is no reason that an Account should not be filed, the property distributed and the Estate completed. 18. The Executors may now be cited to file their Account pursuant to 21 Cons. Stat. § 3501.1. WHEREFORE, Petitioners respectfully request that a Citation be awarded directing the Executors to show cause why they s ollld not file an Account of their administration of the Estate of Ruth V. Jumper, deceased, within twenty (20) days. II_ PETITION TO COMPEL ADMINISTRATION/DISTRIBUTION 19. Paragraphs 1 through 18 are incorporated by reference as though fully set forth herein. 20. Executors have failed to distribute Decedent's Estate pursuant to the Will. 4 T ~~ ~„~el~c'T°d and t'"2re_~~C a're=_C t:lat t:3e- _ - G~=.S~".'L"1'~''.u~iCi a nC~ S:?~'-~1V1S~:~n C_ red p=OP°~t~ c~-.3 sr?t r~~'t ~ ~.ii L saw-d~.vision of the 6di~l r.^,a•,r not be possible un der the current , , South Middleton Township wherein t.e real property is located. ''2. The Will provides that if for any reason any part of the sub-division of the real property as set forth therein shall not possible, then the real property bequests shall lapse and be added to the remainder of the Estate. 23. Further, the Will provides that all the rest, residue and remainder of the Estate...is given, devised and bequeathed to each of the children that have survived decedent by ninety (90) days in equal shares, per stirpes. 24. It is believed and therefore averred that the Executors have failed to properly administer the Estate knowing that the intended sub-division was not possible and that they would be receiving a smaller portion of the Estate as a result _ 25. Petitioners have requested the Estate be completed and distribution made on several occasions. 26. Despite these requests, Executors have refused Petitioners' request for distribution without explanation. Wherefore, Petitioners respectfully request the Honorable Court to Compel Executors to perform their required duties and complete administration and distribution of Decedent's Estate. 5 III . PETITION FOR RE~SOV~~ OF EX.ECU'I'CR/.,.~MI~I.ISTRAT4R __ _.__ _ - -_- 27. Paragraphs y throug._ 26 are ~.._~~rperated by reference as though fully set f orth herein . 28. Count III is being pleaded in the alternative to Counts I and II, in the evert that this Court finds that current Executors are not capable of performir_g their duties. 29. Executors have failed in their fiduciary duties as set forth herein. 30. Executors have proven their un~~rillingness and inability to serve as Executors and fulfill their fiduciary duties to the Estate. 31. The best interest of the Estate and its beneficiaries will be served by removing the current Executors and replacing them with one or all of the petitioning parties. WHEREFORE, Petitioners respectfully request this Honorable Court to issue a citation directed to Executors to show cause why they should not be removed from office as Executors of the 6 ---------.-Tr~~11 oz R,wt '1 . ~-.~mt~e, -deceased, _the ~~etters -Testamentary-- --- ___ __ _.-._----___ ~;acated zd Petitioners be appointed to administer the Estate. ~'l~ y~ C,J Date: Respectfully submitted, .~ ., ;~ Ri inard P. Nlislitsky, Esquir NI~rk W. Allshouse, Esquire Attorney ID # 28123 ~ttorney ID # 78014 One West High Street 4833 Spring Road P. O. Box 1290 Shermans Dale, PA 17090 Carlisle, PA 17013 (717) 582-4006 (717) 241-6363 Attorneys for Petitioners 7 LAST WILL ACID TESTatitENT OF RUTH J~lMPER_ __ . _.. ___ ._ __._. __ _._ _ I, Rut~`t Jumper, widow, of South Middleton Township, Cumberland County, F'C^rlSvtvaJtiu. bCinE [lf sund and disposing minrisarsnor3r,-ar.ci~tndcrstarding, do-hc:cby magic, puhlislt, and declare this as and for my Lasr Will and Testarrcnt, hen:t~y revoking anti makinL vuiJ rrny and a!1 Wills by me at any time heretofore made. 1. I direct my hereinafter named Executors to pay all of my debts to which I am lx~und anti fund! the expenses of mY funeral, Inst illnrss., and of the adminis~stion of mytvtatc as soert sftrr my death as may Ge found convenient to do so. Z. !declare that I am currently a widow, and that I have eleven (1 1) children wttu arc Ucbra Jumper, Twila Stacher, Wilmot Jumper, Miley Jumper, Jr., d3onnie McKee, Gary Jumper, [~uanc Jumper, Galca I.et; Jumper, IIarty Jutnprl, Luthez Dcan lurnper, and Charlotte Killinger. 1 further declare that 1 have no other children. 3. I hereby ducct my' Execuwrs to make arrangements for the subdivision of tfte farm which I vwn iri South Middleton Township, Cttmbtrland County, d'ennsylvania, having a mailing acidress of 1120 Rockledge Drive, Carlisle, Penns~clvenia, frn_tht_ptupn~•~f~arrying-out thr hereinafter st:rtcd bcqut:ats. I give, devise and bcqucsth~ a. to my daughurs, Debra Jumper and Twila Stacher, my house at 1120 Rockledge Drive toEcther wi all the tangible personal property located therein and together also with an amount t1f land the house detttmined ~r.~y FYMuwrs.to. be unc of land for the use of the house as a single famriy ttsfd~nce. be to my son,~!vlilcy Jumper, Jr., the land surrounding his mobile liotnc consisting of approximately one (1) acre. c. to my son, Duarte Jumper, a Joe at the nanheast corner of the farm, which lot shall bs approximately one (1) acre. d. to each of my sons, Oalen L.ee Jumper, Barry Jumper, and Luther Dean Jumper, and ray daughter, Charlotte Killinger, a lot of ground, each of said Juts w be approximately Inc (1) acre. e. to my son, Wilmot Jumper, alt the remainder of the fermi. __ProYidcd, houce.art:r.-that-no such .abovt•merttiated child shall be tntitled-to the t~educst al>Uvt uttlcss and until they indicate in writing that they desire to receive such bequest and agree in writing to paY in advance their share of the costs of obtaining suhdivistan approval from all rcquin;d municipal authorities, which costs shall the detttmined on a per capita and not on a pra- rata basis. tt any of my apove•mcnttoncd CttilCtr'Cn, with the exCepeton o[ my son, Wilmot Jumper, shall predecease me, fail to survive rite by a. period of ninety (90) days, or not indicate !n writing ~ thC'-r dcsirt to rxcive their bcgucst and their willingness to pay !n advance their per capita slrarc of '~`~~e costs of obtaining subdivtsron approval, then their bequest shall lapse and shall be added to tltr ~}rarr of my son; Wilmot Jumper. If my son; Wilmot lurtaper,-shall predecease rrse, fail to survive 'me by a pcricxi of ninety (90) days, or not indicate in writing his desire to receive his bequest and his willingness to pay to advance his per capita share of the costs of obtafniny subdivision ~-i•- --,appmval, then his bequest shall lapse and shall be added to the cernaindcr of my estate. If for any ~~" reason, eny part of the subdivision of my farm as set Corth herein shall not bt possible, then in ~u such event rach of the Exquests set forth in this Paragraph 3.ahall.-lapse and-be added to the rcntaindcr of my estate. ~~ 4. All the rest, residue, and remainder of my estate, real, personal, or mixed, end ~' wheresoever the same may be sinrnte, I give, devise, and bequeath to such of my childn:n as shalt survive me by a period of ninety (90) dxyc, the aharc any deceased child would have receivrd to ~ pass to iris or her issue per stirpes, and if there be no issue such share shall lapse and be added to Cl-,~ the rcrnaining share or shares per stirpes. At the present time I have eleven (1l) children as ~' aforrmcntioncd. I t.. -Page l.of 3 pages .- 5. Should any pcr~son less than l4 yrus of age'x enutied to distribution fmm my estate, in wch evtnt the shoe that person would otherwise have rca:ved shalt be paid to Ty Executors, in trust, to receive and invest the same, and ro pay chc income arising_thccc ~_togaher..wish--se--_._ _____._.._____ _. _ ______ --much of the principat thereof as in her opinion is nexssary ar desirable to be expencicd for the proper.rrrins:tancc, _sup¢ort, and r~++ratinn. t1f'such_pe:snn, tn.ar for the beltcfit af.such_pVcr~on, and upon such person attaining 18 yean of a3e to pay w him or he: the then remaining principal t~gc;her with any undiscributcd income. 6. 1 hereby nominate, constitute, and sppoint my dnub`ttc-, Dchra Jumper, my son Wilnwt ;unthcr, earl my grandson, Juhn E. Killinger, Jr., or any of them, as Executors of this my Last 1~'rll and "!'cstan:rnt and !further direct that none of thcrn tihaii tx rtduirul to post any hand tv secure the faithful performsnct of sis or her duties in the Commonwe:+ith of Pcnnsylv:tnia ctr ut any ~~cilcrurirdiction. 7. [n addition eo tl~e powers conferred by low, nzy herein named t=xecutnr5 and Tru,tres are emrowen:d: a. '1'o invest arty part of the trust corpt:s in such securities, investments, ctr otter prc+perty as may tx deemed advisable and proper, irrespective of whether the saute are at,thurized for ttte investment of trust funds under the laws of any govemir.g jttrisdit:tion. b. With rzsput to.any tnrpnratinrt..thastocYs, bontis,.or.~ther securities of which rtt;ry be ttcId, to vote in person or by proxy on any chores of stock; to consent to the ntcrgcr, consolidation or reorganization of such corporations; to consent to the leasing, ntorti~egfng, or sale of the property of any such corporations; to make any surrender, exchange or stthstirution of such stocks, bonds. or ocher securities as an Incident to the. m~rgcr, consolidation or reorgganization of such corporations; to pay all asscssmcnn, subsctilttions and other sums of money which may be dccmui wise and expedient fur the. Irrotection and maintenance of the proportionate interest of the invectm~nt In sttctt cctrlxnl:ttiuns; to exer+nise any vpiion or_pritcilege urhictt.nu+y tx~:oafrrreci upact.tltrc ltc,ltlrts of .uch Stocks. t~onds, or other sccuritics of such ct~rporauvns either for the conversion of tt+c ~ttr»c taro other sccuritics or for ttx purchase of additional securities, a,~d to m:-kc any ;tnc.l all necessary~plynxnts which may be rtxluircd in connection therewith; and gener;tlly tit ttlvc And CxCCCISC dS t0 all such crocks. bonds, and utltcr sccuritics, the powers of an individual owner who is under trust obligation. c. To hold the trust corpus 1n one or more consolldateQ funris in which separate shares shall here undwided+ntrnsts. d. To sell at public or ltrivate sale for cash or upon credit, er pertly for cash earl partly on crc.di[, and upon such terms and conditions as shall tx deemed pro,!rr, any part ttr puts ~ the trust estate, and no purchaser et any such sale shall be bound to tnquirt tttto ttt.: cxltcciicncy or ptvpricty of any such salt or to sec to the application of the purctt,cc tTxtncy arming tttcrcfron~. e. To keep on hand and uninvested such moneys as tray be deemed proper and fur sue h period as.tnay be found r:ptdicnt_ f. To compromise, settle, or arbitrate any claim or demand in favor of or against the tn~st estate. g. And authorized in the discharge of fiduciary duties, to employ counsel and to (.'.__. drterntine and to pay such counsel reasonable compensation which shall be charged against the principal orincome of the trust ftmd,~td-Shall-further beZntitlcd~ty charge against ehc '. principal or inrnme such other reasonable expenses and charges as may be ncccss:try and pr<~per to incur foe the proper discharge of fiduciary duties and far the proper managentint ~ and administration of the trust estate. ,- + h. In making any division of pro~ert7-into shares for the purpose of any ~~ distrlhution thereof directed by the provlstons of the wst, to make such division or distrlhution, either in cash or in kind, or partly in cash end partly in kind, as shall tx a Accrncd nx~st expuiient, and in rnaJcJng any dtvtston or distribution in kind may allot any specific security or property or any undivided intettst therein to any one or more of such tares, anti to that end may appraLst:..any.nr_a.ll~f the prapetxy~o to.be allotted and the ~ ~t:dgment as to the propriety of auch allotment and u to the relative value for purposes o[ ~~ dtctrthution of the securities or propeny so allotted shall tx final and conclusive upon all pcrwns intcrt:sted in the trust or to the division ordistribution thereof. Page, 2 of 3 pages ~ +.. .-, I (J' IN WI':;VESS WHEREOF, I have htrtunto ses my hand arx~ xal on this Pagc 3 of 3 Pages of this my Last V~itl and Tcstamtnt wrttc~ this 14th day of vovcmbcr, 1491. ~+ ~~ ~ ~--~ (SEAL} R;ah Jumper fn our prescncr. Riuh.Iumptr_sigaeb-ihi.s and-~eclarcd it tn..be her--Wi}l. and now at her request, in her presence, and in the presence of each other, we sign as wicnessts. \ ~ _. / ~- 1 i t.i 1 f1 - . `~ ,~, l / ..}-~~ti~y vv~,~ pR-~~+~~p~ w~ 1I ~J~S nv~ ~.2~~~~v,~~ l~~ ~o~i~ rznl~4~ ~BP~f G-; ~2~y ~/ho (~a,~e~'i2e~~ Lo <`7" o~~DF 5~~0`~C',D.Th~2r~~-~d/LP~ -~~s "~ G~~.'y o f ~S y l ~f `l f l ~~.~ ~,1,1~51~ v,~~ ~~~ ~~,ol w~ 11 ~vY,s~s~~yc ~~.15 ~'~~~V 'f~Ln/C'~ d~~d'~@Y'`~cc~'e$ ~'y S1~~~1~~ -~-1~, ~ s cD ~ y -~~e~ -~2,~- eel l ~~ ~ ~~ 5~ ~`'~~~~ ~~ ~ ~~ ~ ~~~ ~n , ~ t 1 ~ ~~'e j p (n v Q d Cb~ C,~1 (, ~~°l~ (/v~ .S ( ~ e(. ~ C,~/t ~'I~Y~, j`JC j J ~ ~ ~ ~ ~~,• ~~ .~ Pnge 3 of 3 pales r r ~. . I~ `t 1.,;:'. ~ ~r I i ----- - '~ I L.CnCt !q ~@ r~'i•;Ir,c?d ~ j Fii;!Il ~.`..)U(T;~:;i:f ~~ ~ J ~'~~ ~~ 4 ~rN/,iL ~L~N ~ ~' c °" ' r~(~~,: cRSF ~ - Camel J. ".!cG ~;~~,~ ~ Leonard R, t.1c ~'~~`~' 3 Bcrry'~V.I<ilrn~ cO _ . _. 4 tticdar~- t: ~ if,r -^~J / ~ ~~ ( 6 Coniel J, irlc• ~u ,, ~ 7 Spencer ©.Srn -Yr ~ ~ ~ IG OOViU E.Helrn ~~ IIA Joseph L.Dirie IIB Robert A.Au;t r I;C John J. Mellen I~ Richard E. Sal 13 Eirnnsen t_ G~:r P~~R~~~~~ G.,~~Y. - ~ ^ T FO/~ SEPTI d n/f of Ruth V.Jumper C~ ~a- ~ 18 -Z- 062 CNG/NF7 /~r,v • h L U f ~f *:j~r' ~.- ~. r, ,I'VaT Ru',~C~G S7k'fF/ '~ ~,. /lt~~'G li~~v . ~.~'Qtl t~ ~~ Td ~ ~~ ~l~ ~~ '.. ~ CF r s~1_ tad r~. ~ ~ "~ ,; ~ ~~ . ~ ~ ~ ~ ~ ~~ ~. .ro., ~ , ,. ~~P^ Obi, r'T----- - ~o os Y ~ I ~ Obi r 1 O m ~ '~ ~ .,..~~. ~~ '110 . ~~, ' I .`. ~U UV /'f~~~~~~1 ~~~1 ~ / Y~C '~ I F•~Z~J~• ~ N25 I ~~1rs ~~ L~r } /%~~ ;~ 7~'QE '!'! ~Ic id nit of hlortin L.V'!al pale 5. L 18-0- 123 IB-U t ~'1'~!" `7%E.~ /~ir~'tu.i.:~~:iit >lrfZVf•,:2 ~'~':~1; "?u~:^. ~ ~ N ~~~sF~i~ F;e ~F ~iG1v o~ /flt{~~ f~~Y~ /G`i ? ~ ~ .~~i~ 107 i~~~vi~~~~ ~~•~•/. ~ i N D E X MAP 6~ ~9Q lriw•'~~~Tl? ~~. 4 00 0 400 000 Scale 1= 400' .~~~~ 1`° ~' JQ~~ ~~` ~'~ \\~ ~~~ r ~~ •CG.\ ~o~ ~o~ ~ ~ a ~:.ts praviou~'~ conve;~ed ~~ t~'~,~ LO! t0 ~Dea ~ ;t,kn,~ t~ pproved by ,his plan..._ ..__ ._ __ z .'v °~` s\ SOX. J~Y1~~.,, r o~,o ~ ~Wr 'OE\ ~~ ~G ~ a ac O~ -~ . All information shown on the Indez Mapwcs plotted from a deed recorded in the Cumberland County Deed Soak 18-Z, Page 062 and ~~~~~ '~y~~`~~' reflects the accuracy and/or inaccuracy of that deed. Na Held work was ~f~it,/~' /YJj¢Y ~~ performed by Ca; 10. 8ert,R.S., ottnis tune. L~vr ~~ ~ t~.~. S NEAEHY CERTIFIE^ THAT 7HE UNDERSiGNEC7 NAS LEGAL OR :ITABLE TITLE TO THE LAND SHOWN AND THAT ALL ROADS OR iFETS SHOWN HEREON, IF NOT PREVIOUSLY DEDICATED, ARE :cBY DEDICATED FOR PUBLIC USE. Ow~:ER ATE OF PENNSYLVANIA ,COUNTY OF 1SONALLY APPEgREO BEFORE, ,i NO7ARY PUBLIC, iN ANtI t THE STATE ANOCOl1tIT'f AFnRr;;,ID , REVIEWED THIS_ 01Y OF t9_ ,6Y TFIE CUM9~tiLANO COUNTY PLANNING COMMISSION. CHAII ---- SE C R E RE`/IEWED THI$lD.1Y Of _19_, 9Y THE SOUTH MIU^:.ETON TOw!:SNiP PLANNING COMMISSION ---- ----- r.I,a• ,-- _- J r ~ ,_.,. ~ ~ _ .. .. _ _... ~ ~ ~ !: J _...... __ ., _.. , -- .., r ~ I ~.+ ~. ---+ 'LC'D _ - of ~ ~ i ~' ~.~"• r ''~ :1 ., .. ,.,. 1 l f " j ~ f: ~ . -...~ { r ~ pis ~ ' I~ ~. V y f1 fA i ~ ."~, i ~ ` r 1 ,-. .,~ ,. , , ~ r •- ~ - ~ ~ c ,~ 1 i G ~ ` " ~1 ~ -' J .~ r i ~ rc r ` 1 = ~ ~ ~ p ~ `.~ ~ .~ P. ~ /.) ~,::_ . ~-~ ~-. ,2 ~ ,1 ~ ~ ~ ~ N ~ ~ i W r ~,,,,, ~ ~ ~• ~ -`J ~ ~ n ~: ''' r3 ~ c .. r. ~ }d .~ 7 ~ = ~ ~~ .., 3 ~ ~~ c ti J x ~ ~ ~, ~ r r ~ z '~ `=. C ~ ~d `~ ~~ C~ `~ '" r. t~ v c..+ C rS to Z `i r-- t C ,.- ,. y ~., r-' ~ V -f r iy+ G ~ . rC \'..1 ~= ' ~ Pi~'i~i 0'ti FflR ~Rfl~A~E and G~~~~ ~F L~~TERS ,~: -, -. ----•- - _ ., _ _ . - _ __. -- - - _.. ____ _ _ c {t ~, -_._ - Ri~lf1J L..r ~7: `1 illy (ll[ tl~'~. :rl L~~^~~:: `';,'!.•. 1. 1: x...'11 _- l:: 1. ..~~i _ ~ ~ ~ ... :? .~ .is _` 7 c t lii .~(?(;:til ..)c'C,'ir: ~,~:7 1 !-.jv-`' (.~ ~ (_Lnl^t~,('~,~'~7("1 !?I p:'^n_` '~_...__. Z _ .. ~,,- „1 ., , ,",~ ter; .` ~ , . :~- ~~C:: .V:~ v~ Li:~: li.It:~..~:17::G... r'_~,-Cl:Lli.ll_ iLi: JCt:t~ ~ St. ~ Jl_r ~z;iia`!1t'.'(i,1, t~'10 :5.~'~f° 1 J ~''~3rs O: `'_u~ ~ ~ -{ :t ., `,~L C - ~1 in the last ~vi.l of the abc~~e decedent, da:~! J~ 1-, ~ , :~u (•:1i:. C'.;:. :.ni ...-.:1^SI1fiC:5, C.'! :CaL'Ci::1~:C.^, ~:C:1:~1 :~i ..'~..~4t.'~, Li...} .~.-.~!; ~ i , , ) C u ::t ~ ~ ~ i=. i1 ~ CJU::i,; PC'aaJ`i i`• D". dirt «as c.~mi~il:d at d~a.t 1 Itl f, .a - '1ni~, ~.~'i:~ [l '~'` l3Si t~amil~" or principal r2~i~ZP.i.Z 3t I 1 ? ~ .°. ~ C t i ? u _ 2 ~ r 1 V ° , C S L' '~ 1.~i ~' i ~ Sow th. _•lid~ 12 tam Ta~:•rnshiD _ (lis: ~tt~.t, numbs; ait~ mur.~ipaiity} Decendert. then S 3 ~„ars of a^e, died F e t3 r u i^, r v 14 ~Y9••• ~ c1 !1 t, at ~.ar ls~e hospita Except as follo~~'s, dz;:ed.nt did not marry, «•as not di~~orced and did not have a child born or adopted after execution of the «~ill offered for probate; ~4~as not the victim of a killing and was never adilidi;.arz i incompetent: Dec~ndent at death o«•ned property with estimated values as rc11o«~s: ~ r (If domiciled in Pa_) .III personal propert}' g ~ . Ov (IC not domiciled in Pa.} Personal property in Pcnnsyl~~ania S (I not domiciled in Pa.) Personal property in County ~ ~~alue of real estate in Pennsvlvani3 S + 0 , Q Q 0 . ~ ~ situated as follo«~s: 1 1 2 0 F o c k?? C Q e D r; ~~ ~, Car 1, s 1 a, ~ ,~ ~~'HERI:FORE, petitioner(s) respectfully request(sj tho probate of the last will and codicil(s) preseatzd here«ith and thz grant of letters T e s t apt? n t a r ~- (t~starn~nta;v; sdr^.i:~.ist-:ttion c.t.s.; a~ntinistratict: d.b.n.c.t.a.) theron. ,. _ :, ~ 2 b ~" r •J l_ "!~i7 2 r ~ T•: Z 1 T c~ n z j~, ''1 `a r i 1 '~ t~ P ~ L t:..? to c~ ~ ~ r 1 ~-~ ~~ a t'' ~ a~2 .. ~ = ~. .J _ `~ i u ~+ L l l L Carlisle, P~ I70I3 fl AT~-I flF ~'~~Sg~ AL ~EP~~SEti~'ATIti~E •~O'rl~iOtiti~~E ALTH OF PEr tiS~C'Lti':~~ I ~ 1 ~~ The petitioncr(s) abo~•e-named ,vicar(s) or affir!r,(s) that the statemznts i;t the fore,oin; petition are true anii correct to tl~e best of thz knowlc:d~e aad belief of petitioner(s) and that as personal r~presen_ tative(~) of th~c abo4~o dzc.dent petitioner(s) :~•ill well and truly administer the estate according to law. Sworn to or affirmCyf ~ d subscribed L~'.t~~~"~~` ,f` -~'f' ~~ -- ~: before m•' thts ~ ~T`~ day Qf T' / T ~, . r ,~. ti'ERIFIC.aTiOti I, the undzrsivTred, hereby verfv that the a~~erments made in the fore~oina ducument are true and correct to the best of my knotivled`e, informatier., and belief. I understand that the statements therein are made subject to the penalfizs of 18 Pa.C.S. 4..~ =I90~ relating to unsworn falsification to authorities. s~ ~ c Date: ,~/(~ ' V ~ p Cv~~ APO C.~~Ij~P ~j~ /J~J/.~ ti'ERIFIC~TIOti I, the undersi`ned, hereby verify that the a~-erments made in the foregoinv document are true and correct to the bzst of my knoti~~ledye, information, and belief. I understand that the statements therein are made subject to the penalties of 18 Pa.C.S.A. ~ =I90~ relating to unsworn falsification to authorities. ` _ ~... Date: ~~' 1 ~ ~4 ~~~ - n , ~.f ~ r~ ~ ~ ~Q ~ / ~- .~ ~ z LL ~ s ~ 2 ~ . . ti"ERIFIC.aTtO~ I, the undersi`rned, hereby verify that the averments made in the foregoing document are true and correct to the best of my knotivied`e, information, anal belief. I understand that the statements therein are made subject to the penalties of 18 Pa.C.S.A. ~ 490 relating to unswom falsification to authorities. ~~ Date: G~ ~-L~ G,' C ~~~-1i5 ~ P~ ~~ ~~ ~ ~ _?'rV RE. -?a-- TAE CCL'RT OF CCMMON~ PLEAS -- ESTATE GF UTH ~J. JL~NI?ER, Cli:`~13ER~,P~'~jD COL~~TY, PENNSYLVANIA DECE~SEL , . ~~~-,. ~~-~oc~ -c~~o OF.P:~PytiS CCLRT DIVISION CERTIFICATE OF SERVICE I, Debra Swigert, hereby certify that a copy of the foregoing has been duly served upon the following, by depositing a copy of the same in the united States Nlail, first-class, postage prepaid, as follows: Debra Jumper 1120 Rockledge Drive Carlisle, PA 17013 John F. Killinger, Jr. 41 Yorwick Road Carlisle, PA 17013 Wilmont Jumper 1136 Rockledge Drive Carlisle, PA 17013 ~ r. Date . 1 .. ~ " ~/, ~ ~ . ~~,~~~. ` ~~ Debra Swigert r" f Law Office of Richard P. Mislitsky One West High Street P. 0. Box 1290 Carlisle, PA 17013 (717) 241-6363 ~- ~IN RE' : I1~T THE COURT 0~ COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA ES?'ATE CF RUTH V. JUMPER, N0. 21-2001-0230 Deceased ORPHANS' CCURT DIVISION ORDER OF COURT AND NOW, this 9th day of May, 2005, after hearing, the Petition For Removal of the Executors is DENIED. Provided, however, the executors are directed to forthwith proceed :ti~itla the administration of the estate . In that regard, a hearing is scheduled for June 2, 2005, at 3:00 p.m., at which time we will take evidence and determine whether or not subdivision of the property under the terms of the will is feasible. It is further ordered and directed that the Petitioner's counsel fees be paid from the corpus of the estate. If the parties are unable to agree upon the reasonableness of the fees, we will schedule a hearing to determine the reasonableness of those fees. Mr. Mislitsy, as attorney for the Petitioner, is to be granted information upon request. By the Court, ;' ward E. Guido, J. ~2ichard Mark VJ. For the Carl C. Christo~ For the P. Mislitsky, Esquire Allshouse, Esquire Petitioner Risch, Esquire Sher E. Rice, Esquire Respondents a PLAINTIFF'S W EXHIBIT srs ,~ W J , Q ~ ~~ riu~ COPY FRrJ"~! RcCdRD i'' T''"'":~ :.~~,r wnar~f, I hereunto -t:= `-~' ~~and and the sea! ~=~' .~.~ - ~:'"~~i~r# at Carlisle, PA .~ .._._._ ~ 2U( -3 i -~ _~ ~ _ -- ~ --- ~ i ~:=-~.y,. i_.U ~~ ~.(k ~u~ ~ ~ :mot t~ ~ l,L x.. ~~t ~ [ ~.t _ ._ .... ...;h~~~as court -. i" IN RE : IN' T~iE COURT OF C0~11^~ON PyEA~ OF -, ESTATE Or F,UTH ~'. ~.~ JNIP ER, : CUMBER~A~iD COUNTY, PEJNSyLVANIA CECEASED N0. CP-2i-0230-2001 ORPH.`1S' COURT CIVISION ORDER OF COUF.T AND NO6V, this 15th day of May, 2006, after hearing, Petitioners are requested to file a brief detailing what they are asking the Court to do and what authority we have to do it. Said brief to be filed by close of business on June 2, 2006. Respondents may file a reply brief by close of business on Monday, June 12, 2006. we will entertain argument in chambers on 6~lednesday, June 14, 2006, at 8:30 a.m. By ther.2ourt, ward E. Guido, J. Richard P . Nlislitsky, Esquire n e e s~--High St r 2~ Carlisle, PA 17013 ,CY~ri storher Rice, Esqui re ~'1(en East High Street Carlisle, PA 17013 Mark 6~1. Allshouse, Esquire 4833 Spring Road Shermans Dale, PA 17090 srs a PLAINTIFF'S EXHIBIT a /` N (,.i J __ _-_IN RE: - : FN THE-COURT- OF C01Vf~%10N PLEAS ESTATE OF RUTH V. JUNIPER, : CU~~IBERLAND COUNTY, PENNSYLVANIA DECEASED N0. `' 1-2001-0230 ORPHANS COURT DIVISION Certificate of Service I, Juli McGreevy, hereby certify that a copy of the foregoing Petition to Compel to Sale of Real Property has been duly served upon the following, by hand delivering it to the address below: Carl C. Risch, Esquire Martson Deardorff Williams & Otto 10 East High Street Carlisle, PA 17013 Christopher E. Rice Martson Deardorff Williams & Otto 10 East High Street Carlisle, PA 170.13 Date: ~ ~ '1 ~; , ~, // :J ,i ' _ 'I L~~-z-~, L Office of Richard P. Mislits O e West Nigh ~trPPt S_iii_t~?nQ P.O. Box 1290 Carlisle, PA 17013 717 - 241-63 63 IN RE: ~. IN THE COURT OF COMMON PLEAS OF ESTATE OF RUTH V. JUMPER, CUMBERLAND COUNTY, PENNSYLVANIA DECEASED NO. 21-2001-0230 ORPHANS' COURT DIVISION ORDER OF COURT AND NOW, this 16th day of March, 2007, after hearing, the executors are granted authority to make a reasonable counter-proposal to Mr. Stoneberger. By Edward E. Guido, J. Daniel J. Menniti, Esquire Carl C. Risch, Esquire Richard P. Mislitsky, Esquire srs a PLAINTIFF'S W EXHIBIT J Q y I '` ' _~ ' '~ Ci~~~,~ ~~; = ~ I ~,~r ~i~ ~Z wo~FE ~ SHEAf~E~ Ray "Buz" Wotfe, CRS f ~EALTOf~S William L. Shearer, Jr., CCIM, CRS Broker/Partner Broker/Partner 33 South Pitt Street ~ ~ Carlisle, PA 17013 717.243.1551 = h^ ,,.,~ i 800.377.3027 /,~~~~L'= ~~(~ fax 717.243.0472 ...e...,.,. _~._.,,,,,_., iti'-"'~-' ~ ~ www.wolfeshearer.com RESIDENTIAL COMMERCIAL APPRAISALS I~~JDUSTRiA.L CCNSULTiNG INVESTMENTS . _ .. ,, r April 2, 2007 Carl Risch, Esq. 10 East High Street Carlisle, PA 17013 Ref Jumper Estate to Stoneberger Dear Carl, Enclosed you will please find a copy of a properly executed counter offer from the Executors of the Jumper Estate. This counter, in effect, represents a full price response to Mr. Stoneberger's prior offer of $550,000. I have shared with Mr. Stoneberger the $900,000 counter offer. He has indicated to me that he will consider the $900,000 offer and that we can expect a timely response. Personally, I doubt very much that Mr. Stonberger would be willing to pay the full asking price. Rather, I believe that he might be willing to increase his "as is" offer somewhat, or, in the alternative, agree to offer an even higher price subject to his ability to complete a more comprehensive investigation and perhaps obtain subdivision approvals for a cluster development at that site. P EXHIB T'S W J a a I will be back to you, the Executors, and Attorney Mislitsky as soon as I can gain further direction from Mr. Stoneberger. All parties copied in this letter are welcome to contact me with any further questions or concerns. Sincerely, Ray L. Wolfe, Jr., CRS Broker /Partner RLW/tls Cc: Mr. Wilmont Jumper Mr. John Killinger Ms. Debra Jumper Richard Mislitsky, Esq. ~--- _ ~. ~~ ~~~ ~, ~ ~' ~ ~1 ... .. ,d. ~'a.,~ .~....x~ ..». ~ y...n ...... wo~FE SHEAf~E (~ Ray "Buz" Wolfe, CRS ~EALToI is W~Il~am L. Shearer, Jr., CCIM, CRS Broker/Partner BrokerlPartner 33 South Pitt Street Carlisle, PA 17013 '~~- 717.243.1551 ~_ ~. ~ ~~ 800.377.3027 ~~ fax 717.243.0472 ~ ~~;r a..e...w., a...~,,..,. ,. ll'-~'~ ~ ~ www.wolfeshearer.com RESIDENTIAL C?MMERClAL APaRAlSALS • !NGUSTRlAL Ct~NSULTiNG • lN~~'ESTl~1Ei~~1TS April 12, 2007 Carl Risch, Esq. 10 East High Street Carlisle, PA 17013 Ref: Ruth Jumper Estate to Harold Stoneberger or Assigns Dear Carl, Harold Stoneberger has carefully considered the $900,000 counter proposal which he received from the Jumper Estate earlier this month. After careful consideration, analysis, and a limited amount of due diligence, he is prepared to advance the following two alternatives. Mr. Stoneberger will raise his offer price to $650,000 for the property. This offer, however, would be predicated upon the Estate providing him with up to one year to obtain subdivision approval for a minimum of 35 lots within a contemplated cluster development. Such an offer would also need to contain a formal due diligence period for hirn to further investigate potential environmental issues on the property as well as proposed engineering costs and development costs related to the cluster development. Since a cluster development has never before been done in South Middleton Township, Mr. Stoneberger would need the right to terminate the contract, in his sole discretion should the results of such due diligence and or approval process fail to be satisfactory to him. In the alternative, Mr. Stoneberger is still prepared to pay $550,000 cash for an "as is" acquisition of the property. To better address questions raised by Judge Guido as well as representatives of the Jumper family, I have enclosed 2 separate analyses for consideration. First, my appraisal staff and I have very carefully researched the sale of comparable agricultural /farm properties in South Middleton Township, North Middleton Township, and Dickinson Township which have occurred over the past three years. We examined all of the sales available in those municipalities and specifically considered approximately sixty that had some similarities to the Jumper Estate. We further, then, a PLAINTIFF'S ~ EXHIBIT V1 -~ J J d examined eight which are most comparable to the subject property. The enclosed analysis will demonstrate a basic per acre range of $6000-$8000 per acre. Those properties which are zoned residential and / or have access to public water and sewer are at the higher end of that range. Those which are purely agriculturally zoned and without public utilities are found at the lower end of the range. The Jumper farm, given the fact that it is zoned agricultural but does have public water and sewer access and limited development potential via the cluster development option, should be found somewhere in the middle of that range. It is also important to consider that all of the comparable sales contained houses and out buildings (i.e. improvements) which contributed to the value and per acre price. In the case of the Jumper farm, we have established that the existing improvements and debris actually create a $100,000-150,000 reduction in fair market value. The second enclosure is an analysis of the proposed cost and benefits of a cluster development on the parcel. Brief reference was made to this analysis during our last appearance in court. You will see that the numbers outlined in this analysis, which have been obtained from several engineers and excavators, show essentially a "break even" prognosis for the development of a thirty lot cluster on the property. This should address the Jumper family's concern about Mr. Stoneberger, or any other developer, making a substantial profit from the purchase of the farm at a price in the range of that which he has offered and which I have continually suggested as being in line with its current fair market value. Mr. Stoneberger has given me authority to formally extend his offers to the Estate through May 31St. In addition, he is prepared to move forward with a formal contract reflecting either of the scenarios suggested above. Please provide me with direction, as soon as possible, as to how we are to proceed in this matter. Sincerely, Ray L. Wolfe, Jr., CRS Broker /Partner RLW/tls Cc: Richard Mislitsky, Esq. v' Wilmont Jumper John Killinger Debra Jumper Harold Stoneberger ~` O O N to ds ~~ t~ ~_ ~^ ^~~ ~~~ ~ ~ ~~ e~ ~_ ~~ ~~ w _~ ~~ .~^.^^ ..~ . = w ~_ ~ ~ O O ~ W ~ V ~ M ~ ~ c~ ~ ~ v 0~ p a r` r~ ti ~ c~ ~ ~n ~ co ~ ao ~ ri ~ s ~, ~ ~ ~ o o a o 0 ~ r-- ~ ~ g 0 r Q ~ r r W J O O > O O ~ Z N N N N N N N N V- ~ ~ Cfl (`fl r N ~ ~ r N ~ r e- O t'7 M N W ~ M ~ ao ° v rn Q 4 w o 0 ° ° o ° 0 0 0 o o 0 0 0 0 0 0 0 0 ° ° ° rn ti ti ° W ° r~ o o W ' In r m M ~ N O 1~ 'm M r M r O O r r O O O O O O OO O Z cMO ~ ~ ~ ~ ~ ~ c`'o J O O ~ ~ OO O O O O W o o ~ u~ rn o 0 0 ° _ o ao a~ o a~ ao ao Q ~ O N N ~ N O O a ~° 0 a~ a~ -p o ~ o ~ ~ ~ a~ a~ ~' ~ ~~ C~ ~ ~ ~ ~ a~ - ~~ ~ ,W .°? ~ ~ L ~ Y -! O ~ ~ ~ ~ ~ 'O` O N > } . C (~ Oy ~ ` ~ Q ~ a ~~ ~, ~ ~ p~ o° cn a~ ~ m ~ ~ V1 E . = w ' U? (n CA Q ~ N r ~ `~ M ' on O ~ o ~ ~ ~ N M M cr Z O t.( ) N r z CO r O Z t- N CO 3 N v .41 ~' ~ ..' ~" s _ ~ s _a ~ 3 ~ ~ ~ w ~ •~ ~ ~ ~ o. c z +~ d 9 •~ d O ~ ~ O v y L ~ a 3 r r ~ ~ o • ~ O ~ ~ r ° ~ 'i .: ~ V ~ C d m ~ W ~' a a °o d ~ t 7 V~ L ~ ~! t0 ~.-dd ~ ~ `~ ~ O +~+ m ~ V ~ ` v -' p A Q ; ~ ~ ~ ~ 'O Z °' ~ O Cluster Development Cost Analysis Cost of ground Quote from excavators per lot for Street, Blacktop, utilities, misc., 30,000 per lot @ 301ots Lot Clean-up Demolition of existing buildings Cost per lot for settlements, real estate Misc. fees based on $60,000 per lot Interest for infrastructure - 1-2 years Engineering Fees TOTAL COST TO OPERATE: $650,000.00 $900,000.00 $100,000.00 $30,000.00 $150,000.00 $120,000.00 $50,000.00 $2,104,000.00 Note: Excavator had a rock allowance of $30,000 in his quote also was not sure about the 2nd safety exit. Income from sales Income from 50 ac 30 lots @ $60,000 each $1,800,000.00 $ 300,000.00 TOTAL INCOME OF: $2,100,000.00 WOLFE ~ SHEAf~E ~ Ray "Buz"Wolfe, CRS f ~EALTOf~S W~Il~am L. Shearer, Jr., CCIM, CRS Broker/Partner Broker/Partner 33 South Pitt Street Carlisle, PA 17013 ~ "~ 717.243.1551 Yf.,~.,~`~ ~ 800.377.3027 .. fax 717.243.0472 o .,,,... ~~ ~~ ~ ~ www.wolfeshearer.com RESIDENTIAL COMMERCIAL APPRAISALS INCUSTRIAL CONSULTING INVESTMENTS June 1, 2007 Mr. Wilmont Jumper Ms. Debra Jumper Mr. John E. Killinger, Jr. 1136 Rockledge Drive 60 E. Louther St., Apt 2 41 Yorwick Rd. Carlisle, PA 17013 Carlisle, PA 17013 Carlisle, PA 17013 Re: Estate of Ruth B. Jumper to Harold Stoneberger and/or Assigns Dear Executors, Please allow this letter to confirm that the prospective purchaser for the farm, Harold Stoneberger, has agreed to extend his previous offer from May 31, 2007 until June 30, 2007. As I carefully outlined in my letter of April 12`'', Mr. Stoneberger is willing to pay $550,000 cash for the farm "as is" or $650,000 subject to his ability to gain approval for a cluster development at that site. It is my understanding, given the absence of any further communication from you, that the position of the Executors on behalf of the Estate is that only a $900,000 list price offer is acceptable. I have been contacted by the Attorneys (Mislitsky and Menniti) who I believe represent Galen Jumper and some of the other heirs to the estate. It is my understanding that they intend to petition the Court again to review this matter. While I am not an attorney, I believe that the court might rule that the property has to be sold to Mr. Stonberger or that the property has to be sold at public sale. I would strongly encourage you to contact your Attorney, Christopher Rice, to discuss in greater detail the potential ramifications of this action. a PLAINTIFF'S ~ EXHIBIT J J Q As always, I remain available to meet or speak with any or all of you at any time regarding this matter. I look forward to hearing from you and to gaining some additional direction in this matter. Sincerely, Ray L. Wolfe, Jr., CRS Broker/Partner Cc: Christopher E. Ric°, Esq. Richard P. Mislitsky, Esq. Daniel J. Menniti, Esq. Harold Stoneberger RLW/tls IN RE: IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA ESTATE OF RUTH V. JUMPER, : N0. 21-2001-0230 Deceased ORPHANS' COURT DIVISION ORDER OF COURT AND NOW, this 9th day of May, 2005, after hearing, the Petition For Removal of the Executors is DENIED. Provided, however, the executors are directed to forthwith proceed witr. the administration of the estate. In that regard, a hearing is scheduled for June 2, 2005, at 3:00 p.m., at which time we will take evidence and determine whether or not subdivision of the property under the terms of the will is feasible. It is further ordered and directed that the Petitioner's counsel fees be paid from the corpus of the estate. If the parties are unable to agree upon the reasonableness of the fees, we will schedule a hearing to determine the reasonableness of those fees. Mr. Mislitsy, as attorney for the Petitioner, is to be granted information upon request. By tl~e~"Court, ~awara E. Guido, J. i'Richard P. Mislitsky, Esquire Mark W. Allshouse, Esquire For the Petitioner Carl C. Risch, Esquire Christopher E. Rice, Esquire For the Respondents A ~i`tis,l~ COPY Fgpl~l RECORD ` Ir•, ~^~'`'~ `'' -~~~y wherof, I hereunto ~~ ~ ~. sf hind and the sea! a ~~~~ Court at Carlisle, PA ~ ~` ~ srs -rr~,.~__~c~_-.~;~~~ ~~ 1H~ oC5 ~~~ ~ ;. ' ~- N r ~ k :. _ ~?~phans Court ~~,,~a,?~r`taFl ^ ~,ty ~~. ,, • ;~l IN RE: : IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER, :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED . N0.21-2001-023 0 ORPHANS COURT DIVISION Certificate of Service I, Juli McGreevy, hereby certify that a copy of the foregoing Petition to Compel to Sale of Real Property has been duly served upon the following personal delivery to the address below: Carl C. Risch, Esquire Martson Deardorff Williams & Otto 10 East High Street Carlisle, PA 17013 Christopher E. Rice Martson Deardorff Williams & Otto 10 East High Street Carlisle, PA 17013 Date: ~'-u-~. `` i~~ ~o~ ~Gt rtl o?~D'J w Office of Richard P. Mislitsky ne West High Street, Suite 208 P.O. Box 1290 Carlisle, PA 17013 717 - 241-63 63 STATUS REPORT UNDER RULE 6.12 Name of Decedent: ~ v~Tln u wl Date of Death: ~ ~~ Ce~ 2 CC C Will No.: X40\ - ~~ Admin. No.: -~ Pursuant to Pule 6.12 of the Supreme Court O~hans' Court Rules, I report the following with respect to completion of the administration of the above-captioned estate: 1. State whether admini ration of the estate is complete: Yes ^ No 2. If the answer is No, state when the personal representative reasonably believes that the administration will be complete: S~s~' ~~ID-~ 3. if the answer to No. 1 is Yes, state the following: a. Did the personal representatve file a final account with the Court? Yes _ No ^ b. The separate Orphans' Court No. (if any) for the personal representative's account is: c. Did the personal representative state an account informally to the parties in interest? Yes ^ No ^ c. Copies of receipts, releases, joinders and approval of formal or informal accounts may be filed with the Clerk of the Orphans' Court and may be attached to 's report. l Date: 7~~ 05 LC Si afore Name ;._>;~, ~' Address Telephone No. ' ,- Capacity: ^ Personzl Representative `' ~, , ^ Counsel for personal representative STATUS REPORT UNDER RULE 6.12 Name of Decedent: Date of Death: d --,~ ., Wil] No.: ~ / ' ~~ '" ~~ ~ Admin. No.: Pursuant to Rule 6.12 of the Supreme Couri ®rphans' Court Rules, Irep®i-t the follouTu~g with respect to completion of the administration of the above-captioned estate: 1. State whether administration of the estate is complete: Yes [~ No 2. If the answer is No, state when the personal representative reasonably b 'eves that the administration will be complete: ~rP+ ~~' 3. If the answer to No. 1 is Yes, state the following: a. Did the personal representative file a final account with the Court? Yes _ No n b. The separate Orphans' Court No. (if any) for the personal representative's account is: c. Did the personal representative state an account informally to the parties in interest? Yes ^ No n c. Copies of receipts, releases, joinders and approval of formal or informal accounts may be filed with the Clerk of the Orphans' Court and maybe attached to this report. Date: ~'D,5 ~.. Signature 1,t1~~ rH eT D 7 ~~ ~~ ~ Name ~~~ ,,~_; w - Address ... ~~3 y l•St _ Telephone No. ~, ~~.: Cat~acify: I~'f Personal Representative Counsel for personal representative IN RE: IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER, CUMBERLAND COUNTY, PENNSYLVANIA DECEASED, N0. 21-2001-0230 ORPHANS COURT DIVISION PETITION TO COMPEL THE FILING OF AN ACCOUNTING AND/OR TO REMOVE EXECUTORS AND NOW, come Petitioners, Barry Jumper, Galen Lee' Jumper and Duane Jumper by and through their attorneys, Richard-P. Mislitsky, Esquire and Mark W. Allshouse, Esquire and file "the following Petition to Compel Distribution, File Accounting and/or Remove Executors, and in support thereof respectfully aver as follows: 1. Petitioner, Barry Jumper, is an adult individual having a current address of 30 Conrad Road, Carlisle, Cumberland County, Pennsylvania. 2. Petitioner, Galen Lee Jumper, is an adult individual having a current address of 230 Mulberry Avenue, Carlisle, Cumberland County, Pennsylvania. 3. Petitioner, Duane Jumper, is an adult individual having a current address of 342 South Washington Street, Mechanicsburg, Cumberland County, Pennsylvania. 4. Ruth V. Jumper ("Decedent"), a resident of Cumberland County, Pennsylvania, died testate on February 19, 2001. A true 1 LAST WILL AND TESTAMENT OF RyTH JUMPER I, Ruth Jumper, widow, of South Middleton Township, Cumberland County, Pennsylvania, being of sound nnd.disptuGtg trrind.memory,and_understanding, do-hereby nutke, publish, and declare this as end for my Last Will and Testament, hereby revoking end maScing void any snd all Wills by me at any time heretofore made. l . [direct my htreinaftn named Executors to pay all of my deb[s to which I am bound and funeml the expenses of my funeral, last IDness, and oC thcadminisaatlon nfmysstatc as soon after my death as may be found canvcnient to do so. 2. I declare that I srn currendy a widow, and that I have eleven (I l) children who are Ucbra lumper, Twila Stacher, Wilmo[ Jumper, Miley lumper, Jr., Bonnie McKee, Gary Jumper, Duane Jumper, Galen Lee Jumper, Garry Jutnpv,.l•utherDean lumper, and Charlotte Killinger. 1 Cunhtr declare chat 1 have no other children. 3. L hereby -d'uect my Executnre to make atsangemtnts for the subdivision of the farm which I trwn in South Middleton Township, Cltmberlend County, !'ennrylvenia, having a mailing address of 1120 Rockledge Drive, Carlisle, Pennsylvanie,.for_ tt+___..T~ i+~v-0fcarrying-out ehn htrcinaftcr stated bequests. I give, devise and bequeath' a. to my dnu~tt~rs, Debts Jumper and Twi1a Stacher, my house at 1120 Rockledge Drive together with all the tangible personal property located therein snd togaher also with an amount of land the house deteanttted.by.±ay FrYMtuotsso.6e a rtas^^pht •m~~me of land for the use of the house as a single faintly residence. br tomy wn,~vliley Jumper, Jr., the land surrounding his mobile home consisting of approximately one (1) acre. c. to my son, Duane Jumper, a lot et the nonheast comer of the farm, which lot shall lx approximately one (1) acre. d. to each of my sons, Galen Ire Jumper Berry lumper, and Luther Dean lumper, and my daughter, Charbtu Rillirtger, a lotof gmund, each o[saidluts w be approximately one (1) acre. c, to my son, Wilmot Jumper, ell the rcrrtaindcrof the farm. ~Providul, however,-that.no wchabovealentia+ed child shall be entitled to the beyuest alwvt unless and until they indicate !n writing that they desire to receive such bequest and agree in writing to paY in advance their share of the costs of obtaining suldivisinn approval from all rcquiiid municipal authorities, which costs shall he determined on a per capita and not on a pro- rate basis. J If any of my above-mentioned children, with the exception oC my son, Wilma lumper, shall predecease mc, fats [o survive rM by a paiad of Nnery (90) days, or sat IMicare W writing then desire to receive their bequest and their w111ingness ro pay in advance their per capita share of ~ e costs of obtaining suhdiviston approval, then their bequest shall lapse and shall lx added to rite ~ taro of my son, Wilmot Jumper. If my son; Wimot lumpegshal)-predeeesat *ne, fail to survive 'me by a period of ninety (90) days, W not indicate in writing his des've ro receive his bequest end his willingness to p¢y in edvsnce his per capita share of rho costs of obtainnins subdivision ~;-,eppmval. [hen his bequest shall lapse snd shall be added to the rctnaindcr of my estate. if for any rc¢son, any pan of the subdivision of my ferrtt ns set forth herein shall not be possible, then in ~~ such event each of the bequests set fonh-inlhis-Paragraph 3-shall_lapse_and-bt addedto the remainder of my estate. s~ 4. All the rest, residue, and remainder of my estate, rest, personal, or mixed, end wheresoever the same inny be situate, I give, devise, and bequeath to such of my children as shall survive me by a period trf ninety (90) days, the share any~ectased child would have roccivrdto ~ pass to bls or her tssue per stirpes, end i(therc be no issue such share shall lapse and be added to (1_, the remaining share or shares per stiryes. At the present tune t have eleven (I I) chiWrcn as ~" aforcttxntioncd. ~' .Page 1_of 3pegcs CO-1999 1525 ~~% 5. Should any person less Nan I8 years of age be entitled to distribution from my estate, in such event the chase that person would aherwise have received shall bep aid to my Executors, in trust, to receive and invest the same, and [o pay the income arising therefrom, tognher with so much of the principal Hereof as in her opinion is necessary or desirable to be expended for the properanaidtenattce,suppnn, can ca ani aa-ofsurF perr~~,.sonr for the benefit.of_such.pevson, and upon such person attaining 18 yeen oC age to pay to him or her the then rtmeining principal togedter with any undistributed income. 6. I hereby nominate, constitute, end appoim my daughter, Debra Jumper, my son Wilnwt Jumper, end my gr¢ndson, John E. Killinger, lr., or any of them, as pxccwon of this my Lase Will and 'festaman and 1 (unbar direct that none of Ncm shall 6t rtqu'ucd to post any bond to secure the faithful pertonnance of kis or her duties in the Commonwexhh of Pennsylvania or in :my other jurisdiction. 7. In addition to dm powers conferttd by luw, my hueln named Ezecmors and Tnis~ecs are empowered: a. 'fo invest any part of the wst corpus in such securities, investments, or other prnpeny es may be deemed advisable and proper, irrespective of whether the same are authorized for the investment of trust funds under the laws of any governing jurisdiction. b. With respect Io~nYsorporation, tha r,mkq honds,nr-ndtcr ucurities of which m;ry Bc held, to vote in person or by proxy on any shares of stock; to consent to the mcrgrr, consolidation or reorganization of such rorporations; to consent to the leasing, mortgaging, or sale of the~roperty of any such corporations; to make any sorrendtt, exchange or suhsdtutlon of such vocks, bonds, a other securities as an incldem ro thr. merger, consolidation or reorgganization of such corporations; to pay all assessments, subscriptions end other sums d1' money which may tx deemed wise and expWient fur dlr. promcuon and maintenance of the proportionate interest of the investment In such rorpofntions; m exercise any option or_privilege whicts.nwy be <:oafurul upntllte huldrrs of xuh stocks, bonds, or other stcudtles of such ccttporations either for the conversion o! dm snmc into ocher securities or for the purchase of additional securities, end to m:dcc any and all ncccssnry~pnyments which nuy 6t rcyuircd in connection therewith; end gcncmlly to have end exertiu as to ell such stocks, bonds, and other securities, Ne powers of nn individual owner who Is under trust obligation. c. To hold Ne trust corpus In one or more consolidated funAs in which separate shares shell heveundwided~interests. d. To sell et public or private sate far cash or upon crtdit, m partly for cash and partly on crWit, and upon such terms and condidons as shall 6e deemed proper, any pan nr puts pf the wst estate, and no purchaser atanyswh salt shall !k bound ro mquirc into the expediency or propriay of any such sale or w sec to the application of the purchase rnuncy arising thcrtfrom. e. To keep on hand and uninvested such moneys as may be deemed proper and fur sue h Deriod as.msy tat fnundnapedirnh f. To compromiu, settle, or atbitrete any claim or demand in favor of w against the mist estate. g. And authorized in Ne diuharge of fiduciary duties, to employ counul and to (s...,.demmune end to pay such counsel reasonable rnmpensarian which shall ht charged against the principalorittcome ofthetntstfund;~nJshaltiurthcrtteenttticd to charge against the principal or inrnrru :ueh other reasom6le expenses end charges as tray 6e nrsessuy end proper ro Incur for the proper discharge of fiduciary duties and Itu the proper management ~ and administration of the trust acute. /. h. In making any division tzf property -into-shares for the purpose of any c1_ distribution thereof directed by the provlssons of the wst, to make such division or distrlbutlon, ether in cash or in kind, or partly in cash and partly in kind, es shall tx a AtemcA ntost expedient, end in making any divtslon of distribution in kind may allrn any spceific security or property or any undivided Interest Nereln to any dne or more of such ~Jtares, end to that end may appmist-any.ocall-0f the dunjpenyso.lo.be-allotted and th[ ~ Judgment as to Nc propriety o such allotment and as m the rcudve value for purposes of ~~ distribution of the securities or propeny so allotted shall be final and conclusive upon all persons interested in the trust or in the division or distribution thereof. Page 2 of 3 page .I k3a-1996 1526 I I _ _ ._. 73%: [N WITNESS WFIEREOF, I have hereunro set my heed and seal on this Page 3 of 3 Pages of this my Last Will and Testament written this 14th day of November, 1991. Ruth Tamper / r . In our ptr:sence, Hwhlumpu-signed-.thisand~leclared-!t w-he.IKr_Will,. and now ac her request, in her presence, and in the presence of each other, we sign es wienesses. f ~~ ~i V 't- --~ / ~ ~j ~2.~~"~~~~~w~.~~e fz.~ ~,p~~~~5~ ~C~l`~~`ecl~ ~Ti~r~nl~~ ,~8~~-rG ~2~`f ~,/ha ~~~~~~~~ ~a 5`~ o~~f~F 51~~D'~G~,~~r~E~~~,2~'~ -{~~ ~j~ G,~i~ nf~~~~y 19q~~~ 1~e-/z~~bl ~e~e.rJ~ ~ a~~ ~.~~~~li~h vv~~ ~~ ~~,o) w~~l ~~~s~~~~qa~ ~~~ is ~~~ ~w~ d~~~~erzr (~~(~e,~ ~y srq t1~~~ ~~~-~z'~ ~1-~ ~~.~ e~o l ~' !~ ~ ~~ ~ ~~ ~ ~ ~, ~~ S 1 l ~P~~ l ~t ~5 ~ ~.v~c~~ ~~'~ ~ t~ a~~~ ~~,~a~~ ~~~d ~ ~~.rc, WIC) ~~~ ~OW~~ ~-ew ~2,'~~tn'P5~ I~1 ~'~~w~/LP~C`~~ctihC~~~~~~~ ~2~~e~, e d~ ~~~ ~'~^P~j~IN"-e~, Sl~h Q~ ~t/1`ti~°,~5c5~ ~a-sC.~~r s ~t_~--~ ZE! Page 3 of 3 pages -38-1993 1S 25 77i ~ ;t, I y ;v i~(~ ' ~p~yy~ypypy}~q ~ IYYYb1~dl 1~4~ ~I, j~a Land to be retained byRuih VJumper Lots previous'y conveyed Lot to be approved bythis plan 1 ~a ,~~ ti ~- ti ss£~a a ~ ~O.ClIYI ac`~~ - Tluf' o£dF t °c me° ~O•oL/CAT/ov / 750 °° ° £5Cx'ow 1 ~aoa' +NAL Pl/JN Y~ so '_, wPM~: ce 3~~ ~ ~ ._.. ADVERSES I Donlel J. McD 2 Leonard P,.Mc 3 Barry W. Kilrn~ 4 Richard E. C'Inr 5 David E. Helen 6 Danlel J. ivlc Dc 7 Spencer B.Sm 8 Barry W, Kilm~ 9 Leonard R.Mc IO David E.Helm IIA Joseph L.Dirie IIB Robert A.AUSt IIC John J. Mellen 12 Richard E. Sel 13 Branson LGar P/~rs>~~ o,~~r ~%+'1NV /uo> is d[{E 70 r~)1{P o~Qdf~(':a//l r a ~. ',Y a^ ~G g. n i _ \~ .A y:', f""r_ cf , m T 1 t~,i N34¢30'E ~ / ~_.~. IB _p0 ^ P A /a ~'n s SEp>7 do/}of Rufh V:Jumper 19 -Z- 062. iuor Rw,,t/c 5~~7 /~ ~f.'PUl/LED TU to /'/~C~/~p ~~~~ Tf/~C '!'' l ~~rlJ~.'. 1 ~ ~ N25¢ 4 E ?I1f.S X12 GoT' G.~s ~'7 ~,/.~C,QE/J~,r//i1llh~ landl laa n/f of Martin L.Wolf Dale S. /~ ~A•r 8 S/katsoa/1'1c1e~ IB-o-12s le-u 'tl~il`i.'>=~' /~~~cu,!,ririG ~uRUf rAFl~ .MUf,•nlum '/ , P ~nrr;/n/f.~if FR /~FSiG.v oi' /ttC CorS /y/!~i> h`.9Y& /a'i i/~u/~r~.o.>ti ~A~/, INDEX MAP 6F' ~a•90 fi~2:xa/7I?~.'~;. ,. 400 0 400 a00 Cuc ~ ~~ -r~ly.r• ~~ / l v7n °° I !.._,Yao oa Scale 1.400 All Information shown on the Index Map was plotted from a deed recorded In the Cumberland County Deed Book 16•Z, Page 062 and ~4~~~y"1~y~'~~`J~ reflects the accuracy and/or inaccuracy of that deed. No fieldwork was CAME "//~Y /vst performed by Carl D. Bert, R.S., attnls tiro e. ~ "~ ~~ l'~ ~ 7''.l', 5 HEREBY CERTI TIED TWAT THE UNDE RSILN ED HAS LEGAL OR JITABLE TITLE TD THE LAND SHOWN AND THAT ALL ROADS OR ¢EETS SHOWN HEREON,IF NOT PREVIOUSLY ^EDIC4TED, ARE 2EBY DEDICATED FOR PUBLIC USE. ~~°~a o~ c ~ gar IUD ~~e a° 6° \DC ~,° JWirER iAll SECRE SE OF PE NNSYLVANIA,000NTY OF REVIEWED THIS_DAY OF _,I9_., BY THE IBONALLY APPEARED BE FORE,a NOTARY PUBLIC, IN AND SOUTH MIUDLETDN TO W!:SHIP PLANNING COMMISSION ¢ THE STATE AND COUNTY AFpR EGRID .. ... .. ..... .. .. REVIEWED THIS_ DAY OF___Ig_ •BY THE CUMDERLAND COUNTY PLANNING COMMISSION. CHA6 9' ~'~ ~' 1 ~ ~ I ~ ~ ~ _ n V: i Z G `'t ~ ,v ~ ~ ~ G .. y U x o c c K 1 Wi n" G ~ w' y' '~ d ~, m y i4 ~'+ w, ~ !'~. ~ y ~ p CJ ry ~p :~ ~ ~:~ r G , r? ~ R =~ I y9 h rt ~.~ ' r n -cP ~ .r r. '[7 ~ ~ .. FF ~. ~ G is O °~ V. ~ ' _ ~ . +C ~ P wr ~ ~ . a % ~ 544...+++ ~ O f* c-' ~ v ~ 7~ , ~ N :°i O ~ bu V G W G L • ~ +a n ~ ~o I~ ~-n G~ rn ~' '~ ~ ~ i N ~ ^ G ~ N y ~ ~ x W o 3 ~ . ~ ~ a ~ w , ~ ~ ~ ~ N n ~ - t ~ ~ ~ n D vS~ . .~ ~ q '~1 G ~ H 3 0 :~ a ~ ~" O cn ~ ~ ~ ~ ~ ~ ~ < . "3 . p~qm{ ~ ~ r.y n ~ M '~ ~d ,y s` o v' .+~ w D rt r : r ~ o ' ~ n ~ Q ~, R: b d H m~ ~ G 7 ~ ~ N . ti 9 ~ ~' ~ rv ~. . y. N oZ ~ 7 Y' ~ y N W ~ N f9 r. ~, ~ v n ~ ~' '~ T ~"' c~ ~ r1 +l O ~y v PETITION FOR PROBATE and GRANT OF LETTERS Esrateoj RI;TEti. Jliy[PL•R ~o. ~l~' ~~'~`~~~ also known as RIITH JUMPER To: Resister of \b'ills fort e Deceased. County of Cumber and in the Social Securir+' h'o. 1 7 7- 3 0- 3 7 0 9 Commonwealth of Pennsylvania The petition of [he undersigned respectfully represents that: Your petitioner(s), who is,`are 13 years of age or older an the exeeut o r s named in the fast will of thz above dzeeden[, dated J u 1 v 9 , 199.9- and codicil(s) dated n / a (state reles~am circnmstanccs, t. g. mnuneiation, death ui a~ecutor, etcJ Decendem was domiciled at death in Cumber 1 a nd County, Pennsylvania, with het last family or principal residence at I1?0 Rockledee Drive Carlisle Pr1, South ~iiddleto-t Tow2shio Qis[ strmt, number and muncipality) Decendent, then $$ y ars t age, died F e b r u a v 19 _;ct~9~ ? ~ 01, at ~ a~is~e gHospita Except as follows, decedent did not marry, was not divorced and did not have a child born or adapted after execution oC the will offered for probace; was not the victim of a killing and was never adjudicated incompetent: Decendent a[ death owned property with estimated values as fellows: {it domiciled in Pa.) ?.Il personaI propeay (If not domiciled in Pa.) Personal property in Pennsylvania (lt not domiciled in Pa.) Personal property in County Value of real estate in Pennsylvania situated as follows: 1I~0 Rockt~dve nr;ve tart 5 1,000.00 5 540,000.00 WHEREFORE, petitioner(s) respectfully request(s) the probate of the last will and codicil(s) presented herewith and the gram of letters T e s t ame n t a r v ([es[amun[arv; administration c.[.a.; administration d. b. n.a[.a.) [heron. o., by Debra iu ar _I ra;tm~ ~~1~ -- 11'in a~~[:ledg~ 116 Raslrredoe ;?s#ve '~~ ~ t'sr , n~ )-701' £ }'s-3~ $c -r -i~v-i-T~- "'- .. ~Joh^ E. ~C3llin~er, Jr. r 41 Yorwick Road Carlisle, PA 17013 OATI-I OF PERSONAL REPRESENTATIZ"E ~ObIYIONR'EALTH OF PENNSYLVANIA ~ ss COUNTY' Off' cuMaERr,aND The petitioner(s) above-named swear(s) or affirm(s) that the statements in the foregoing petition are [rue and correct to the best of the knowledee and belief of petitioner(s) and that as personal represen- tative(s) of the above decedent petitioner(s) will well and truly administer the estate according to law, Sworn to or affirme~l7T~td subscribed bL' rm7' ~ _ ~, before me this ~i 1 ~ °= VERIFICATION I, the undersigned, hereby verify that the averments made in the foregoing document are true and correct to the best of my knowledge, information, and belief. I understand that the statements therein aze made subject to the penalties of 18 Pa.C.S.A. § 4904 relating to unswom falsification to authorities. Date: ~~(~ ' O ~ 'J (~ ~p Canes ~~ C,9~/r/P f~ ~7~/.3 ~"ERIEICATION I, the undersigned, hereby verify that the averments made in the foregoing document aze true and correct to the best of my knowledge, information, and belief. I understand that the statements therein are made subject to the penalties of 18 Pa.C.S.A. § 4904 relating to unswom falsification to authorities. Date: ~~ ~~/ ~ ~~ ~~~ ~ ~o ~ ~~ 2 ~. 1~/~s~t~rt~~dn- S7; ~/?.2c~a~ocs~a<-t°~ ~~~ VERIFICATION I, the undersigned, hereby verify that the averments made in the foregoing document are true and correct to the best of my knowledge, information, and belief. I understand that the statements therein aze made subject to the penalties of 18 Pa.C.S.A. § 4904 relating to unswom falsification to authorities. S~~ ~ ~,~ ~' ~ _~ 7_ Date: "~~~~ Scm a3 0 ~ai~~e~Y ,~~r cA~1i5 ~ p~ ~~ ©~ ~ IN RE: IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER, CUMBERLAND COUNTY, PENNSYLVANIA DECEASED, NO. 21-2001-0230 ORPHANS COURT DIVISION CERTIFICATE OF SERVICE I, Debra Swigert, hereby certify that a copy of the foregoing has been duly served upon the following, by depositing a copy of the same in the United States Mail, first-class, postage prepaid, as follows: Debra Jumper 1120 Rockledge Drive Carlisle, PA 17013 John E. Killinger, Jr. 41 Yorwick Road Carlisle, PA 17013 Wilmont Jumper 1136 Rockledge Drive Carlisle, PA 17013 l /, 1 Date: ~ ~~~j ~~~.~~ be ra Swigert Law Office of Richard P. Mislitsky One West High Street P. O. Box 1290 Carlisle, PA 17013 (717) 241-6363 r~~~ ~ ~~ ~ IN RE: IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER, CUMBERLAND COUNTY, PENNSYLVANIA DECEASED, . NO. 21-2001-0230 ORPHANS COURT DIVISION RULE TO SHOW CAUSE AND NOW, this 1~`~day of ~ ~ 2005, a Rule to Show Cause is hereby issued upon Wilmont Jumper, Debra Jumper and John E. Killinger, Jr. to show cause why the relief requested in the Petition to Compel the Filing of an Accounting and/or to Remove Executors shall not be granted. A response to this Rule is returnable within ten (10) days of the date of service. J. ~.-, ~, ~~ 7,$ ~ 0~ (Y~ r ~ TO :.T~~I ~ E. I(lt..l~l ~tC CfZ ~~ . J~~Bi~ ~T ~~ , ~ ~=~ ~ ~ urn P~ => 1(~f 11 YID p N T S-.u Y~ ~ ~~RKw. A~I~~~~ Esp. ~t I..CA u-,S ~r~~ V~~ `r V ,, -, ;- IN RE: : IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER, :CUMBERLAND C"OUNT~''; P~NI~JSYLVANIA DECEASED, : N0.21-2001-0230 ORPHANS COURT DIVISION M()TinN Tn MAKF. RiTi.F. ARSni.i1TF. AND NOW, come Petitioners, Barry Jumper, Galen Lee Jumper and Duane Jumper by and through their attorneys, Richard P. Mislitsky, Esquire and Mark W. Allshouse, Esquire and respectfully move this Honorable Court for an Order making Absolute the Rule dated March 26, 2005, and in support thereof represent as follows: 1. On March 14, 2005, Petitioners, Barry Jumper, Galen Lee Jumper and Duane 3umper filed a Petition to Compel the Filing of an Accounting and/or to Remove Executors of the Estate in the above matter. 2. In that Petition, Petitioners specifically requested that a Citation be awarded directing the Executors to file an Account of their administration of the Estate, or in the alternative, an Order to compel the administration and distribution under the Estate andlor to remove the current Executors and replace them with Petitioners. 3. On March 26, 2005 a Rule to Show Cause was issued in the above-referenced matter returnable within ten (10) days of the date of service. A true and correct copy of the Rule to Show Cause is attached hereto and made a part hereof mazked as Exhibit "A". 4. The Rule to Show Cause was served by the Orphans Court of Cumberland County on the 28~ day of March, 2005 to all parties of interest. ,~ 5. More than ten (10) days have elapsed since service of the Rule to Show Cause and no response has been filed by any party of interest. 6. Petitioners respectfully request this Court to make the Rule Absolute and enter the attached Order replacing the Executors with Petitioners in order to complete the administration of this Estate. WHEREFORE, Plaintiff respectfully requests this Honorable Court to make the Rule dated March 26, 2005 Absolute and enter the attached Order. Respectfully submitted, Date: ~1 ~~~J~ ~~YI~Q~~ ~ ~,l? k W. Allshouse, Es,~iuire ttorney ID # 78014 /l 4833 Spring Road Shermans Dale, PA 17090 (717) 582-4006 Attorney for Petitioners IN RE: ESTA'T'E 4F RUTH V , JUMPER, DECEASED, ~~~ ~ ~~ IN THE COURT OF COMMON PLEAS : CUMBERLAND COUNTY, PENNSYLVANIA NO. 21-2001-023(7 : ORPHANS COURT DIVISION RULE Tp SHt3W CAUSE AND NOW, this ~G'~day of G 2005, a Rule to Sk~ow Cause is hereby issued upon Wilmont Jumper, Debra Jumper and John E. Killinge~, Jr. to show cause why the relief requested in the Pet~.tion to Compel the Filing of an Accounting and/or to Remove Executors shall not be grazzted. A response to this Rule is returnable within ten (10} days of the date of service . THE COURT J. r~ 4 .._... _. ~. f ~`_ ` ._... ~.aS I.,, ~ ~'. j 1 _ . L ~". 5.7.. ~ " ~._i ::_ t,f =~ .~ G" . IN RE: : IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. 3UMPER, :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED, N0.21-2001-0230 ORPHANS COURT DNISION I hereby certify that a copy of the foregoing document has been duly served upon the following, by depositing a copy of the same in the United States Mail, first-class, postage prepaid, as follows: Debra Jumper 1120 Rockledge Drive Carlisle, PA 17013 John E. Killinger, Jr. 41 Yorwick Road Carlisle, PA 17013 Wilmont Jumper 1136 Rockledge Drive Carlisle, PA 17013 Date: ~~~~QJ ~~~ ~~-- M W. Allshouse, Es 're orney ID # 78014 4833 Spring Road Shermans Dale, PA 17090 (717} 582-4006 Attorney for Petitioners RECEIVED APR 111005 IN RE: : IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER, :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED, : N0.21-2001-0230 ORPHANS COURT DIVISION QBI2F.$ AND NOW, this ~3 day of April, 2005, upon consideration of the attached Motion to Make Rule Absolute, it is hereby ORDERED that the Rule is hereby made Absolute. It is further ORDERED and DIRECTED: 1. Executors, Wilmont Jumper, Debra Jumper and John E. Killinger, Jr. are hereby removed by Order of this Court. Petitioners, Barry Jumper, Galen Lee Jumper and Duane Jumper are hereby appointed Co-Executors of the Estate of Ruth V. Jumper and shall forthwith continue, carry on and complete the administration and distribution of this Estate immediately. ~• Wilmont Jumper, Debra Jumper and John E. Killinger, Jr. shall provide to Petitioners, within fifteen (15) days of the date of this Order, an accounting of their administration of the above-referenced Estate from the date of probate until the present and shall deliver to Petitioners or their counsel, all estate records, documents, account ledgers, checkbooks, etc. necessary for Petitioners to complete the ~:~_` ~.... _~ 1.:_ ~ ,.,-, ~, I (`~RR.K. ~11r..~.~~~, FJ~-, W ~~~ ~~ i `Tv.~lv},~c~, ~. ff//-- 1%~3~~ ~Tc~m P~ , K1 (~~11D1~ ~~c ~ ~ rCl/~ ~:~~1 J. U~ r:u~u.n~ww 1 Aru,1r\e~'t'A"t'~S\I 1570. ].pet{ Crested: 4/15/05 9:02AM Revised: 4115/05 10:43AM 1N RE: COO ~?°° IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA ESTATE OF RUTH V. JUMPER, Deceased NO. 21-2001-0230 ORPHANS' COURT DIVISION JOINT PETITION TO OPEN ORDER AND FOR LEAVE TO FILE A RESPONSE TO PETITIONERS' PETITION TO COMPEL THE FILING OF AN ACCOUNTING AND/OR TO REMOVE EXECUTORS NUNC PRO TUNC AND NO W, come RESPONDENTS, WILMONT JUMPER, DEBRA JUMPER, and JOHN E. KILLINGER, JR., by and through their attorneys, MARTSON DEARDORFF WILLIAMS & OTTO, and in support thereof, respond as follows: 1. Ruth V. Jumper died testate on February 19, 2001, and appointed Respondents as co- executors of her estate. 2. On or about March 14, 2005, Petitioners, Barry Jumper, Galen Lee Jumper, and Duane Jumper filed a Petition to Compel of an Accounting and/or to Remove Executors of the Estate. 3. On March 26, 2005, this Court issued a Rule to Show Cause to the Respondents returnable within ten (10} days of the date of service. 4. On or about April 11, 2005, Petitioners filed a Motion to Make Rule Absolute with this Court. 5. On April 13, 2005, this Court signed an Order making the Rule Absolute and directed, among other things, the removal of the Respondents as co-executors of the Estate of Ruth V. Jumper and appointed Petitioners as co-executors. 6. Respondents failed to respond to the Rule to Show Cause because of improper and misleading advice from anon-legal professional. 7. Respondents are prepared to continue with the administration of the estate with the support of undersigned counsel. 8. Respondents will perform a final accounting of the estate and will make a final distribution the assets according to the Will. 9. Respondents are prepared to respond to the Petition. A copy of the Response is attached hereto as Exhibit "A." WHEREFORE, Respondents respectfully request that this Honorable Court open the Order making the Rule absolute and permit Respondents to respond to the Petition filed on or about March 15, 2005. MARTSON DEARDORFF WILLIAMS & OTTO By: Carl C. Risch, Esquire I.D. No. 75901 Christopher E. Rice, Esquire I.D. No. 90916 Ten East High Street Carlisle, PA 17013-3093 (717) 243-3341 Attorneys for Plaintiffs Date: April 15, 2005 .-...-,...z ~.-~.~- rnsir~iv.i.rcai Created: 4/15/05 9:02AMn Revised: 4/15/05 10:32AM IN RE: ESTATE OF RUTH V. JUMPER, Deceased IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA NO. 21-2001-0230 ORPHANS' COURT DIVISION RESPONSE TO PETITIONERS' PETITION TO COMPEL THE FILING OF AN ACCOUNTING AND/OR TO REMOVE EXECUTORS AND NOW, come RESPONDENTS, WILMONT JUMPER, DEBRA JUMPER, and JOHN E. KILLINGER, JR., by and through their attorneys, MARTSON DEARDORFF WILLIAMS & OTTO, and in support thereof, respond as follows: 1. Ruth V. Jumper died testate on February 19, 2001, and her Will was probated on February 28, 2001. 2. It was the intent of Ruth V. Jumper, as proclaimed by her Will, that Respondents, Wilmont Jumper, Debra Jumper, and John E. Killinger, Jr., be appointed co-executors of her Estate. 3. The Office of the Register of Wills of Cumberland County granted Letters Testamentary to the Respondents. 4. As directed by the Will, Ruth V. Jumper's farm was to be subdivided and portions granted to certain heirs. The farm is located at 1120 Rockledge Drive, Carlisle, Cumberland County, Pennsylvania, in the Township of South Middleton. 5. The bequests set forth in the Will regarding the distribution of the farm will not occur if the heirs cannot agree in writing that they will pay in advance their share of the costs of obtaining subdivision approval from all required municipal authorities. 6. Over the past four (4) years, Respondents have made numerous attempts to subdivide the farm and have held meetings with the heirs to discuss subdivision plans. 7. At this point, Respondents and the heirs have been unable to reach an agreement regarding the subdivision. Respondents have determined that the farm will have to be sold and plan to list the farm with a realtor. In fact, Respondents have been in contact with a realtor to discuss the sale of the farm. Exhibit A 8. Respondents have retained counsel to assist them in administering the Estate, which includes, but is not limited to: a. selling the farm in an expedited manner; b. preparing a final accounting; c. performing all duties as the executors with the guidance of counsel; and d. making a final distribution of the assets to the heirs in accordance with the Will. 9. Respondents, through their counsel, have determined what steps need to be taken to administer the Will. 10. Since they were appointed executors, Respondents have paid for real estate taxes on the farm, paid medical bills, and satisfied debts. 11. It is in the best interest of the Estate, that Respondents remain the co-executors of the Estate. WHEREFORE, Respondents respectfully request that this Honorable Court deny the relief requested by Petitioners and permit the Respondents to administer the Estate of Ruth V. Jumper. MARTS0~1 DEARDORFF WILLIAMS & OTTO BY= Carl C. Risch, Esquire I.D. No. 75901 Christopher E. Rice, Esquire LD. No. 90916 Ten East High Street Carlisle, PA 17013-3093 (717) 243-3341 Attorneys for Plaintiffs Date: April 15, 2005 CERTIFICATE OF SERVICE I hereby certify that a copy of the foregoing was served on Petitioners this date by depositing same in the Post Office at Carlisle, PA, first class mail, postage prepaid, addressed as follows: Richard P. Mislitsky, Esquire One West High Street P.O. Box 1290 Carlisle, PA 17013 Attorney for Petitioners Mark W. Allshouse, Esquire 4833 Spring Road Shermans Dale, PA 17090 Attorney for Petitioners MARTSON, DEARDORFF, WILLIAMS & OTTO Christopher E. Rice, Esquire Ten East High Street Carlisle, PA 17013 (717) 243-3341 Attorneys for Plaintiffs Dated: April 15, 2005 CERTIFICATE OF SERVICE I hereby certify that a copy of the foregoing petition was served on Petitioners this date by depositing same in the Post Office at Carlisle, PA, first class mail, postage prepaid, addressed as follows: Richard P. Mislitsky, Esquire One West High Street P.O. Box 1290 Carlisle, PA 17013 Attorney for Petitioners Mark W. Allshouse, Esquire 4833 Spring Road Shermans Dale, PA 17090 Attorney for Petitioners MARTSON, DEARDORFF, WILLIAMS & OTTO -~~ ~~i -~-~ B `. `' Christopher E. Rice, Esquire Ten East High Street Carlisle, PA 17013 (717) 243-3341 Attorneys for Plaintiffs Dated: April 15, 2005 RECEIVE' , ~ Y065 IN RE: IN THE COURT OF COMH~,~,~PR ~ 5 ~ `"~' CUMBERLAND COUNTY, PENNSYLVANIA ESTATE OF RUTH V. JUMPER, Deceased NO. 21-2001-0230 ORPHANS' COURT DIVISION ORDQER AND NOW, this ~ day of_ -'~""' , 2005, after consideration of the foregoing Joint Petition to Open and for Leave to File, Respondents' Petition is Granted and Respondents are permitted to file a response to Petitioners' Petition. Respondents must file said response within~ t~~^~-~I (10) days of the date of this Order. ~ t-/1 (!~"~ /~ /3~ 3 vDS ti ~/Z'~". /0 r-~. f-gyp o / ~ ~r-tf~"`" BY COURT , T r' ~. 3a ,~~.,~ . J C ties e 5 1`n a, `e.~ T~ '~ Q,c ~ ~ ~ ~~~s~oJS~J ~~~ C~~\ c ~ ~~ S~ ~ ~~`l ~,~, ~sPs ~b~l~~°~ L~ ~~~ a i RECEIVE`:..,: , ~ 2005 j~ 1N RE: IN THE COURT OF COM~'L,~,~PR 15 2005 `~- CUMBERLAND COUNTY, PENNSYLVANIA ESTATE OF RUTH V. JUMPER, Deceased NO. 21-2001-0230 ORPHANS' COURT DIVISION ORDER AND NOW, this ~ day of _, 2005, after consideration of the foregoing Joint Petition to Open and for Leave to File, Respondents' Petition is Granted and Respondents are permitted to file a response to Petitioners' Petition. Respondents must file said response w,it~hi~n t~~/ (10) days of the date of this Order. Q ~/~. (!~""~- ~ ~^^~ 13~ 3 vDS .'~ N' "'ma"'r". L-2 /0 rrt •f' D~,,,,~,;,, ~r-rr~,"~j"~, BY j /~' x - ~ nil ~ ~ ~o v S Q- ~~. 30 ,~~.M. COURT J . F:\FILES\DATAFILE\ESTATES\11570.1.res1 Created: 4/15/05 9:02AM Revised: 4/15/05 10:32AM .- ~-:.~-' 1N RE: IN THE COURT OF COMMON PLEAS z ,. , ~ - - ~ ~ ~ : CUMBERLAND COUNTY, PENNSYLVANIA ESTATE OF RUTI-hV JU1bIP1/R, "` p Deceased ~ '- - ~ NO. 21-2001-0230 ~ ORPHANS' COURT DIVISION RESPONSE TO PETITIONERS' PETITION TO COMPEL THE FILING OF AN ACCOUNTING AND/OR TO REMOVE EXECUTORS AND NOW, come RESPONDENTS, WILMONT JUMPER, DEBRA JUMPER, and JOHN E. KILLINGER, JR., by and through their attorneys, MARTSON DEARDORFF WILLIAMS & OTTO, and in support thereof, respond as follows: 1. Ruth V. Jumper died testate on February 19, 2001, and her Will was probated on February 28, 2001. 2. It was the intent of Ruth V. Jumper, as proclaimed by her Will, that Respondents, Wilmont Jumper, Debra Jumper, and John E. Killinger, Jr., beappointed co-executors of her Estate. 3. The Office of the Register of Wills of Cumberland County granted Letters Testamentary to the Respondents. 4. As directed by the Will, Ruth V. Jumper's farm was to be subdivided and portions granted to certain heirs. The farm is located at 1120 Rockledge Drive, Carlisle, Cumberland County, Pennsylvania, in the Township of South Middleton. 5. The bequests set forth in the Will regarding the distribution of the farm will not occur if the heirs cannot agree in writing that they will pay in advance their share of the costs of obtaining subdivision approval from all required municipal authorities. 6. Over the past four (4) years, Respondents have made numerous attempts to subdivide the farm and have held meetings with the heirs to discuss subdivision plans. 7. At this point, Respondents and the heirs have been unable to reach an agreement regarding the subdivision. Respondents have determined that the farm will have to be sold and plan to list the farm with a realtor. In fact, Respondents have been in contact with a realtor to discuss the sale of the farm. 8. Respondents have retained counsel to assist them in administering the Estate, which includes, but is not limited to: a. selling the farm in an expedited manner; b. preparing a final accounting; performing all duties as the executors with the guidance of counsel; and d. making a final distribution of the assets to the heirs in accordance with the Will. 9. Respondents, through their counsel, have determined what steps need to be taken to administer the Will. 10. Since they were appointed executors, Respondents have paid for real estate taxes on the farm, paid medical bills, and satisfied debts. 11. It is in the best interest of the Estate, that Respondents remain the co-executors of the Estate. WHEREFORE, Respondents respectfully request that this Honorable Court deny the relief requested by Petitioners and permit the Respondents to administer the Estate of Ruth V. Jumper. MARTSON DEARDORFF WILLIAMS & OTTO i By: Carl C. Risch, Esquire I.D. No. 75901 Christopher E. Rice, Esquire I.D. No. 90916 Ten East High Street Carlisle, PA 17013-3093 (717) 243-3341 Attorneys for Plaintiffs Date: April 15, 2005 CERTIFICATE OF SERVICE I, Mary M. Price, an authorized agent of MARTSON DEARDORFF WILLIAMS & OTTO, hereby certify that a copy of the foregoing Response was served on Petitioners this date by depositing same in the Post Office at Carlisle, PA, first class mail, postage prepaid, addressed as follows: Richard P. Mislitsky, Esquire One West High Street P.O. Box 1290 Carlisle, PA 17013 Attorney for Petitioners Mark W. Allshouse, Esquire 4833 Spring Road Shermans Dale, PA 17090 Attorney for Petitioners MARTSON, DEARDORFF, WILLIAMS & OTTO Mary Price Ten Ea t High Street Carlisle, PA 17013 (717) 243-3341 Dated: April 21, 2005 IN RE: : IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER, :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED, - N0.21-2001-0230 ~_ ~ _ ORPHANS COURT DIVISION ~' _. ~ , c ANSWER WITH NEW MATTER ~ ~ ' TO JOINT PETITION TO OPEN ORDER ~ _;_ :... ~..,.a C:: AND NOW, come Petitioners, Barry Jumper, Galen Lee Jumper and Duane Jumper by and through their attorneys, Richard P. Mislitsky, Esquire and Mark W. Allshouse, Esquire and respond to the Joint Petition to Open the Order as follows: 1-5. Admitted. 6. Neither admitted nor denied. Petitioners neither admit nor deny the averments contained in paragraph 6. Byway of further answer, if the averments contained in paragraph 6 are correct, the "improper and misleading advice" came from the same realtor who has now referred the Respondents to the attorney filing the instant Petition. Byway of further answer, Respondents' present attorney is also the attorney for the "non legal professional". 7. Neither admitted nor denied. The information contained in paragraph 7 can neither be admitted nor denied. By way of further answer, present counsel is at least the third attorney who has represented the Respondents. It is further averred, upon information and belief, that Respondents have contacted several other attorneys regarding representation. 8. No response is required. Respondent's averments in paragraph 8 are self-serving. By way of further answer, Respondents have had over four years to make a final accounting and distribution of the assets according to the Will. 9. No response is required. By way of further answer, Respondents call this Court's attention to the fact that the proposed Answer does not address the averments in the original Petition. By way of further answer, Respondents do not set forth any legitimate reason for the prolonged delay. 1 ~~ ~ WHEREFORE, Petitioners request this Honorable Court to reinstate its original Order dated April 13, 2005. New Matter 10. Petitioners incorporate by reference hereto the responses contained in paragraphs 1 through 9 as though fully set forth herein at length. 11. Respondents have demonstrated a pattern of practice of delay and dismissal of counsel. 12. Respondents have breached their fiduciary duty to the Estate by allowing the Estate to languish for four years without action. 13. Respondents' delays will cost the Estate, and its beneficiaries tens of thousand of dollars in fines and penalties. 14. While Petitioners do not suggest imposition of liability on the Respondents, it is respectfully submitted that the Respondents cannot continue as Executors for several reasons, including the potential liability they have to the Estate. 15. On April 13, 2005, the undersigned attorney met with all beneficiaries of the Estate and the family of some of the beneficiaries. 16. Counsel asserts that there are several reasons for the meeting: A. To point out to the beneficiaries that it is in everyone's best interest to get along and to refrain from personal disputes. B. To reach a consensus on how best to proceed. C. To provide counsel with insight as to the best method of resolving the personal differences and to determine the best method of protecting the best interests of the Estate. D. To explain to the beneficiaries that counsel fees would be reduced, if not completely eliminated, by reducing realtor fees to pay counsel fees. 2 17. Counsel believes, and therefore affirmatively avers, that the best interest of the Estate will be served by reinstating the Court's Order and by including John E. Killinger, Jr., one of the Respondents, as co-Executor of the Estate. 18. Counsel believes, and therefore affirmatively avers, that it is in the best interest of the Estate to request that this Court exercise its discretion and appoint a neutral appraiser to determine the value of the land at issue. 19. It is the opinion of counsel, and counsel therefore avers, that involvement of this Honorable Court will at times be necessary to reduce the probability of disagreement amongst the beneficiaries. 20. It is believed, and therefore averred, that allowing the present Executors to continue with administration of this Estate, in addition to the above, will further the existing animosity among the beneficiaries. WHEREFORE, Petitioners request this Honorable Court to reinstate its original Order dated April 13, 2005. Date:. ~ ~~ ~f Resp fully submitted, ' ~ ./ ~~ Richard P. Mislitsky, Esquire Attorney ID # 28123 One West High Street P. O. Box 1290 Carlisle, PA 17013 (717) 241-6363 Attorney for Petitioners 3 IN RE: : IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER, :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED, NO. 21-2001-0230 ORPHANS COURT DIVISION CERTIFICATE OF SERVICE I hereby certify that a copy of the foregoing document has been duly served upon the following, by depositing a copy of the same in the United States Mail, first-class, postage prepaid, as follows: Carl R. Risch, Esquire MARTSON, DEARDORFF, WILLIAMS & OTTO Ten East High Street Carlisle, PA 17013 r Date: ~~ ~ ~ ~ Respec Ily submitted, . _~~,V, Richard P. Mislitsky, Esquire Attorney ID # 28123 One West High Street P. O. Box 1290 Carlisle, PA 17013 (717) 241-6363 Attorney for Petitioners ~p ~J ~ (~ L7 F7 ,~;~ S inl ~~ ) 1 _, r; REV.,]OO EY. 6L01 Y~J ry~1rVU ` REV-1500 ~~ f l "I~L "_ ""~ COM1VAONWEALTH OF PENNSYIYANN INHERITANCE TAX RETURN FILE NUMBER OEPARDEGT 3BO60EVENIIE RESIDENT DECEDENT 21 0l ooz3o HARRISBURG. PA 1]r2e~a6o1 CDUNTY CODE YEAR NUMBER DECEDENT'S NAME (LAST, FIRST, AND MIDDLE INITIAL) SOCIAL SECURITY NUMBER JUMPER, RUTH V. 177-30-8709 O GATE OF DEATH (MM-pp-YEAR) GATE OF BIRTH (MM-DD-NEAR) THIe RETURN MUST eE FILED IN DUPLICATE WITH THE w 02/19/2001 03/20/1912_ REGISTER OF WILLS ~ (IF APPLICABLE) SURVIVING SPOUSE'S NAME (LOST, FIRST AND MIDDLE INITIAL) SOCIAL SECURITY NUMBER ® 1. Original ReWrn ^ 2. Supplemental Return 3. Remainder Return (date of tleam poor to 12-t3-e2) w w Y p Y ^ 4. Limited Estate ^ qa. Fmure Imerest Compromise (tlate or tlealh after ^ 5. Federal Estate Tax Return Required 12-12-82 rc m ® 6. Decedent Died Testate (Altacn copy ^ 7. Decedent Maintained a Living Trust (AUach 0 8. Total Number of Sale Deposit Boxes o. of Will) copy of Trustj < ^ 9. Litigation Proceeds Received ^ 10. Spousal Poverty Credit (dale of death between ^ 1 LElection to tax under Sec. 9113(A) (AVacn Scn G) 12-31-91 antl r-1-951 TH(~SE?~T1~}Nz l U T,'$E*~2P@P,~T~~r`nAU Ft"RLrSklt)F9bEpFCE`ktl . N..: a . Uk' •. R . , I ; ~'ta'Hdy ~DZ ~;B~RE~7`Ek~ro..Ph^ ,r" ' +:. AME COMPLETE MAILING ADDRESS Car] C. Risch, Esquire ~ o a IBM NAME (If applicable? Manson Deardorff Williams & Otto Ten East High Street C h l P ~ 17013 ar S e, E ELEPHONE NUMBER 7171243-3341 1. Real Estate (Schedule A) (1) 344 , 140.00 QFFIC+AL,JSE:~N;.v 2. Stocks and Bonds (Schedule B) (2) None 3. Closely Held Corporation, Partnership or Sole-Proprietorship (3) None ' 4. Mortgages & Notes Receivable (Schedule D) (4) None - 5. Cash, Bank Deposits & Miscellaneous Personal Property (5) -0- - (Schedule E) 6. Jointly Owned Property (Schedule F) (6) None o ^ Separate Billing Requested 5 7. Inter-Vivos Transfers & Mlscellaneous Non-Probate Property (7) None t,.;. F t~~„~~~~~ ~ ~, ~~ a 8. Total Gross Assets (total Lines 1-7) U rc 9. Funeral Expenses & Administrative Costs (Schedule H) (9) 47,313.94 10. Debts of Decedent, Mortgage Liabilities, & Liens (Schedule I) (10) 16,624.04 11. Total Deductions (total Lines 9 & 10) 12. Net Value of Estate (Line 8 minus Line 11) 13. Charitable and Governmental Bequests/Sec 9113 Trusts for which an election to tax has not been made (Schedule J) 14. Net Value Subject to Tax (Line 12 minus Line 13) z 0 5 a 0 (8) 140.00 (11) 63,937.98 (12) 280,202.02 (13) (1a) 280,202.02 SEE INSTRUCTIONS ON REVERSE SIDE FOR APPLICABLE RATES 1S.Amount of Line 14 taxable at the spousal tax rate, x ,00 or transfers under Sec. 9116(a)(1.2) 16.Amount of Line l4 taxable at lineal rate 280,202.02 x .045 17.Amount of Line 14 taxable at sibling rate x .12 18. Amount of Line 14 taxable at collateral rate x ,15 19. Tax Due - 20. ^ • • r ~.. ., . n',is "~at$ ~.E A Vd~R I: $kU L-) DN` ESE ID ~' E}Y (15) (1s) 12,609.09 (17) (18) (19) 72,609.09 ...: x k ~~ .. .. Copyright 2000 form software only The Lackner Group, Inc. Form REV•1500 EX (Rev. 6-00) Decedent's Complete Address: STREETADDRESS 1120 Rockledge Drive CITY Carlisle STATE PA zt2 17013 Tax Payments and Credits: 1. Tax Due (Page 1 Line 19) 2. CreditslPayments A. Spousal Poverty Credit B. Prior Payments C. Discount (1) 12,609.09 Total Credits (A + B + C) (2) 3. InterestlPenalty iF applicable D. Interest E. Penalty Total InteresUPenalty (D + E) (3) 4, If Line 2 is greater than Line t + Line 3, enter the difference. This is the OVERPAYMENT. (4) Check box on Page 1 Line 20 to request a refund 5. If Line 1 + Line 3 is greater than Line 2, enter the difference. This is the TAX DUE. (5) A. Enter the interest on the tax due. B. Enter the total of Line 5 + 5A. This is the BALANCE DUE. 0.00 0.00 12,609.09 (5A) (5B) 12,609.09 Make Check Payable to: REGISTER OF WILLS, AGENT PLEASE ANSWER THE FOLLOWING QUESTIONS BY PLACING AN "X" IN THE APPROPRUtTE BLOCKS i. Did decedent make a trensfer and: Yes No a. retain the use or income of the property transferred :.................................................................................. b. retain the right to designate who shall use the property transferred or its income :.................................... c. retain a reversionary interest; or .................................................................................................................. d. receive the promise for life of either payments, benefits or care? .............................................................. 2. If death occurred after December 12, 1982, did decedent transfer property within one year of death without receiving adequate consideration? ...................................................................................................._................. ^ 3. Did decedent own an "in trust for" or payable upon death bank account or security at his or her death?......... ^ 4. Did decedent own an Individual Retirement Account, annuity, or other non-probate property which containsa benefciary designation? ...................................................................................................................... ^ 1F THE ANSWER TO ANY OF THE ABOVE QUESTIONS IS YES, YOU MUST COMPLETE SCHEDULE G AND FILE R AS PART OF THE RETURN. preparer other than Ne personal repreaentaziv¢ is based on all Information pr which preparer has any knowledge. SIGNATURE OF PERSON RESPONSIBLE FOR FILING RETURN ADDRESS DATE wgmot Jumper 113b Rockledge Drive i , 1 . Q~~- Din r~2a1..~. Carlisle, PA 17013 Jumper Carl Ten East High Street Carlisle, PA 17013 For dates of death on or after July 1, 1994 and before January 1, 1995, the tax mte imposed on the net value of transfers to or for the use of the surviving spouse is 3 7 [72 P.S. §9116 (a) (1.1) (i)]. For dates of death on or after January 1, 1995, the tax rate imposed on the net value of transfers to or for the use of the surviving spouse is 0°I [72 P.S. §9116 (a) (i. t) (ii)]. The statute does not exemot a transfer to a surviving spouse from tax, and the statutory requirements for disclosure of assets and filing a tax return are still applicable even if the surviving spouse is the only beneficiary. For dates of death on or after July 1, 2000: The tax rate imposed on the net value of transfers from a deceased child twenty-one years of age or younger at death to or for the use of a natural parent, an adoptive parent, or a stepparent of the child is 0 % [72 P.S. §9116 (a) (1.2)]. The tax rate imposed on the net value of transfers to or for the use of the decedent's lineal beneficiaries is 4.5%, except as noted in 72 P.S. §91 t6 1.2) [72 P.S. §9116 (a) (1)1~ The tax rate imposed on the net value of transfers to or for the use of the decedent's siblings is 12% [72 P.S. §9116 (a) (1.3)]. A sibling is defined, under Section 9102, as an individual who has at least one parent in common with the decedent, whether by blood or adoption. ADDITIONAL Personal Representatives JUMPER, RUTH V. SS# 177-30-8709 2/19/2001 Under penalties of perjury, the undersigned declare that they have examined this return, including accompanying schedules and statements, and to the best of their knowledge and belief, it is true, correct and complete. 3 Signature ~ ` Name J f n E. Killinger, Jr. Address 41 orwick Road city, state, zip Carlisle PA 17013 Date 4 Signature Name Address: City, State, Zip Date 5 Signature Name Address: City, State, Zip Date {~ Signature Name Address: City, State, Zip Date 7 Signature Name Address: City, State, Zip Date COMMONWEALTH OF PENNSYLVANIA INHERRANLE iA%RETHRN RESIpENT pECEOENT SCHEDULE A REAL ESTATE ESTATE OF FILE NUMBER JUMPER, RUTH V. 21 - O1 - 00230 All real property owned solely or as a tenant in common must be reported at fair market value. Fair market value is defined as the price at which property would be exchanged between a willing buyer and a willing seller, neither being compelled to buy or sell, both having reasonable knowledge of the relevant facts. Real property which is jointly-owned with right of survivorship must be disclosed on schedule F. ITEM DESCRIPTION VALUE AT DATE OF NUMBER DEATH 70.25 acres with improvements thereon erected situate at 1120 Rockledge Drive, Carlisle, South I 344,140.00 Middleton Township, Cumberland County, Pennsylvania, being parcel No. 40-09-0529-032. Value per 2000 assessment (common level ratio is 1.0) TOTAL (Also enter on Line 1, Recapitulation) ~ 344,140.00 SCHEDULE E CASH, BANK DEPOSITS, & MISC. COMMONWEALTH OE RENNSTLVANIA PERSONAL PROPERTY INHERRANCE TAX RETURN RESIDENT OfCEOENT ESTATE OF FILE NUMBER NMPER, RUTH V. 21 - O1 - 00230 Include the proceeds of litigation and the date the proceeds were received by the estate. All property jointly-owned with the right of survivorship must be disclosed on schedule F. ITEM DESCRIPTION VALUE AT DATE OF NUMBER DEATH 1 Household furnishings and machinery (has no resale value due to deteriorated condition) 0.00 TOTAL (Also enter on Line 5, Recapitulation) ~ 0.00 CHEDULE H FUNERAL EXPENSES & COMMONWEALTH OF PENNSYLVANIA ~~~~^^~ INHERITANCE TT%RETURN (~' RESIDENT DECEDENT ESTATE OF JUMPER, RUTH V. FILE NUMBER 21 - O1 - 00230 Debts of decedent must be reported on Schedule I. ITEM DESCRIPTION AMOUNT NUMBER A, FUNERAL EXPENSES: 1 Ewing Brothers Funeral Home, Carlisle, PA 3,500.00 2 Westminster Cemetery, grave opening and closing 815.00 B. ADMINISTRATIVE COSTS: t. Personal Representative's Commissions Wilmot Jumper Debra Jumper John E. Killinger, Jr. Social Security Number(s) / EIN Number of Personal Representative(s): „7h H- SO - ~ G J Street Address 1136 Rockledge Drive City Carlisle State PA Zip 17013 Yea Attorney's Fees Manson Deardorff Williams & Otto, estimated 3_ Family Exemption: (If decedent's address is not the same as claimant's, attach explanation) Claimant Debra Jtunper -Luther Jumper Street Address 1120 Rockledge Drive city Carlisle State PA zip 17013 Relationship of Claimant to Decedent Children a. Probate Fees Register of Wills, Cumberland County 5. Accountant's Fees 6. Tax Return Preparers Fees 17,100.00 14,000.00 3,500.00 91.00 7. Other Administrative Costs 1 Dale F. Shughart, Jr., Esquire, attorney fees to probate and consultations re estate 1,270.50 administration 2 Death Certificates 6.00 Total of Continuation Schedule(s) 7,031.44 TOTAL (Also enter on line 9, Recapitulation) 47,313.94 ..,~SdiedulB HH ,Q COMMONWEALTH OF PENNSYLVANIA ~w ~~ ~^F~ ~ `^ INHERITANCE TA%RETNRN ~ l~~~a~ ~.d:.~..~J RESIDENT DECEDENT ~1A4~ l.Vl ~W RICL ESTATE OF JUMPER, RUTH V. FILE NUMBER 21 - 01 - 00230 3 Cumberland Law Journal, advertising Letters Testamentary 75.00 4 The Sentinel, advertising Letters Testamentary 5 Diversified Appraisal Service, appraisal fee 6 County/Township and school real estate taxes paid to date during administration of estate 7 Unpaid 2002 County/Township real estate taxes 8 Filing fee, inheritance tax return 9 Additional probate fee 10 Reserved for additional filing fees and expenses 150.00 350.00 4,441.25 275.19 15.00 225.00 1,500.00 Page 2 of Schedule H SCHEDULEI DEBTS OF DECEDENT, MORTGAGE COMMONWEALTH OF PENNSttVANIP LIABILITIES, & LIENS INHERRANCE YA%RETURN RESIDENT DECEDENT ESTATE OF FILE NUMBER JUMPER, RUTH V. 21 - O1 - 00230 Include unreimbursed medical expenses. ITEM DESCRIPTION AMOUNT NUMBER 1 Pennsylvania Department of Public Welfare, claim 16,361.36 2 Robert Cairns, South Middleton Township Tax Collector, 2001 real estate taxes 215.68 Wilmot Jumper, account payable for reimbursement for filing fees paid prior to death for Clean and Greenl 47.00 application TOTAL (Also enter on Line 10, Recapitulationl ~ 16,624.04 REV-1513 EXi (9A0) COMMONWEALTH OF PE SCHEDULE) BENEFICIARIES ESTATE OF FILE NUMBER JUMPER, RUTH V. 21 - O1 - 00230 RELATIONSHIP TO gMOUNT OR SHARE NUMBER NAME AND ADDRESS OF PERSON(S) RECEIVING PROPERTY DECEDENT OF ESTATE I TAXABLE DISTRIBUTIONS (include outright spousal distributions) 1 Debra Jumper Daughter I/11 estate residue 1120 Rockledge Drive, Carlisle, PA 17013 2 Twila Stacher Daughter 1/11 estate residue 215 Hoffman St, Jackson, CA 95642 3 Wilmo[Jumper 1136 Rockledge Drive, Carlisle, PA 17013 4 Miley Jumper, Jr. 37 G Street, Carlisle, PA 17013 5 Bonnie McKee 20 Kissme Road, Newville, PA 17241 6 Gary Jumper 8 North High St., Newville, PA 17241 See Continuadon Schedule(s) attached Enter dollar amounts for distributions shown above on lines 15 through 18, as appropriate, on Rev 1500 cover II. NON-TAXABLE DISTRIBUTIONS: A. SPOUSAL DISTRIBUTIONS UNDER SECTION 9113 FOR WHICH AN ELECTION TO TAX IS NOT BEING MADE B. CHARITABLE AND GOVERNMENTAL DISTRIBUTIONS 1/I l estate residue 1/I1 estate residue 1/11 estate residue 1lI1 estate residue TOTAL OF PART II -ENTER TOTAL NON-TAXABLE DISTRIBUTIONS ON LINE 13 OF REV-1500 COVER SHEET SCHEDULE) COMMONWEALTH OF PENNSYLVANIA BENEFICIARIES continued INHERITANCE TAX RETURN RESIDENT DECEDENT ESTATE OF FILE NUMBER JUMPER, RUTH V. 21 - Ol - 00230 RELATIONSHIP TO gMOUNT OR SHARE NUMBER NAME AND ADDRESS OF PERSON(S) RECEIVING PROPERTY DECEDENT OF ESTATE Do Not List Trusmals) ARABLE DISTRIBUTIONS linciude outright spousal distributions, and transfers under I, Sec. 9716(a)(1.2)] 7 Duane Jumper Son 1/11 estate residue 342 S. Washington St., Mechanicsburg PA 17055 8 Galen Lee Jumper 230 Mulbeny Ave., Carlisle, PA 17013 9 Barry Jumper 30 Conrad Road, Carlisle, PA 17013 10 Luther Dean Jumper 1120 Rockledge Drive, Carlisle, PA 17013 11 Charlotte Killinger 945 Trindle Rd., Carlisle, PA 17013 1111 estate residue I/11 estate residue 1/11 estate residue 1/11 estate residue Page 2 of Schedule J TMIS IS NOT A T/~X BILL MAILING DATE: July 1, iooo parcer]l Idennrtifer: District: 40 - SOUTH MIDDLETON TWP ~ O _ O J - O S ~ 3 - 03:2. School..: SOUTH MIDDLETDN SD Location: 1120 ROCKLEDGE DRIVE NAND APPROX. 70 ACRES TAXABLE Land Size....: 7:0.25 acres Property Type: A Agricultural W/Buildings Not EnYOlled in Ciean e. Green 2000 Assessed Value' 61iiAssessed Value Market Value (2000 Market x 100%) (1974 Market x 25 % ) Land 258, 080 258, 080 - 5, 44-0 Buldings 86, 0:60 86, 06'0 4, 510 TOTAL 3A4, 140 8!k4r~.48 9r9.5~0 2000 Cle2n and'Ot'een Values Lantl ~- 26, 63 ~' 26,b30 NOT Buildings g6, Ofi0 86,060 APPLICABLE TQ7A4 112,690 ],I2,6*TQ Cleen And ~ireen values apply to same farm and iaYe~t I~nd~. sash values beGOme affective only upon eppli~tion ahd ~pj~roval Ail ~apPliCatiOns mupt be receiv4rJ.iiy the Assessment Office ~ 43b p ,m: tin ~etabgr 1~ 2A170. Tfi'os~ pre~iayslx apprqued fvr Glyn ~n ~n f~4 rC~i4 ~ee''io.re appry p~~T dG~P~S OF ~'HE SUg,~~C~, Il-IPgp~,~~ENTS ~T~X~Ig ~A,~ ~~~ PHOTOGRAPHS OF THE SUBJECT LAND 9~JLE "A' SIIEISJLE 'B" l'~"' T A X I N F O R M A T I O N May 3, 2005 Cumberland County - South Middleton School Dist. - South Middleton Township Name as it appears in Tax Duplicate: JUMPER, RUTH V 1097 ROCKLEDGE DRIVE CARLISLE, PA 17013 Tax Year* 2002 2002 2002 Acct# 40-09-0529-032 Location: 1120 ROCKLEDGE DRIVE Land 250,330 Improvements 66,750 Total Assessment 317,080 T A X S T A T U S Taxing Authority Face Amt Status Amt Paid Date Paid Amount Due ----------- County ----------- 230.56 ---------1- UNPAID ------------- ~2lK CZO-~'ti"' -- ------ `~C''`-p~`~`-`- 253 62 Library 11.60 ~ UNPAID ~4-O _G, 3U, ~ 12.76 Township 8.01 UNPAID g,gl 2002 School 2003 County 2003 Library 2003 Township 2003 School 2004 County 2004 Library 2004 Township 2004 School 2005 County 2005 Library 2005 Township 1,194.51 PAID 230.40 PAID 11.59 PAID O C U PAID 1,249.97 PAID 242.00 PAID 22.86 PAID C CO PAID 1,340.06 PAID 193.50 PAID 17.37 PAID D . U p PAID 1,170.62 10/07/02 253.44 12.75 D•op 1,224.97 237.16 22.40 0 • CO 1,313.26 189.63 17.02 U OU 01/15/04 01/15/04 01/15/04 08/28/03 04/26/04 04/26/04 04/26/04 08/23/04 05/02/05 05/02/05 05/02/05 Total Due 275.19 * The School tax year is July 1 of the year shown, through June 30 of the following year. Both the Township and County use the calendar year. If prior year info is needed please contact The Cumberland County Tax Claim Bureau. I, Judy Campbell, Tax Collector for South Middleton Township do hereby certify the above information to be the true and correct Tax Status of the above listed property. _ - ( s- ned) _ _ TAX -OLLECTOR - _ _ _ - - - - - _ - - _ - -DATE _ - - - - - 9~t17rF "H", 7, Inns 6 & 7 COMMONWEALTH OF PENNSYLVANIA DEPARTMENT OF PUBLIC WELFARE BUREAU OF FINANCIAL OPERATIONS ESTATE RECOVERY PROGRAM PO BOX 8486 HARRISBURG, PA 17705-8486 March 29, 2002 WILMONT JUMPER 1136 ROCKLEDGE DR CARLISLE PA 17013 Re: RUTH JUMPER CIS #: 560124805 SSN: 177-30-8709 Date of Death: 02/19/2001 Dear Mr. Jumper: Please be advised that the Department of Public Welfare maintains a claim in the amount of $16,361.36 against the above-mentioned estate. This claim is for restitution of medical assistance granted on behalf of the decedent £or which the Probate Estate is now responsible to reimburse the Department according to Act 49, 62 P.S. 1412, of £ective August 15, 1994, as amended by Act 20-95, e£f ective June 30, 1995. Enclosed is the Department's itemized statement of claim. A portion of this medical expense, namely $_00, was incurred during the last six months of the decedent's life; therefore, it is a Class 3 claim pursuant to Section 3392 of the Decedents, Estates, and Fiduciaries Code, 20 Pa. C.S.A. 3392(3). The balance of the claim, namely $16,361.36, is to be entered as a priority Class 6 claim against the estate. Please acknowledge receipt of this letter and advise whether the Commonwealth's claim is admitted and when payment may be expected. If the estate accounting is complete, please provide a copy. if the estate contains real estate, please provide copies of the deed, tha latest tax assessment, and a current appraisal, i£ available. Sincerely, ~~1~~. ~~zr-wry '.~ Carol J. Zellers TPT. Prngraln TnyogtigatOr 717-772-6266 717-772-6553 FAX Enclosure 5~ll2ULE ~T,~, Itxn 1 (1/5) R COMMONWEALTH OF PENNSYLVANIA DEPARTMENT OF PUBLIC W ELFARE BUREAU OF FINANCIAL OPERATIONS TPL SECTION ~ CASUALTY UNIT PO BOX 8496 HARRISBUflG PA 17105-8486 March 15, 2001 STATEMENT OF CLAIM SUMMARY Estate of JUMPER, RUTH 560 124 805 March 15,2001 STATEMENT Of CLAIM w JUMPER, RUTH 560 124 805 STOKEN DREW J 338 ALEXANDER SPRING ROAD CARLISLE PA 17013 05/12/99 - 05/12/99 06/07/99 91549498210 00000000000 2,645.00 146.46 DIAGNOSIS 1 : 36674 POST SUBCAP SENILE CATAR DIAGNOSIS2: 36616 SENILE NUCLEAR CATARACT PROCEDURE : 66964 "EXTCAP CAT REM W/INSERT INTRAOC LNS PRO1 STAGE PROC MANUAVPHACOEMULSIFICA TECH STOKEN DREW J 01 1114534 2,645.00 I 146.48 "I"~ 1 (3/5) March 75, 2001 STATEMENT OF CLAIM NAME= JUMPER, RUTH f6 - 560 724 805 BLUE MOUNTAIN ANES ASSOC PC 01 1390303 5,250.00 ~ 9.85 March 15, 2001 STATEMENT OF CLAIM NA~E~ JUMPER, RUTH v~, ; ~ 560 124 805 CUMBERLAND CO COMMRS CLAREMONT NRC OF CUMB CNTY 375 CLAREMONT DR CARLISLE PA 17013 01/26/99 - 01/31/99 01/15/00 00151594770 DIAGNOSIS i DIAGNOSIS 2 : PROCEDURE: 02/01/99 - 02/28/99 01/15/00 00151594730 DIAGNOSIS 1 DIAGNOSIS 2 PROCEDURE: 03/01/99 - 03/31/99 01/15/00 00151594780 DIAGNOSIS 1 DIAGNOSIS 2 PROCEDURE: 04/01199 - 04!30!99 01!15!00 00151594760 DIAGNOSIS 1 DIAGNOSIS 2 PROCEDURE: 05/01!99 - 05/31!99 01!15!00 00151594740 92005508470 775.86 775.66 91445504540 3,034.68 3,034.68 92225900020 3,422.61 3,422.61 91965501200 3,324.80 3,324.80 91565613000 3,410.16 3,410.16 DIAGNOSIS 1 DIAGNOSIS ^e PROCEDURE 06/01/99 - 06/22/99 01/15/00 00157594750 91905506980 2,236.92 2,236.92 DIAGNOSIS 1 DIAGNOSIS 2 PROCEDURE CUMBERLAND CO COMMRS 35 0749064 16,205.03 ~ 16,205.03 "I", 1 (5/5) LAST WILL AND TESTAMENT flF RUTH JUMPER f, Ru[h Jumper, widow, of South Middleton Township, Cumberland County, F'ennsvlvutih being of sound and disptuing mind,.me"rnr~',.andyncltrstanding, do~hereby make, publish, ;md declare this as and for my Last Will and Testament, hereby revoking end making void any end ell Wills by me at any time herctofort made. 1. 1 direct my hueinefler named Executors to pay all of mydebts co which I am bound and funeral the ezptnses of my funeral, last illness, and of the adtninistratlon oEmy uWtc as wen elmr my depth as may be Found convenient to do so. Z. t declare that I am currcn dy a widow, and that I have eleven (1I) children who ore Ucbn Jurn per, Twila Stacher, Wilmot Jumper, Miley Jumper, Ic, rionnie McKee, Cary lumpe r, Duane Iumper, Geltn Lee Jumper, [carry lumprl. Luther.Dean Jumper, and Charlotte Killinger. 1 further declare that I have no other children_ ]. 1 hereby dvcct my~Exccuwrs to make arrangements for the subdivision of the farm which 1 own in South Middle[on Township, CLmberland County, Pennsylvania, having a mailing adeUcss of 1120 Rockledge Drive, Carlisle, Pennsylvania, frr. theT ~ enc.-nf_c_arrying..,u! Ghc hercinahr staicd bcqut:ars. ] $rve, devise and bequeath: a. to my daughun. Debra Jumper and Twila Swcher, my house at 1120 Rockledge Urivc together with al! the tangible petzottat psnpecty located therein and togttbcr also with an amount of land the house dersmrinrA_tty_my )?xecutors.sn. 6c a *eac~~able-ntnount of land (or the use of the house as a singie Family msidence. tx tomy son; Miley Jumper, Jr., the land surrounding his mobile home consisting of approxlmatdy one (U acre. c. to my son, Duane Jumper, s lot at the nonheast come of the Farm, which lot shell be approximaldy one (1) acre. d. to each of my wns, Orilcn Lee lumptr, Bony Jumper, and Luther Dcan Sumpcr. and rr}y daughtu, Charlotte Killinger, a Lu of ground, each of said tuts w tx approximately ape (1) Bert. c. to my son, Wilmot Jumper, all the remalndu of the farm. Providctl, hnsuavcr,-that.nosuchabovt-mentioned child shall be entitfedto the bequest alxrvc urilcss and until they indicate in writing that they desire to restive such bequest and arrce in writing to pay in advance their share of the costs of obtaining subdivision approval from all tequiicd mumapa{ authorities, which costs shall be determined on a per capita and not on a prtt- rate basis. j If any of my ebovcmentioncd children, with the exception of my son, Wilmot lumper, shall predecease me, fail to survive me by e_perfod of ninety (40) days, or not Indicate In writtng (~ their dcsirt to reeeive they bet,ucst and thdr wlllingness ro pay in advance their per capon ilrvc of ~shc costs of obtaining suhdivivon approval, then their bequest shall lapse and shall tx added to the ~ gh are of my son; Wilmot )umptt. If my son, Wilmot jumper, ~ha11 predectast me, fail to survive "me try a pcrl<xi of ninny (90) days, w not indicate in writing his desire to receive his bequest and his willingness to pay m advance his per capiu share of the costs of ob[nlniny subdivision ~-f- -,eppmval, then his bequest shall lapse and shalt tx added w the rtmaindcr of my estate. If (or any"'t reason, any part of the subdivision of my fame as sst Conk herein shall not be possible, then m I ~, such evrnt each of the isquesus set forth in-this.Pangraph 3shall-.lapuand-be added to the f Iemnlndcr of my es181e. i s' 4. All the rest, residue, and remainder oC my estate, real, personal, or mixed, and ~ wheresoever the suns may bt situnte. I give, devise, and bequeath to such of my children as sh:dl survive me by a period of nlnuy (90) days, the share any deceased child would have received to ~ pass to his or her issue per stirpes, and if there be no issue such shore shall lapse and be added to t~-,~ the remaining sham or shares per stirpes. At the present time I have eleven (I1) children as ~` aforcmcnlioncd. ~~t ~1 l ~L L; . .Page Lot }pages S. Should any person Less than I8 years of age be enutled to distribution (sum my estate, in such even the share That person would otherwise have received shall be paid to my Extcwors, in trust, to rce<ive and invest the same, and ro pay the income arising th<re rom, together wish so much of the principal therto! as in her opinion is necessary or desirable to be expended (or the proper maintn ranee, support, 9ndrd~irn~'n~. n('-such person, m.or for the bcrtefu.uf_wch. person, and upon sucfi person attaining lg yeas of age ro pay to him or ha the then remaining principal together wish any undisviburcA income. 6. 1 hereby nominme, canuituln, end appoint my daughter, Debra Jumper, my son Wilnu>t Jumper, end my grandson, John E. Killinger, Jr., or any n( them, as Hxecmors n( this my i..asl ~'s'i11 and "Testament end 1 further direct that none of Ihcm shell he requirui to post ;my hpnd to sccurc the faithful pMormantt of leis or her duties in the Commonwenllh of Vcnns yl v;m is ur i^ any othu jungSigion. 7. In addition to dm powers confe rrrd by low. my herds named fxennors and Tnnrecs arc empowered: e. To invest any part of the trust corpus in such securities, investments, nr other property as may be deemed advisable and proper, irrespective of whether the same me auviorized for the inve stmtnt oC trust funds under the laws oC any goveming jurisdiction. b. With rupUt loany rorporalion~shcsurcks, 6onds,.nr other ucuritics oC which may be held, to vote In person or by proxy on any shares of stock; w consent to the merger, consolidation or reorganisation of such corporations; to consent to the leasing, monyeging.. or sale of the ptoocrty p( any such corporations, to make any sutra nA<r, exchange or subsdmtlon of such stocks, bonds, m other securities as an Incident to the. merger, consolidation or reorganization of such corporations; to pay all asst ssmems, subscriptions and o0mr sums or money which may he damui wise and expediav fur the prtnecuon and matntena ace of the proportionate in teresl of the investmmr In such cnrlwratiuns: to exca:ise any option or_priuilegt uhickr-nwy be tonlerredupor;.tl~eholJrts of suih stocks, bonds, or other sccurc dos of such crporations tither for the convcniun or Uic some info other securities or (or tlx purchase of additional securities, wed to mske any noel a1V ncccssary'pnynacnts which may be rcyuircd in connection th<rcwith; noel gcncrnlly rn have end exercise as to all such stocks, bonds, and udder ucuritics, the powers of nn individual ownec who b under oust obligation. c To hold the trust corpus In one or more consolidated fun As in which separate shares shall have und'widedinterests. d. To sell ac public nr private salt for cash or upon crcAit, er pertly for cash nnA portly on crWit, sad upon such terms and condidons as shall be Aeemed proper, any pan or pare yr the trust estate, and no purchaser at any such salt shall be bound co mtluirc into the expediency or ptupriely of any such sale or to sec to the applicaUOn of the purchase numcy arising Therefrom. e, To keep on hand and uninvamd such moneys as may be deemed proper and fur such period as.may he Sound rxprd. r++r /. To compromise, scale, or arbitrate any claim or demand in lavor of or agains[ the tn~st estate. g. ~,nd authorized in the diuharge oC fiduciary duties, to em toy counu and w (.!_. Qrtcrntinc and to pay such counsel reasonable rompensadon which shall be charged against the principal vrincome'af the trust fund,-artd3ha117urthcr-betnthlcdto charge against cite principal or inrnmc mch ocher reasonable expenus end charges ac may 6c accessary enA proper to incur (or the proper discharge of Ciduciary duties and for the proper management ~ and administration of the trust estate. , h. In making any division o(projrcrty-intosh arcs (or the purpose of any cl distribution thcreaC directed by the provlssons of the wst, to melee such division or distribution, either in [ash or in kind, nr partly in cash end pertly in kinA, as shall t>< a flamed nxtst expedient, and in making any divtston or distribution in kind may slVa any -?~ spccifr. security or property or any undivided interest therein to any one or more of such t-' ~Jtares. end to that end may appmise.~ny ~r.sll of iht pmpenyso 1o. bealbeted and the ~ lodgment as to the propriety of such allotrrcnt and u to the relative value for purposes of C~ disco bwion of the securities or property so dlottcd shall be foal and conclusive upon all ` pcrmns imc.~ested in the tn,st or to the divi Sion or distribution lhe¢of. P.rgr. 2 of 3 pages t // _t t3a-1996 1E=2V fi;, -~` IN WITNESS WHEREOF, I hove hcrtunro set my hand arx! scat on this Pagc 3 of 3 Pages of this my Last Will and Tcstatrxnt written this 14th day of November, 1991, v C (SEAL) Ruth Sumper to our pr>:senec.&iuh Sumpu-signed his and-dctlared.lcto. he her-Will, and now ae her requ<st, in her pr<sence, and In the presence of each other, we sign es wimessec. i /\ ~ ~, ' 959 /-~ / j ` 1 /( J' f ~-~~ ~,., y D (L1 ~~ I Vl p l w t 1 ~ w r y n () ~ ~-e- I ~c 1 V~ ~~ ,/ 1 La ;`~" owvF 51'~0y~'~,~'t~rc~~-~d,2F~ ~w `~ G~,~ of ~S~l ~ 199 ~ ~GL I ,5 ~"t ~~~' ~L~/ 2 d I ~~~~w ~C(~ e,~j / ~ ~ (~ bi I ~" l N lI~ ~~.~,~ 2~. t-ti , d~'~~~e~2, ~~ ~~.;~~~~ ~~~~ b2 dew w7 l) ~ti~ ~ vcti~~. ~~c~~ ~~~ /~J~)~,~~/`w ~t~,/~2, ///~~~ww.'^tCp`e~cti~c~~~, ~"G~~~e, p~ 2'e~ P (nl~!. P d _.y-~ 2~ ~" ' U ~~P~J U~IJ .S (~/ i'1 ~1. ~ ~4/~t.~~~~J~JJ J' V ~1+ l ~ ~ Pagc 3 of 3 pages -tie-i4q~ ls~;, ,~;: IN RE: ESTATE OF 1N THE COURT OF COMMON PLEAS OF RUTH V. JUMPER, DECEASED, LATE :CUMBERLAND COUNTY, PENNSYLVANIA OF SOUTH MIDDLETON TOWNSHIP, CUMBERLAND COUNTY, :ORPHANS' COURT DIVISION PENNSYLVANIA N0.21-01-230 PRAECIPE TO THE REGISTER OF WILLS OF CUMBERLAND COUNTY Enter the appearance of Carl C. Risch, Esquire, MARTSON DEARDORFF WILLIAMS & OTTO, in the above estate. MARTSON D RDORFF WILLIAMS & OTTO Dated: '~ ~'~/~~'~ By: Carl C. Risch (75901) Ten East High Street Carlisle, PA ] 7013 (717)243-3341 V` IN RE: IN TAE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA ESTATE OF RUTH V. JUMPER, NO. 21-2001-0230 Deceased ORPHANS' COURT DIVISION ORDER OF COURT AND NOW, this 2nd day of May, 2005, after hearing, the Court is satisfied that it is not possible to have the farm subdivided in accordance with the wishes of the testator. Therefore, pursuant to her will, the individual bequests of real estate shall lapse and be added to the remainder of her estate. Richard P. Mislitsky, Esquire Mark W. Allshouse, Esquire For the Petitioner Carl C. Risch, Esquire Christopher E. Rice, Esquire For the Resondents mlc _; ~ - 8-05 Q. c~pQp Q . M ~ sL~S1<~ , E S c~ . CuR~ c . R.~SC~ ~ EsO. via ~SQS ..~L COMMONWEALTH OF PENNSYLVANIA DEPARTMENT OF REVENUE BUREAU OF INDIVIDUAL TAXES RL~ON~(Ti~~L~ANCET RCDISALLOWANCE INHERITANCE TA% DIVISION PO sox 2EO681 ~ ~ .~~, xTLIANS, AND ASSESSMENT OF TAX HARRI58DRG PA 17128-8681 "'- ~ ""' REV-1547 Ex AFP (86-85] 2D~5 BUG -1 Fri IZ~ Z5 ESTATE OF JUMPER2005 RUTH V DATE OF DEATH 02-19-2001 C~E~ifi ~~~- _ FILE NUF03ER 21 01-0230 ~~~~' ~~'~ COUNTY CUMBERLAND CARL C RISCH ESQ (;(i ACN 101 MARTSON ETAL APPEAL DATE: 09-30-2005 10 E HIGH ST (See reverse side under Objections) CARLISLE PA 17013 Amount Remitted MAKE CHECK PAYABLE AND REMIT PAYMENT TO: REGISTER OF WILLS CUMBERLAND CO COURT HOUSE CARLISLE, PA 17013 CUT ALONG THIS LINE ____ ~ RETAIN LOWER PORTION FOR_YOUR RECORDS (- REV-1547 EX AFP C03-05] NOTICE OF INHERITANCE TAX APPRAISEMENT, ALLOWANCE OR DISALLOWANCE OF DEDUCTIONS AND ASSESSMENT OF TAX ESTATE OF JUMPER RUTH V FILE NO. 21 D1-0230 ACN 101 DATE 08-01-2005 TAX RETURN WAS: ( ) ACCEPTED AS FILED ( X] CHANGED SEE ATTACHED NOTICE APPRAISED VALUE OF RETURN BASED ON: ORIGINAL RETURN 1. Real Estate [Schedule A) 2. Stocks and Bonds (Schedule B] 3. Closely Hsld Stoek/Partnership In{sres4 fcchadule C) 4. Mortgages/Notes Receivable (Schedule D) 5. Cash/Bank Deposits/Misc. Personal Property (Schedule E) 6. Jointly ONnad Property ISehedula F) 7. Tronsfsrs (Schedule 6) 8. Total Assets (1) 344,140.00 NOTE: To insure proper (2) .00 credi4 to your xeount, [3) .00 submit 4he upper portion of 4his Porn Nith your (4) .00 tax payment. t5) .00 (a) .00 [77 .00 (g) 344,140.00 APPROVED DEDUCTIONS AND EXEMPTIONS: 9. Funeral Expenses/Adn, Costs/Misc. Expenses IScMdule H) 41,372.69 (9] 10. Deb{s/Mortgage Liabilities/Liens (Schedule I) I30) 16.624 .04 11. Total Deductions (11) 57 .996.7 12. Ne4 Value of Tax Return (12) 286,143.27 13. Charitable/govarnaental Bsquests~ Non-elected 9113 Trus ts (Schedule J) (13) .00 14. Net Valw of Esta{e Subject to Tax (14) 286,143.27 NOTE: I} an assessment was issued previously, lines 14, 15 andior 16, 17, 18 and 19 will re}lect }igures that include the total o} ALL returns assessed to date. ASSESSMENT OF TAX: 25. Anowt of Line 14 at Spousal rate f15) .00 X 00 _ .DO 16. Mount of Line 14 taxable at Lineal/Class A rate (16) 286,143.27 X 045 . 12,876.45 17. Aaoun4 of Lina 14 at Sibling rate (17) •00 X 12 .00 18. Anoun4 of Lins 14 taxable a4 Collateral/Class B rata (18) .00 X 15 .00 19. Principal lax Dw (yq). 12,876.45 DATE ~ NUMBER ~ INTEREST/PEN PAID (-] I ~u+T PAID INTEREST IS CHARGED THROUGH 08-16-2005 TOTAL TAX CREDIT .00 o AT THE RATES APPLICABLE AS OUTLINED ON THE BALANCE OF TAX DUE 12,876.45 REVERSE SIDE OF THIS FDRM INTEREST AND PEN. 2,468.87 TOTAL DUE 15,345.32 ^ IF PAID AFTER GATE INDICATED, SEE REVERSE f IF TOTAL DUE IS LESS THAN S1, ND PAYMENT IS REQUIRED. FOR CALCULATION OF ADDITIONAL INTEREST. IF TDTAL DUE IS REFLECTED AS A ^CREDIT^ (CR), YOU MAY BE DUE A REFUND. SEE REVERSE SIDE OF THIS FORM FOR INSTRUCTIONS.) REV-101U E . (Gbe) COMMONWEALTH OF PENNSYLVANIA DEPARTMENT OF REVENUE BUREAU OF INDIVIDUAL TA%ES PO Box 280807 INHERITANCE TAX EXPLANATION OF CHANGES Jumper, Ruth V. 2101-0230 Daniel Heck L'.... 101 ITEM SCHEDULE NO, EXPLANATION OF CHANGES H Ig_7(g)I Reduced to $00. Real estate taxes are decedents date of death. for the years H B-7 Monies held in reserve for future administrative expenses are not allowable deductions. (10) Row Page 1 Cumberland County - Register Of Wills One COUrthGUSe Square Carlisle, PA 1?Oi3 Phone:(717) 240-6345 Date: 1/13/2006 RISCH CARL C 10 EAST HIGH STREET CARLISLE, PA 17013 RE: Estate of JUMPER RUTH V File Number: 2001-00230 Dear Sir/Madam: It has come to my attention that you have not filed the Status Report by Personal Representative (Rule 6.12) in the above captioned estate. As per the AMENDMENTS TO SUPREME COURT ORPHANS' COURT RULES, NO. 103 SUPREME COURT RULES DOCKET NO. 1, for decedents dying on or after July 1, 1992, the personal representative or his counsel, within two (2) years of the decedent's death, shall file with the Register of Wills a Status Report of completed or uncompleted administration. This filing is due by: 2/19/2006 Your prompt attention to this matter will be appreciated. Thank You. Sincerely, c_..~ GLENDA FARNER STRASBAUGH REGISTER OF WILLS cc: File Dergpnal Rar~ra~c?ntat itTe (8) Judge Cumberland County - Register Of Wills One Courthouse Square Carlisle, PA 17013 Phone:(717) 240-6345 Date: 2/03/2006 DEBRA JUMPER 1120 ROCKLEDGE DRIVE CARLISLE, PA 17013 RE: Estate of JUMPER RUTH V File Number: 2001-00230 Dear Sir/Madam: It has come to my attention that you have not filed the Status Report by Personal Representative (Rule 6.12) in the above captioned estate. As per the AMENDMENTS TO SUPREME COURT ORPHANS' COURT RULES, NO. 103 SUPREME COURT RULES DOCKET NO. 1, for decedents dying on or after July 1, 1992, the personal representative or his counsel, within two (2) _years of the decedent's death, shall file with the Register of Wills a Status Report of completed or uncompleted administration. This filing is due by: 2/19/2006 Your prompt attention to this matter will be appreciated. Thank You. Sincerely, ~~ f r GL•ENDA FAR?~TER STRASBPUGH REGISTER OF WILLS cc : File Counsel J edge \~ l ~ Cumberland County - Register Of Wiiis One Courthouse Square Carlisle, PA 17013 Phone:(717) 240-6345 Date: 2/03/2006 WILMONT JUMPER 1136 ROCKLEDGE DRIVE CARLISLE, PA 17013 RE: Estate of JUMPER RUTH V File Number: 2001-00230 Dear Sir/Madam: It has come to my attention that you have not filed the Status Report by Personal Representative (Rule 6.12) in the above captioned estate. As per the AMENDMENTS TO SUPREME COURT ORPHANS' COURT RULES, NO. 103 SUPREME COURT RULES DOCKET NO. 1, for decedents dying on or after July 1, 1992, the personal representative or his counsel, within two (2) years of the decedent's death, shall file with the Register of Wills a Status Report of completed or uncompleted administration. This filing is due by: 2/19/2006 Your prompt attention to this matter will be appreciated. Thank You. Sincerely, /~ GLENDA EARNER STRASBAUGH REGISTER OF WILLS cc: File Coen sel Judge `\ Cumberland County - Register Of wins One Courthouse Square Carlisle, PA 17013 Phone:(717) 240-6345 Date: 2/03/2006 JOHN E KILLINGER JR 41 YORWICK RD CARLISLE, PA 17013 RE: Estate of JUMPER RUTH V File Number: 2001-00230 Dear Sir/Madam: It has come to my attention that you have not filed the Status Report by Personal Representative (Rule 6.12) in the above captioned estate. As per the AMENDMENTS TO SUPREME COURT ORPHANS' COURT RULES, NO, 103 SUPREME COURT RULES DOCKET NO. 1, for decedents dying on or after July 1, 1992, the personal representative or his counsel, within two (2) years of the decedent's death, shall file with the Register of wills a Status Report of completed or uncompleted administration. This filing is due by: 2/19/2006 Your prompt attention to this matter will be appreciated. Thank You. Sincerely,~~-- ,,~~ ,~ ,r GLENDA FARNEP~ STRASBAUGH P~EGISTER OF WILLS cc: File Counsel Judge ~~ F REGISTER OF WILLS OF CUMBERLAND COUNTY STATUS REPORT UNDER RULE 6.12 (For Resident Decedents Dying After July 1, 1992) Name of Decedent: RUTH V, JUMPER Date of Death: February 19, 2001 File No.: 21-01-0230 Social Security No.: 177-30-8709 Pursuant to Rule 6.12 of the Supreme Court Orphans' Court Rules, I report the following with respect to completion of the administration of the above-captioned estate: 1. State whether administration of the estate is complete: Yes No x , 2. If the answer is No, state when the personal representative reasonably believes that the administration will be complete: At least 6 to 12 months. Administration cannot be completed until the real estate of decedent is sold; no buyers at this time. 3. If the answer to No. 1 is Yes, state the following: a. Did the personal representative file a final account with the Court? Yes No b. The separate Orphans' Court No. (if any) for the personal representative's account is: c. Did the personal representative state an account informally to the parties in interest? Yes No d. Copies of receipts, releases, joinders and approvals of formal or informal accounts may be filed with the Clerk e r s ourt and may be attached to this report. 1 Date: February 13, 2006 Signature: Name: Carl C. Risch, Esquire Address: MARTSON DEARDORFF WILLIAMS & OTTO Ten East High Street Carlisle, PA 17013 _, (717) 243-3341,. -Counsel for~personal representatives F: \FILES\DATAFILE\ESTATESII 1570.1. SREP ~~~ REGISTER OF WILLS OF CUMBERLAND COUNTY STATUS REPORT UNDER RULE 6.12 (For Resident Decedents Dying After July 1, 1992) Name of Decedent: RUTH V, JUMPER Date of Death: February 19, 2001 File No.: 21-01-0230 Social Security No.: 177-30-8709 Pursuant to Rule 6.12 of the Supreme Court Orphans' Court Rules, I report the following with respect to completion of the administration of the above-captioned estate: 1. State whether administration of the estate is complete: Yes No x 2. If the answer is No, state when the personal representative reasonably believes that the administration will be complete: At least 6 to 12 months. Administration cannot be completed until the real estate of decedent is sold; no buyers at this time. 3. If the answer to No. 1 is Yes, state the following: a. Did the personal representative file a final account with the Court? Yes No b. The separate Orphans' Court No. (if any) for the personal representative's account is: c, Did the personal representative state an account informally to the parties in interest? Yes No d. Copies of receipts, releases, joinders and approvals of formal or informal accounts may be filed with the Clerk e r `s ourt and may be attached to this report. Date: February 13, 2006 Signature: Name: Carl C. Risch, Esquire Address: MARTSON DEARDORFF WILLIAMS & OTTO Ten East High Street Carlisle, PA 170.13 (717-) 243-3341,: ~~~ -Counsel for personal representatives F:IFILES 1DATAFILEIESTATESII 1570.1. SREP pF ~u i ,~~'~.4 f2f ~ ~+l v •-...~ Yl for Fo~~~~ i!~ ~~. .~i 17lD ~a.Cs ~ $~~ ~.~~1 ci~i ~ ~ ~ LL ~? J ct!i ~? tiU ~iti~L~11~~ d i'.!' ~! Ci'! ~U~ ~.:~iS ~,~i ST A.TIJS REPORT U 1v~i ER icULE 6.12 r Name of Decedent: f ~ ~+2 Date of Death: ~~~ - ~, D `~[ ~` Estate No.: _ Zd~~ --~ Z 3 c~ 0 Pursuant to Rule 6.12 of the Supreme Court Orphans' Court Rules, I report the following with respect to completion of the administration of the above-captioned estate: l . State whether administration of the estate is complete: Yes ~, No 2. If the answer is No, state when the personal representative reasonably neiieves that the administration will be complete: ~vC~. ~~ c~ 3. If the answer to No. 1 is Yes, state the following: a. Did the personal representative file a final account w?th the Court? Yes n No ~~ b. The separate Orphans' Court No. (if any) for the personal representa~ve's account is: c. Did the personal representative state an account informally to the pales in interest? Yes ~ No n c. Copies of receipts, releases, joinders and approval of formal or infornal accounts maybe filed with the Clerk of the Orphans' Court and may be attached to this report. ~., t r a111L. ~~ddi e55 ~l ~? - ~~~-~2~ o r, ICJ n p a--~ !-~ n_n a v G.tJU Vlly. ! ~ ? ~L~~V!1GI.~ 2'`.L~,J ..•54116u.:.1 4~"v n C ~ _~~ S .l ~;;; .~ ~' S ~= ~ ~.1 ~ ~.p= e5 ~.=:.taY V° IN RE: : IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER, :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED NO. 21-2001-0230 ORPHANS COURT DIVISION Petition to Compel AND NOW, come Petitioners, Barry Jumper and Galen Lee Jumper, by and through their attorneys, Richard P. Mislitsky, Esquire and Mark W. Allshouse, Esquire and file the following Petition to Compel the sale of real estate, and in support thereof respectfully aver as follows: 1. Petitioner, Barry Jumper, is an adult individual having a current address of 30 Conrad Road, Carlisle, Cumberland County, Pennsylvania. 2. Petitioner, Galen Lee Jumper, is an adult individual having a current address of 230 Mulberry Avenue, Carlisle, Cumberland County, Pennsylvania. 3. Ruth V. Jumper ("Decedent"), a resident of Cumberland County, Pennsylvania, died testate on February 19, 2001. A true and correct copy of decedents Will is attached hereto and made a part hereof as Exhibit A. 5. The Will was probated by the Register of Wills of Cumberland County, Pennsylvania on February 27, 2001. 6. The value of the Decedent's real property was estimated to be $550,000, consisting of one parcel of real property in South Middleton Township, located at 1120 Rockledge Drive, Carlisle, Cumberland County, Pennsylvania. 7. The property located at 1120 Rockledge Drive, Carlisle, contains a home and various out buildings. 1 4 „~ The property located at 1120 Rockledge Drive, Carlisle, has a tax assessment of $317.080. 9. Decedent's Will provides that the property is to be divided among Decedent's children. 10. The family, including Executors, has agreed that the real estate should be sold at fair market value. 11. Since posting the property for sale, the Estate has received various offers and contingent offers. It is believed and therefore averred that an offer of $550,000 has been made for the property "as is," as well as other offers made contingent on re-zoning. 12. The offers being made for the purchase of the property are well within the fair market value of the property. It is believed that the Executors are in agreement to sell the property but that senior members of the family unreasonably refuse to sell. 13. Petitioners believe that the Executors of the Estate are deliberately failing to sell the real property in an effort to appease members of the family. 14. Petitioners have demanded that the real estate be sold and are willing to accept either of the aforementioned offers which closely reflect fair market value. 15. Petitioners were before this Court on June 3, 2005 to compel timely administration of this Estate. 16. Since the last hearing, Petitioners believe and therefore aver, based on representations of the Estate, that other than listing the property for sale and the efforts of the listing broker, no significant progress has occurred. 17. Other heirs, including Bonnie McKee and Twila Stacher, have expressed an interest in joining this Petition although not represented by the undersigned. 2 WHEREFORE, Petitioners respectfully request this Honorable Court to issue a citation directed to the Executors to show cause why the real estate known as 1120 Rockledge Drive, Carlisle, Cumberland County, Pennsylvania, should not be sold through administration and distribution made according to Decedent's Will. Date:,:;/J~~~~ Richard P. Mislitsky, Esquire Attorney ID # 28123 One West High Street PO Box 1290 Carlisle, PA 17013 (717) 241-6363 Respectfully submitted, /L C~l/, ~ ,/' rk W. Allshouse Esquire ttorney ID # 780 4 4833 Spring Road Shermans Dale, PA 17090 (717) 582-4006 Attorneys for Petitioners LAST WILL AND TESTAMIE:NT OF R>I~1TH JUMPER I, Ruth Jumper, widow, of South Middleton Township, Cumberland County, Pennsylvania, bcin$ of sound and.disposing mind, tnrmn ~and~nck;ratanding~~le-#~reby make, publish, and declazc this as and for my Lsst Will and Testament, hereby revoking and making void any and all Wills by me at any time heretofore made. 1. I direct my hereinafter named Executors to pay atI of my debts to which I am bound and funeral the expenses of my funeral, last illnras, and of~he.administr8tionnf~ny.tstatc as soon after my death as may be found convenient to do so. 2. 1 declare that I am currently a widow, and that I have eleven (11) children who are Debra Jumper, Twila Stacker, Wilmot Jumper, Miley Jumper, Jr., Bonnie McKee, Gary Jumper, Duane Jumper, Galrn Lee Jumper. Barry Jumpsr~LutherDean Jumpert-aAd Charlotte Killinger. 1 further declare that I have no other children. 3. --I-fitreby ~dircct my~xecutors to make arrangements for the subdivision of the farm which I own in South Middleton Township. Cumberland County, Pennsylvania, having a mailing address of 1120 Rockled a Drive. Carlisle, Pennsylvania, -cut the hereinafter stated bequ~ I give, devise and bequeath: a. to my dsus, Debra Jumper and Twila Stacker, my house at 1120 Rockledge Drive together with all the tangible personal property iocatod therein and together also with an amount of land the hones determined_h~t~ny Exxutorsso~_be t of land for the use of the house as a single family residence. br to~ny-sam;-iGliley Jumper, Jr., the land surrounding his mobile home consisting of approximately ono (1) seer. c. to my son, Duane Jumper, a lot at the northeast corner of the farm, which lot shall be approximately one (1) acre. d. to each of my sons. Qalcn Lee Jumper, Barry `Iumpor, and Luthtr Dcan 3umper, and rrly daughter. Charbtte-Killinger, a lot-of grpund,-0ach otrsaid-lots to be appreuimatcly one (1) acre. e. to my son. Wilmot Jumper, 81I the remainder of the farm. ._proxidtd,_boyueutr,._zhat~to-wch--abov~~mentiened child shall-be tntitled-to the bequest about unless and until they indicate in writing that tltey desire to raxive such bequest and agree in writingg to pa~+ in advance their share of tha costs of obtaining subdivision approval from all rcQuificd muntctpal authorities. which costs shall be determined on a per capita and not on a pro- rata basis. If any of my above-mentioned children, with the exception of my son, Wilmot Jumper, shall predecease rnc, fail co survive me by a_period of ninety (90) des, or not indicate 3n writiag their desire to receive their bequest and their willtngness to pay in advance their per capita share of e costs of obtaining subdiviston approval, then their bequest shall lapse and shall be added to the ,Share of my son; ~ViMnat Jumper. If my-soft; ~JVllntet Junsper~all-predeetast ~+e, ftcil tv survive 'me by a period of ninety (90) days, ~ not indicate in wnung hts desire to receive his bequest and his willingness to pay to advance his per capita share of the costs of obtaini~ subdivision ~~-,approval, then his bequest shall lapse and shall be added to the remainder of my estate. If for any rsu~h event ea h oftthcsbcquescs set foe tt in~his ~t-#~aog~~ 3 tshall--]apse~nd-b ss~dlded~tvnthe Q' remainder of my estate. • r' 4. All the rest, residue, and remainder of my estate, real, personal, or mixed, and wheresoever the same ma be situate, I give, devise, and bequeath to such of my children as shall survive nu by a period of ninety (90J days, the share any-deceased child would Stave r~cei~ved to ~ pass to his or her issue per stirpes, and if there be no issue such share shall lapse and be added to (~-.. the trmaining share or shares per stirpes. At the present time I have eleven (1 i) children as ^`'`' aforementioned. ~~ ~ 4agc _1-of 3~agcs 88-1498 15~~5 77% 5. Should any person less than ]$ years of age be entitled to distribution from my estate, in such event the share that person would otherwise have rocsived shall be paid to m__yExccutors, in trust, to receive and invest the same, and to pay the income arising therefintn, together with so much of the principal thereof as in her opinion is necessary or desirable to be expended for the propcr.lnaintcnance,_support, And r~iucatinn_nf c tr tier nn ~.~ for {~.~flt_~.SUCII-QCii011, and upon such person attaining 18 years of age to pay to him or her the then remaining principal rogctlrer with any undistributed income. 6. 1 hereby nominate, constitute, and appoint my daughter, Debra Jumper, my son Wilmot Jumper, and my grnndson, Cohn E. Ki[iinger, Jr., or any of them, as Executors of this my L:tst Will and Testament and I further direct that none of them shall be required to post any bond to secure the fait)rful performance of lus or her duties in the Commonwealth of Pennsylvania ur in any other jurisdiction. 7. In addition. to the powers conferred by law, my herein named Executors and Trustees are empowered: a. To invest any part of the trust corpus in such securities, investments, or other property as may be deemed advisable and proper, irrespective of whether the same .are authorized for the investment of trust funds under the laws of any governing jurisdiction, b.-SS(!aih_rtSl,)ect_tp-nAyst~tmratinn tti~ ctrrlcc -.1NjIIdS..1]I_()Ihgr 5l'fi~rii~CS 8f -Wh1C11 m:ty ~be held, to vote in-person or by proxy on any shares of stock; to consent to the merger, consolidation or reorganization of such corporations; to consent to the ltsasing, mortgttging, or sale of the-property of arty~uch corporations; io-make any surren8er, exchange or substirution of such stocks, bonds. or other securities as an incident to the merger, consolidation or reor anization of such corporations; to pay all assessments, subscriptions and other sums o~ money which may be deemed wise and expedient fur the protection and maintenanct of the proportionate interest of the investment in such corpo~tions; to exercise any option ot-pri-cilege ~hi~h-ntay-be.c:onfetr~eed~cxt _tl~-holders of such stocks. bands, or other securities of such corporations either for the conversion of tine some into other securities or for the purchase of additional securities, and to make any and all nccessaiy-paytt~crits which may be t+cyuircd in connection therewith; and generally to have and exercise as to all such stocks, bonds, and other securities, the powers of an individual owner who is under trust obligation. c. To hold the trust corpus In one or more consolidated funds in which separate sh;tres shall itnve-uttdividtd-frtttrrsts: d. To sell at public nr private. sale for cash or upon credit. or party for cash and panty on credit, and upon such terms and conditions as shall be deemed proper, any part or parts pf the ttvst estate, and no purchaser-et~ny-sash sale sl+alt be bound to mqui~e tmo the expediency or propriety of any such sale or to see to the application of the purchase money wising therefrom. e. To keep on hand and uninvested such moneys as may be deemed proper and for such period asmay he ~u_n~.sx ~±i~r f. Ta compromise, settle, or arbitrate any claim or demand in favor of or against the tn~st estate. ~% g. And authorized in the discharge of fiduciary duties, to empley counsel and ro ~•~~_.detcrntine and to pay such counsel reasonable compensation which shall be charged against tbtprincipal-o~r-incotrr~of-the-ttvstfutt~~trt+d-shat tha:rge against the '. principal or income-such other t~easonabit-expenses and charges as may be t>e~csary and proper to incur for the proper discharge of fiduciary duties and for the pt+oper-management ~ and administration of the trust estate. -- • h. In making any division vf-pro~crty-into-shares for tht purpose of any c3: distribution thereof directed by the provisions of the trust, to make such division or distribution, either in cash or in kind, or partiY.in cash and panty in kind, as shall be a deemed most expedient, and in making any dtvtston or distribution in kind may allot any •~ specific security or property or any undivided interest therein to any one or more of such ~arts.~nd to ihatsnd.maj-ise__any_..w~_a11 _of tht__property~o-to-be-allotted artd the ~ judgment as to the propriety o such allotment and u to the relative value for purposes of .t distribution of the securities or property so allotted shall be Hnal and conclusive upon all `' persons interested in the trust or in the division or distribution thereof. Page 2 of 3 pages -too-199 5 = ~6 ---,~:: _.f 731 IN WETNESS WHEREOF, I have hereunto set my hand and seal on this Page 3 of 3 Pages of this my Last Will and Testament written this 14th day of November, 1991. (SEAL) Ruth 3umper .In our_Presence. ~ -BAd-lkGlaird.-IL~a-be_her~till,--and-now at hCr request, in her presence, and in the presence cif each other, we sign as witnesses. cam- t ~ ~ ,,` ~ ~o~~~ ~ ~~~ ~ a~~-r ~: ~2~~~ who p~:~~~~~~ La 3~ o~2DE51'2D`fG~.~~r~-~~j ~ ~ G~~ ~ f ~~~ly lei 9~ .~ he~.b, r2e,e~ec~u ~ 0.~ ~„e.~ ~bl~~l~ w•~ ~}~I~ i~o) w~ ~I c~~s~~~~ y ~~ ~G~is ~1~ ~cn~~ a1"~~r~ (~~~e5 ~y ~ty~~~~ ~~:~~~z"l~ =' ~~-~ti . "~~e,~ I~ ~, . ~~a~~e~t, a /~ aP c~'2~cc ~ f ~d ~' ~~ rc, W ~ l) ~, ~ ~ v~ d cal/ zt~ ~~e a2 e2,~-j~ cn~~ 1 ~L fit'(? UZ, P/~-~~~~~~ cti~c~ ~h ~'G~~, ~~ ,~ ~ ' yR Page 3 of 3 pages -Q8-1998 15~~6 77i Verification I, Barry Jumper, verify that the statements in the foregoing document are true and correct to the best of my knowledge, information and belief. I understand that any false statements herein are made subject to the penalties of 18 Pa.C.S.A. Section 4904, relating to unsworn falsification to authorities. Date: 3- ~~ ~~ Barry J pe~ Verification I, Galen Jumper, verify that the statements in the foregoing document are true and correct to the best of my knowledge, information and belief. I understand that any false statements herein are made subject to the penalties of 18 Pa.C.S.A. Section 4904, relating to unsworn falsification to authorities. Date: 3" ~~ ~~ ~~ Galen Jumper IN RE: : IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER, :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED N0.21-2001-0230 ORPHANS COURT DIVISION Certificate of Service I, Debra Swigert, hereby certify that a copy of the foregoing Petition to Compel has been duly served upon the following, by depositing a copy of the same in the United States Mail, first- class, postage prepaid, as follows: Carl C. Risch, Esquire Martson Deardorff 10 East High Street Carlisle, PA 17013 Attorney for the Estate of Ruth V. Jumper Date: ~ ~ fv ~ (~ ~f ` ~ / / De ra Swigert Law Office of Richard P. Mislitsky One West High Street PO Box 1290 Carlisle, PA 17013 (717) 241-6363 3 ~E~EIVED ~iAR 1 b 2 IN RE: : IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER, :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED NO. 21-2001-0230 ORPHANS COURT DIVISION CltatlOil ~~ AND NOW, this ~ ~ day of ~ 2006, upon consideration of the Petition to Compel, it is hereby ordered and decreed that a Citation is directed to Debra Jumper, Wilmont Jumper, and John E. Killinger, Jr., Executors of Decedent's Estate, to show cause why the real estate known as 1120 Rockledge Drive, Carlisle, Cumberland County, Pennsylvania, should not be sold pursuant to the offers set forth with the Petition and thereafter distribution made in accordance with Decedent's Will. J. 7005 1820 0022 4615 5- o ~ ~, m ~ ~~• .. ~ $~ o ~ 4 ~ ^` ~ C r ~ ~ ~ .D 0 ~ .-. 3 0 ~ ~ ~ 3 ~ r 1 _ :; . ' m o ~' m v_c c Z ~ ~ .. ~~ ~ Sp cZ ~~ Q N b~ m m m m am ~ ~ gm m m ~ ~;;-;:«;; ~ m R ~ 7005 1822 pOp2 4615. 5 ~~ ~ ~ -~ ~ m9 ~ m N ~ ~ ~ .-r 0 3 $. ~ 3 Z' ~ ~ m ~~ ,~ T ,~ ~.~ _ n. ~ 7005 1820 0002 461,5 5028 o .~ .-. ~~ ~,'~ a o am n 0 _., cep ~~ ~~ ~ -~ c ~2 c ~ a v,3 ~ ' <D m 11 m ~l 11 ~1i O. G. .. ~.';, ,, ~- ~/ ," ~- ~ i ~ ~ ~ ~ f/\ ~ ~ ~ ~ ~ ~ ~ ~ r ~ ~ ~ ~ ~ ~ ~ ~ ~ i ~ ~ ~ 3 t . RE~E~VED MAR 1 ~ 2~~~ IN RE: : IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER, :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED NO. 21-2001-0230 ORPHANS COURT DIVISION Citation ww~ AND NOW, this ~ ~ day of ~ 2006, upon consideration of the Petition to Compel, it is hereby ordered and decreed that a Citation is directed to Debra Jumper, Wilmont Jumper, and John E. Killinger, Jr., Executors of Decedent's Estate, to show cause why the real estate known as 1120 Rockledge Drive, Carlisle, Cumberland County, Pennsylvania, should not be sold pursuant to the offers set forth with the Petition and thereafter distribution made in accordance with Decedent's Will. J. '~' IN RE: ESTATE OF RUTH V. JUMPER, DECEASED IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA NO. 21-2001-0230 ORPHANS COURT DIVISION Petition to Compel AND NOW, come Petitioners, Barry Jumper and Galen Lee Jumper, by and through their attorneys, Richard P. Mislitsky, Esquire and Mark W. Allshouse, Esquire and file the following Petition to Compel the sale of real estate, and in support thereof respectfully aver as follows: 1. Petitioner, Barry Jumper, is an adult individual having a current address of 30 Conrad Road, Carlisle, Cumberland County, Pennsylvania. 2. Petitioner, Galen Lee Jumper, is an adult individual having a current address of 230 Mulberry Avenue, Carlisle, Cumberland County, Pennsylvania. 3. Ruth V. Jumper ("Decedent"), a resident of Cumberland County, Pennsylvania, died testate on February 19, 2001. A true and correct copy of decedents Will is attached hereto and made a part hereof as Exhibit A. 5. The Will was probated by the Register of Wills of Cumberland County, Pennsylvania on February 27, 2001. 6. The value of the Decedent's real property was estimated to be $550,000, consisting of one parcel of real property in South Middleton Township, located at 1120 Rockledge Drive, Carlisle, Cumberland County, Pennsylvania. 7. The property located at 1120 Rockledge Drive, Carlisle, contains a home and various out buildings. 1 ., ., c,~~:. pia 8. The property located at 1120 Rockledge Drive, Carlisle, has a tax assessment of $317.080. 9. Decedent's Will provides that the property is to be divided among Decedent's children. 10. The family, including Executors, has agreed that the real estate should be sold at fair market value. 11. Since posting the property for sale, the Estate has received various offers and contingent offers. It is believed and therefore averred that an offer of $550,000 has been made for the property "as is," as well as other offers made contingent on re-zoning. 12. The offers being made for the purchase of the property are well within the fair market value of the property. It is believed that the Executors are in agreement to sell the property but that senior members of the family unreasonably refuse to sell. 13. Petitioners believe that the Executors of the Estate are deliberately failing to sell the real property in an effort to appease members of the family. 14. Petitioners have demanded that the real estate be sold and are willing to accept either of the aforementioned offers which closely reflect fair market value. 15. Petitioners were before this Court on June 3, 2005 to compel timely administration of this Estate. 16. Since the last hearing, Petitioners believe and therefore aver, based on representations of the Estate, that other than listing the property for sale and the efforts of the listing broker, no significant progress has occurred. 17. Other heirs, including Bonnie McKee and Twila Stacher, have expressed an interest in joining this Petition although not represented by the undersigned. 2 WHEREFORE, Petitioners respectfully request this Honorable Court to issue a citation directed to the Executors to show cause why the real estate known as 1120 Rockledge Drive, Carlisle, Cumberland County, Pennsylvania, should not be sold through administration and distribution made according to Decedent's Will. Dater 1~/~~ Respectfully submitted, rk W. Allshouse Esquire ttorney ID # 780 4 4833 Spring Road Shermans Dale, PA 17090 (717) 5 82-4006 Richard P. Mislitsky, Esquire Attorney ID # 28123 One West High Street PO Box 1290 Carlisle, PA 17013 (717) 241-6363 Attorneys for Petitioners 3 LAST WILL AND TESTAMENT OF R~tTH yUMPER I, Ruth Jumper, widow, ,of South. Middleton Township, Cumberland County, Pennsylvania,, being of sound arad~sposing.msnd, ~~~ercby make, publish, and declare this as and for nny Last Will and Testament, hereby revoking and makin,~ void any and all Willi by me at any time htxctoforc made. 1. I direct my hereinafter named Executors to pay au of my debts to which I am bound and funeral the expenses of my funtral, last illness, and ofsbe_ .af_nay-tzt~a~ as soen after my death as may be found. convcniGnt tQ do so. 2. I declare that I sm currently a widow, and that I have eleven (11) children who are Debra Jumper, Twi1a Stacker, Wilmot Jumptr, 2C~iiley Jumper, Jr., Bonnie McKie, Gary Jumper, Duane Jumper, Galen Lee Jumper, Barry Jumpst,.l..utherDsan Jumpe~~nd CharlQt~e ~Cillinger, i furt.hCr declare that I have no other children.. 3. - -I-~~nrtby ~dircct my~Executors to make arrangements far the subdivision of the farm which i awn i» South Middleton Township. C~umbcrland County, Pennsylvania, having a mailing address of 1120 Rockled a Drivt, C$tlisle, ~nnsxlvania. tfie hereinafter stated bcqu s. I give, devise and u~ath: a. ~ to my dau ,Debra Jumper and Twila Stacker, my house at 1120 Rockled,~e Drive together wi aU the tangible personal grapeny locatod therein $nd togCthet also with an amount of land the house dettrmined_ ~ my .Eactcut~ox~s~.o~_be t of land for tilt use of the house e.s a single family msfdence. b~ to my-son,~liley Jumper, Jr., the land surrounding his rnobilG home consisting of appnoxitnetcly ore { 1~ acre. e. to my son, Duane Iumptr, a lot at the n~xtheast corner of the farm, which lot shall be ap~roximatcly one { 1 }acre. d, to tack of my sons, C3alcn Lee Jumper, Barry Jumper, and Luther Dean 3umper, and ~Y daugbttar, Charlotte- , a lot-of ground,-oath is -to ba appxexir~tely one (l) acre. e. to my son, Wilmot Jumper, elI the remainder of the farm. .~'roxi~drd,-hod-~hat~o-sueb-abo~~iened ehik~i shah -~ ant€t~od-tc~ the bequest about unless and until they indicate in waiting that they desin to retxive such boqucst and sect in writin to pair .in advancx their share of the costs of obtaining subdivision apprnvat from all re ui tnunict al authorities, which costs shall be detcrnunod on a per capita and not on a pro- Q P rata basis. If any of my above-mcnuoncd chik3r~n, with tiro exception of my son, Wilrnvt Jumper, shall predecease me, fail to survive the by a~eriod of ninety {9Q) des, Qr nett in_sii,cate 3n writing ~fheir desire to receive their bluest and th~r willingr-ess to pay in advance their gcr capita share of e costs o€ obtaining subdivision approval, then their bequest shall tapse and shall bt added to the are of m son; W ilmet Jumper. If my-ssn; ~~t~et J 1-predaetasC-tee; -ftal tv -survive ~ y. .. me by a period of ninety. (90) days, or,not indicate us venting his desue to receivc'h~s bcqucsc and his wiltin ness to a in advance his -per capita share of the costs of obtajn~ng subdivts~on ---- a royal, thin his be u~st shall la se and shall be added to the rema.indcr of my estate. If for any ~1"'r~ason en art of the subdivision of m farm as set forth herein shall not be ssible, then in ~``` such event each of the tscs set foi h -in-phis-a~~agra~h 3-shall-.lapse-$nd-b~ ~dded-~o- the ~~ of m s u remal nder y s rate 4. All the rest, residue, and remainder of mfr estate, real, personal, or mixed, and wheresoever the sarYie ma be situate, I give, devise, and bequeath to such of my children as shall xurvive me by a period of ninety C9U~.days, the sharc._any-deceased child-would have raceJved -to ~ Foss to his or her issue per stirpes, and if then be no issue such share shall Lapse and be added to the remaining share or shares per stirpes. At the present time Y have eleven (11) children as aforementioned. r.~~~ ~5-198 1~~~5 .~ _!.~ 3~-pa~cs ~~ ~~ 1 / ` '°` ~~ I' ~~~ P 5. Should any person less than I8 years of age be entitled to distribution fmm my estate, in such evt;nt the share that person would otherwise: have recsived shall be.paid to_tn_y~xccutors, in trust, to receive and--invest the same}.and to pay tht income arising therefrom, together with so much of the principal thereof as in her opinion is ncoessAr~y or desirable to be expended for the propcr~naintenanr-e.~s~nrtr atLS~!~ sr~t'nrn_of cLLh ~t~crcnn*._~n rsr foe' t~C -bG~C~~L-~f.-ivlt~l-.~C~3on, and upon Such person attaining 18 years of age to pay to him o~ her the then remaining principal cogetlur with any undistributed income. 6. I hereby nominate:, constitute, and appoint my daughter, i?ebra Jumper, my son Wilmot Jumper, and my grandson, Xohn E. Killinger, Jr., or any of them, as Executor of this my Last Will and Testament and I further direct that Wont of them shall be required to post any bond to secure the faitltfu! performance of his or her duties in the Commonwealth of Pennsylvania ur in ;cry other juriad~:tiott. 7, In addition. to the powers conferred by lstw, my herein named Executors and Truttecs are empowered: a, To invest any part of the: trust corpus in such securities, investments, or other property as may be deemed advisable and proper, irrespective of whether the same -are authorized far the investment of trust funds under the laws of any governing jurisdiction, . b. _~C~.h-r~specua~.y r s~E~r~t~c~ sf ~h~eh mt+y be held, to vote in- person or by- proxy on any shirts of stock; to consent to the. merger, consolidation or reorganization of such corporations; to consent to the leasing, mortgaging, of salt of the--proptrty of arty--such torpordtiotts; to -make any -surrender, exchange or substitution of such stacks, bonds, oT other securities as an incident to the merger, consolidation err reor anization of -such corporations; .to pay all asscssm~nts, subscn lions and other sums o~ money which may be deemed wise and expedient fur the protec.~tton and maintenance of the proportionate interest of the investment in such corpo tio+ts; to exer~:ise any- option-a - .~:.ouf~r~-tl~~deis of st~~h stoxks, bonds, or other securities of such corporations either for the evnversion of tl~e some into other securities or for the purchase of additional securities, and to make any rind al!-nccessary-p~ymcnts which maybe r~ayuit+cd in connection thcrewich; and generally to have and exercise as to all such stocks, bondx, and other securities, the powers of an individual owner who is ynder crust obligation. c. 'I'o hold the trust cc~pus in one or more consolidated funds in which separate sh:u'es shall 1}ervt-ut~vi~d~~ttr+tsts:- d. To sell at public or private. sale for cash or upon credit, or petty for cash and partly on credit, and upon such terms and cont~itions as shall be deemed proffer, any part or parts ~' the trust estate, and nv purchaser-at-~ny~-s+~sh-salt shall be bound-to 1nQuire imo the expediency ar propriety of any such silt or to sere to the application of the purchase money wising therefrom. ~. To keep on hand and uninvested such moneys as tray be deemed proper and for such period assnay_bc ' f. To cotrpromisc, acetic, or arbitrate any claim or demand in favor of ar against the mast estate. ~', ~., g. And authorized in the discharge of fiduciary duties, to employ counsel and to -• ~ s ch counsel reasonable com ernsaaon which shall be: charged against F_~..deternun<r and to pay u P the-principal-o~~in~co~~af-tfi~--tarust~ zhatge-against the •. principal or tncotrn-such other rettsonable-~xpens~s-and chargrs as may be-nrxx.SSary and proper to incur for the pro_,.per discharge of fiduciary duties and for the prope:r_managet~r-t ~ and administration of the trust estate. -- '~ •~ ~~ h. In making any division -vf--pro~crt)r-into-shares for the purpose of any c3: distribution thereof disrcterd by the provisions of the trust, to make such division or distrihution, either in cash or in kind, of partl in cash and partly in kind., as shall be det:mcd most ex dent, and in making any division or distribution in ~Cittd may allot any •. ~ s ecific sccurit Qr properrty or any undivided interest therein to any one or more of such ts,.~nd to_ixhat_--red- _~alL-.of y~.~a-.be-allotted aad the -1?~ ~ ~udgmtnt as to the propriety o such allotment and as to the rclaava value for purp4sCS of ~t distribution of the secunacs or property so allotted shall be final and conclusyve upon all '' persons interested in the oust or in the division or distribution thcrt:of. Page 2 of 3 pages i -Rya-19~o 15 ~ ~6 ~~'~ ~ ~.. -_~`?~ f t ~ ~ ~ ^ x J ~~ '" 9 n C,S . s ~a~t 3 of ~ fag a~ gal cn tt~ t~, yot my ~~ CmixT~ 191 1 Nava his )4th da`1 °f ~~ SS ~~gC)F • ~te~ tht L IN ~TT~~ and Tcsta~nt C,E,~. ~ is ~y t-ast ~i11 '' of ch ~,ut'h Sump~r ~ ~~~~~,~u ~ ~tlll.~ ~w a~ ha ~~pm~~ yea nthe 0y~ rc~~xae u{euh otlw~•w R^ ~~~a ~.. -~~ rcquts~. inher P'cu" ~.a.~ / . ~. A` Q C~ ~~v.~l~,~np~e~;~h°~p5 not' ~-~~2~~2e~ }~D ,~s ~5~ `1 ~ ~b1~~'~^~~ o~~6~e~~ ~ U ~ ~ ~~~e 5 ~~he~ ~"~ ~,5 N OU~c~sp2vt" ~"f~d ~p y~:ehC'C~ca~C~ ~'^ W~~w°5~ ~~j ° r~ r~e~j a ~ wees -~1~ 1 Verification I, Barry Jumper, verify that the statements in the foregoing document are true and correct to the best of my knowledge, information and belief. I understand that any false statements herein are made subject to the penalties of 18 Pa.C.S.A. Section 4904, relating to unsworn falsification to authorities. ~~ ~~~- ~~ Date: Barry J per `verification I, Galen Jumper, verify that the statements in the foregoing document are true and correct to the best of my knowledge, information and belief. I understand that any false statements herein are made subject to the penalties of 18 Pa.C.S.A. Section 4904, relating to unsworn falsification to authorities. Date: ~~ ~~ ' ~~'° Galen Jumper IN RE: : IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER, :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED NO.21-2001-0230 ORPHANS COURT DIVISION Certificate of Service I, Debra Swigert, hereby certify that a copy of the foregoing Petition to Compel has been duly served upon the following, by depositing a copy of the same in the United States Mail, first- class, postage prepaid, as follows: Carl C. Risch, Esquire Martson Deardorff 10 East High Street Carlisle, PA 17013 Attorney for the Estate of Ruth V. Jumper ~~ ..~ -. Date: ~~ ~ ~ D De ra Swigert Law Office of Richard P. Mislitsky One West High Street PO Box 1290 Carlisle, PA 17013 (717) 241-6363 CITATION Orphans' Court Division Court of Common Pleas Cumberland County, Pennsylvania IN RE: Ruth V. Jumper, Deceased No. 21-01-0230 COMMONWEALTH OF PENNSYLVANIA .. _, COUNTY OF CUMBERLAND - :- , TO: Debra Jumper, 1120 Rockledge Drive, Carlise, PA 17013 ~ . =~ Wilmont Jumper, 1136 Rockledge Drive, Carlisle, PA 17013 ~ ~ , - ...~ John E. Killinger, Jr., 41 Yorwick Road, Carlisle, PA 17013 - ~ ;Y~:~ ~~' -~ a, ~ . ~, GREETINGS: YOU ARE HEREBY CITED to show cause why the real estate known as 1120 Rockledge Drive, Carlisle, Cumberland County, Pennsylvania, should not be sold pursuant to the offers set forth with the Petition and thereafter distribution made in accordance with Decedent's Will. Citation shall be returnable within twenty (20) days from the date of service hereof. Date Carl Risch, Esquire Richard P. Mislitsky, Esquire Mark W. Allshouse, Esquire Glenda Farner Stras augh Register of Wills ~~ In Re: Estate of Ruth V. Jumper ORPHANS' COURT DIVISION COURT OF COMMON PLEAS OF CUMBERLAND COUNTY PENNSYLVANIA NO. 21-01-0230 CERTIFICATE OF SERVICE OF ORDER ORDER DATED: 03/22/06 JUDGE'S INITIALS: EEG TIME STAMP DATE: 03/22/06 IN RE: Order of Court and Citation SERVICE TO: Debra Jumper Wilmont Jumper John E. Killin~er METHOD OF MAILING: ®USPS ENENVELOPE(S) BY: ^ Petitioner ® RRR ^ Judge ^ Hand delivered ®Clerk of Orphans' Court ^ Other: DATE OF MAILING: 03/24/06 SERVICE TO: Carl Risch. Esauire Richard P. Mislitsky, Esquire Mark W. Allshouse, Esquire METHOD OF MAILING: ®USPS ENVELOPE(S) BY: ® Petitioner ^ RRR ^ Judge ^ Hand delivered ^ Clerk of Orphans' Court ^ Other: DATE OF MAILING: 03/24/06 ~-~~" argie evodau First Dep Clerk of Orphans' Court Clerk of the Orphans' Court ..~ r S i.,.C... i ~ i.. f j f ! (dam ~ ~ w `W~ ~ ~ ~"'~ ~ ~ ~ k A ~:, q ! .M1 ,,^~ w^k ~Yi t- i~~ ~ y ' , W =3 2 fJ.J (~ j ~ O p v ti ^ W y W }"_ - W p L~1 y Z W p ....C cr~3~C¢p WO~C/~~ ~ o~zya¢ m a~°L~o3c o ~QmaO 4' O w ZL > ..vr ~ _Wp=WO r WZ~~ ~a'` V ~ W ~~=Wm ~. ,,,~ OWypa ~~ ~ y F~- F- Z ~ z1-00~ - Q Z Z , ~ ^~0^ o ~, , o ~ o ~ , Q~~ o ~ ~ ~' t ~o ~ ~_ :.~ ~ ~ • .~ ~ ~ h; ~ ~! Q ~-, U O O [L ~. a 0 .L^ m ~ ~ tr1 a. s.., ® A G) ~ ~. d r ~ M ~nl _ '~ ~ M : ~~, ~. * ' j ' ~ { ~/ `~. .a ~ M t`~ANO O + ,SSS ~ U ~ {,~ 1 l1 , ,~ 1~1 ice: a ~ o L •~M /I J ~ O O {! "^. '"~ ~ ~ ~ A z ~ GI w + + ~ p a.. t11 ~ _ ~ r~ ~~.. C:~ ~;~ {~! i ty ~ri .}. i'7 ~~ ~`° P:\FILES\DATAFILE\ESTATESU 1570.1.Response to Petition to Compel Created: 4/15/05 9:02AM Revised: 4/ 10/06 11:42AM IN RE: ESTATE OF RUTH V. JUMPER, Deceased IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA NO. 2001-0230 ORPHANS' COURT DNISION YOU ARE HEREBY NOTIFIED TO PLEAD TO THE WITHIN NEW MATTER WITHIN TWENTY (20) DAYS FROM SERVICE HEREOF, OR A JUDGMENT MAY BE ENTERED AGAINST YOU. RESPONSE TO PETITIONERS' PETITION TO COMPEL AND NOW, come RESPONDENTS, WILMONT JUMPER, DEBRA JUMPER, and JOHN E. KILLINGER, JR., by and through their attorneys, MARTSON DEARDORFF WILLIAMS & OTTO, and in support thereof, respond as follows: 1-5. Admitted. 6. Denied. The value ofthe property located at 1120 Rockledge Drive, South Middleton Township, has been professionally valued as low as $405,000.00 and as high as $2,037,259.00. 7. Denied. 1120 Rockledge Drive consists of 70.25 acres of largely undeveloped land adjacent to new and planned residential development. The house and outbuildings are of nominal value, if any. 8. Admitted. 9. Denied. The Will speaks for itself. Petitioners' attempt to characterize the terms of the Will in ¶ 9, which includes a complex distribution scheme and specific devises of subdivided parcels, is inappropriate and is denied. 10. Denied. The Executors have agreed to administer the Estate in a matter consistent with their duties as prescribed by the Will and Pennsylvania law. No agreement exists with "the family" regarding the performance of their fiduciary duties. 11. Admitted. 12. Admitted in part, denied in part. While it is admitted that the offers to purchase the property have not been entirely unreasonable, the Executors, as advised by real estate professionals, have elected to list the property for sale for $2,000,000.00, and to stick with this price, with the understanding that South Middleton Township is in the midst of revising its zoning plan for the Township. It isbelieved that there is a very good possibility that the farm will be re-zoned in whole r, , .~, a _ . , or in part to a zoning district consistent with higher density residential and/or commercial development. This could quadruple the "agricultural" value of the farm. To sell the farm fora 1/4 of its potential "re-zoned" value while South Middleton Township is actively addressing its Comprehensive Plan revisions, and considering the Estate's re-zoning request, would be a breach of the Executors' fiduciary duties. 13. Admitted in part, denied in part. It is admitted that the Executors have refused to sell the property for a fraction of its potential value on the eve of a possible re-zoning. It is denied that this is being done for some nefarious reason. To the contrary, the Executors, in fulling their duties to the Estate and the heirs, are compelled to pursue, within reason, this enormous opportunity to multiply the value of the Estate's one and only asset. 14. Denied. After reasonable investigation, we are unable to admit or deny these allegations. 15. Denied. Petitioners were before this Court on June 3, 2005, in attempt to remove the Executors as personal representatives of the decedent. 16. Denied. In addition to listing the property for sale with Wolfe & Shearer, the Executors have maintained this listing, have cleaned up the property (see Exhibit "A" hereto), have negotiated a more favorable commission with the listing agent, and (by and through Buz Wolfe) have submitted a formal request to South Middleton Township for a re-zoning of the Jumper Farm. A copy of this request is attached hereto as Exhibit "B." This request is in compliance with the form requested by South Middleton Township at the joint meeting of the Planning Commission and the Board of Supervisors on February 9, 2006. 17. Denied. After reasonable investigation, we are unable to admit or deny these allegations. NEW MATTER AND AFFIRMATIVE DEFENSES 18. There are currently no "live" offers for the property. Therefore, there is no one to whom the Court can compel the Executors to sell the property. 19. The Petitioners' Petition to Compel does not conform to law. The relief requested is simply not available to the Petitioners, and this Court is not properly empowered to grant the relief. 20. The Executors should not be compelled to sell the property. Rather, if the Executors are mismanaging the Estate, this Court should summarily remove the Executors pursuant to 20 P. S. §3182 and§3183. 21. The Executors maintain that they are properly administering the Estate by pursuing the re-zoning opportunitywith South Middleton Township on the advice ofreal estate professionals. To the contrary, to compel the Executors to sell the property for a fraction of its potential "re-zoned" value would be tantamount to compelling them to breach their fiduciary duties to the Estate and the heirs. The Executors are compelled by Pennsylvania law to reasonably pursue the opportunity to re- zone the property and, thus, exponentially increase its value. WHEREFORE, the Executors request that the Petition to Compel be dismissed. MARTSON DEARDORFF WILLIAMS & OTTO By: Carl C. Risch, Esquire I.D. No. 75901 Christopher E. Rice, Esquire I.D. No. 90916 Ten East High Street Carlisle, PA 17013-3093 (717) 243-3341 Attorneys for Plaintiffs Date: April 10, 2006 :VIARTSON DE.~RDORFF WILLIAMS & _ 1"TO I\'FORtiL~TIO~ • ADS ICF • ADVOCACY' IO E:SST HIGH STREET C,IRLISLE, PEV\SYLV:~tiIA I70I3 TELEPHOhL ('I?)243-3341 F:~csltitlLL (717) 243-1850 IVTLR`El' www.mdwo.com ATTORNEYS & COUNSELLORS AT LAW WILLIAM F. MARTSON CARL C. RISCH JOHN B. FGWLER III DAVID A. FIT2$IMONS DANIEL K. DEARDORFF CHRISTOPHER E. RICE THOMAS J. WILLIAMS* JENNIFER L. SPEARS lvo V. OTTO III HILLARY A. DEAN GEORGE B. FALLER JR.* ~BUARD CFRTIFIf'D CIVII. TRIM SPECIALIST December 1, 2005 Ms. Twila Stacher 215 Hoffman Street Jackson, CA 95642 Mr. Gary Jumper 8 North High Street Newville, PA 17241 Ms. Charlotte Killinger 945 Trindle Road Carlisle, PA 17013 Mr. Miley Jumper, Jr 37 G Street Carlisle, PA 17013 Mr. Duane Jumper 342 South Washington Street Mechanicsburg, PA 17055 Ms. Bonnie McKee Mr. Luther Dean Jumper 20 Kissme Road 1120 Rockledge Drive Newville, PA 17241 Carlisle, PA 17013 RE: Estate of Ruth V. Jumper Our File No. 11570.1 Dear Folks: Mr. Galen Lee Jumper 230 Mulberry Avenue Carlisle, PA 17013 Mr. Barry Jumper 30 Conrad Road Carlisle, PA 17013 The Executors of your mother's estate are in the process of removing all debris from the farm property. We will appreciate your advising our office immediately if you wish to claim as your property any items or materials currently existing on the farm property. We caution you not to remove any items without the consent of the Executors. Any debris remaining on the farm after December 12, 2005, will be disposed of by the Executors. Very truly yours, MARTSON DEARDORFF WILLIAMS & OTTO Carl C. Risch CCR/clm cc: Ms. Debra Jumper, Executrix Mr. Wilmot Jumper, Executor Mr. John E. Killinger, Jr., Executor Richard P. Mislitsky, Esquire Attorney for Barry Jumper and Galen Jumper F.\FI LES\DATAFILE\ESTATES\ I 1570. I .heirs.: \_k !~ INFORMATION ADVICE ADVOCACY sH ~, _.~ - - _ _ _ ,- _ :~ ,,_ ~._. , _ - - _„ _~ ~. _, ~ ~~ J2~!-... ~ ~~ ~~! ~02~ c.i7 ~L~ ELI // '"s" l , .; t ~1 ~,: ' ~ ~1 ~: JI~ J i I I ' r. ~ . . .. . .. i .,. " . v '~_S;'~~~\i'i:~,L ~ ~;.~~~liy'IL°C!:\! ~ ,4PPR;?iS~-`,~S ~ I~iC~~.iST'~L~L ~~~IS.JI_Tl~lt, :;'.I'i_..-~.~~~~~ITS March 16, 2006 Barbara Wilson Manager South Middleton Township 520 Park Drive Boiling Springs, PA 17007 Re: Ruth V. Jumper Estate, 1120 Rockledge Drive, Carlisle PA (Parcel #40-09-0529-0032) Dear Mrs. Wilson, Our office represents the above referenced seventy acre parcel on Rockledge Drive in South Middleton Township as Agent for the Seller. In conjunction with the Township's pending update of its Comprehensive Plan and Zoning Ordinance, we would like to formally request, on behalf of the seller, that the supervisors carefully consider a rezoning of the subject property. As you probably know, the Jumper property is in extremely poor physical condition. The improvements on the property are largely uninhabitable and the entire tract is littered with various obsolete machinery, old tires, abandoned automobiles, litter, debris and the like. While the property fronts on Rockledge Drive and is currently zoned Agricultural, we note that the adjoining Marbain / Greene property, known as Summerfield, is being developed with a very successful high density residential development within the Neighborhood Zone. The proximity to this development (the zoning line separating the Neighborhood and Agricultural zones is literally the property line for the subject) and the availability of public water and sewer makes the rezoning of this property very logical. ;_ ,_ ~ _.. `you ~~~,~ill note by viewing the enclosed tax map and current zoning map That air °xt~nsion of the Neighborhood Zone through all or a portion of this property would setim ver~~ reasonable. ~~'e would, however, be inclined to consider any other Residential -rezoning for the property inasmuch as any commercial applications seem unlikely for the property. VG'e believe that the Executors would be amenable to a partial rezoning of the property or perhaps the creation of a buffer surrounding the perimeter of the property to limit future development or the extension of utilities. Our efforts to market the Jumper Estate over the past several months have been very much hindered by the current zoning of the property. In addition, the estate is comprised of three executors and eleven heirs and it has been difficult to get a good consensus from the group as to the manner in which the property should be sold. We believe that a rezoning of the property would allow us to more favorably market the tract and, in turn, permit the Estate to be settled. Ultimately, we believe that this would be very favorable for the neighborhood inasmuch as any buyer for the tract would undoubtedly ``clean up" the site. We would appreciate hearing from you as to anything else that we might do to answer questions or facilitate the rezoning of the Jumper estate. Sincerel , ~~ ~ ~~~~ Ray L. Wolfe, Jr., CRS Broker/Partner Cc: Wilmot Jumper Debra Jumper John E. Killinger, Jr RLWitls VERIFICATION I, John E. Killinger, Jr., acknowledge I have the authority to execute this Verification on behalf of the Estate of Ruth Jumper and certify the foregoing Response and New Matter is based upon information which has been gathered by my counsel in the preparation of the document. The language of this document is that of counsel and not my own. I have read the document and to the extent it is based upon information which I have given to my counsel, it is true and correct to the best of my knowledge, information and belief. To the extent the content of the document is that of counsel, I have relied upon counsel in making this Verification. This statement and Verification are made subject to the penalties of 18 Pa. C.S. § 4904 relating to unsworn falsification to authorities, which provides that if I knowingly make false averments, I may be subject to criminal penalties. V\ ~4 . hn E. Kill nger, Jr. Dated: ~} D d ~ a CERTIFICATE OF SERVICE I hereby certify that a copy of the foregoing was served on Petitioners this date by depositing same in the Post Office at Carlisle, PA, first class mail, postage prepaid, addressed as follows: Richard P. Mislitsky, Esquire One West High Street P.O. Box 1290 Carlisle, PA 17013 Attorney for Petitioners Mark W. Allshouse, Esquire 4833 Spring Road Shermans Dale, PA 17090 Attorney for Petitioners MARTSON, DEARDORFF, WILLIAMS & OTTO By Carl C. Risch, Esquire Ten East High Street Carlisle, PA 17013 (717) 243-3341 Attorneys for Plaintiffs Dated: April~~ , 2006 IN RE: IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA ESTATE OF RUTH V. JUMPER DECEASED NO. CP-2I-ORPHANS' 0230 2001 ORPHANS' COURT DIVISION ORDER OF COURT AND NOW, this 13TH day of APRIL, 2006, a hearing on the Petition to Compel is scheduled for MONDAY, MAY 15, 2006, AT 1:00 p.m. in Courtroom # 3. Edward E. Guido, J. Carl C. Risch, Esquire Ten East High Street Carlisle, Pa. 17013 Richard P. Mislitsky, Esquire One West High Street P.O. Box 1290 Carlisle, Pa. 17013 Mark W. Allshouse, Esquire 4833 Spring Road Shermans Dale, Pa. 17090 :sld ~::~ In Re: Estate of RUTH V. JUMPER ORPHANS' COURT DIVISION COURT OF COMMON PLEAS OF CUMBERLAND COUNTY PENNSYLVANIA NO. 21-01-0230 CERTIFICATE OF SERVICE OF ORDER ORDER DATE: 4-13-06 JUDGE'S INITIALS: E. E. G. TIME STAMP DATE: 4-13-06 IN RE: ORDER OF COURT SERVICE T """""~ O: CARL C. RISCH ES RICHARD P. MISLITSKY ES MARK W. ALLSHOUSE ES METHOD OF MAILING: ® LISPS ^ RRR ^ HAND DELIVERED ^ OTHER MAILED: 4-13=p6 ENVELOPES PROVIDED BY: ^ PETITIONER ^ JUDGE ® CLERK OF ORPHANS COURT SERVICE TO: ~ ~~"~",,,~.,,,,, METHOD OF MAILING: ^ LISPS ^ RRR ^ HAND DELIVERED ^ OTHER MAILED: ENVELOPES PROVIDED BY: ^ PETITIONER ^ JUDGE ^ CLERK OF ORPHANS COURT ~~ K Deputy Clerk of Orphans' Court IN RE: IN THE COURT OF COMMON PLEAS OF ESTATE OF RUTH V. JUMPER,: CUMBERLAND COUNTY, PENNSYLVANIA DECEASED N0. CP-21-0230-2001 ORPHANS' COURT DIVISION ORDER OF COURT AND NOW, this 15th day of May, 2006, after hearing, P etitioners are requested to file a brief detailing what they are asking the Court to do and what authority we have to do it. Said brief to be filed by close of business on June 2, 2006. Respondents may file a reply brief by close of business o n Monday, June 12, 2006. We will entertain argument in chambers on Wednesday, June 14, 2006, at 8:30 a.m. ..~--- By they~"o`u r t , Edward E. Guido, J. Richard P. Mislitsky, Esquire One West High Street Carlisle, PA 17013 Christopher Rice, Esquire Ten East High Street Carlisle, PA 17013 Mark W. Allshouse, Esquire 4833 Spring Road Shermans Dale, PA 17090 srs ~µ r i ~A _ y __. __ i~+..` _..~ l~ _. .. -- -~ _~_ _ ,. .... ~ .. ~("f --~ `:i ~~ ORPHANS' COURT DIVISION COURT OF COMMON PLEAS OF In Re: Estate of Ruth V. Jumper CUMBERLAND COUNTY PENNSYLVANIA NO. 21-01-023 0 CERTIFICATE OF SERVICE OF ORDER ORDER DATE: OS-15-06 JUDGE'S INITIALS: EEG TIME STAMP DATE: OS-16-06 IN RE: ORDER OF COURT-ASKING FOR A BRIEF DETAILING OF WHAT THEY ARE ASKING FOR, ARGUMENT IN CHAMBERS ON WEDNESDAY JUNE 14, 2006 (a, 8:30AM SERVICE TO: RICHARD MISLITSKY, ESQ CHRISTOPHER RICE, ESQ. MARK ALLSHOUSE, ESQ. METHOD OF MAILING: ® USPS ^ RRR ^ HAND DELIVERED ^ OTHER MAILED: OS-17-06 ENVELOPES PROVIDED BY: ^ PETITIONER ® JUDGE ^ CLERK OF ORPHANS COURT SERVICE TO: METHOD OF MAILING: ^ USPS ^ RRR ^ HAND DELIVERED ^ OTHER MAILED: 3 ENVELOPES PROVIDED BY: ^ PETITIONER ^ JUDGE ^ CLERK OF ORPHANS COURT eputy lerk of Orphans' Court N ~ N N ~ a ~ _-°_' E-o~'~`~ o~'a~oE v•~,~ >.m y ~ C O "r N O y- ~,, ~'~ ~ V ~ N >~L~ a ~ ~ ~ ~ U N ~~+'a r~ica~oy y~~c-°+- a~i E~E~~~ ~, m ~ i ~ ~ n- ~ ~ a~ a ~ 0 3"~~ Q a~ ~~~ EEc~~o '~ U°'a`OQ`o Q ^ ^ ^ T a~ cn ~o t to ++ a ~ ~ -. ~o ~ a' p ~ u~aCU ^oo ~- m .~ _ ~~ o ~ ~, ~~N~~ U ~ Cj t7 SUNN .N ~ ~ N cn ^ D ~ ~ ~ ~"' M Q '--~ ti O ~ ~ ~ b ,__. ti va a~ o C~ ~ t'~ 3~ U 0 v cT L N O T N O r 0 ll') 0 o ~. a O ~ ru ~ ~o ~ ~ »~ m ~ U 0 ~ 0 ~ ~ Q 0 O ~ N .~ ~ ,~ y $ E ~" 3 ~ ;' - z ~ ~= m U C -, ~~ N t., ~ ;.,~~ ~..~. ~'~{ I„ ~ i„ ` .. 1~~ j -^--~ ('~~ c z v v ~ m a. "~'• ~ ~ •.. N ~~_ ~' r-' f4 (~ ~ " CD ..,-..• O 4 _ ,"~ ~ p `"~ ~ `"t'1 p ~~' , ~~1 ~/ 'J W ~ ~ ~ ~ ~ i ~ j ~ `~If ~~L Y.. / ~ ~ ] wN ' 3 ~ ~ ~ ~F ^a MI~~~ IJ ~ ~ ~ tYr~ j^ ` ce w~ ~,f/'~ ~~~ ~' ~ ~ V • Y ~ .i ~.~ ~~w ..~' ~ Y ~ y~ n-'~[ i O ~ } ?+J+ S .Aµn. ` M~ ~ -~ G /~~ N ~ ~ ......» '~ y , ~ ~ W .r - ~ ~~ ~y 1~ ` ~ ,0 ~ N ~~ ~ ~ ~~ O X • ~I • Z c 3 coo `~ ~~ v 3 ~~ ~N G m ~. err ~ `.~ ~ "~ ~ ~ ~ ~ O C'rj CD ~~ ~ ~ 'T, ~ +~ ~ -J ~ C3~ .G-~ ~ '-t W `".~ ^ r,. .-• .+ C7 ~ ~~~.033 a ~?~ ~~m . a ~in'CD ~ ~, m m on~°'~.3 ~w 3 N O-'"',,,-~' d ~ w ~ 'y o ,N~ O ~ ~ i1p N N ~ ~ p~ N N m m ~ °- ~ o. a' m o ~ ~v ~, m w CD ~ ~ N N ~ O d ~ ~ ~O ~ O fi N n N ~G ~ mO~ O ~j, ~. C G '0. ~ N n ~ (11 -J O to ,~ ~' ~, (~ ter. N ~ cn ' ly ~ ~ a _ .© ~ °~ ~ ~ ~ G ~~ ~ ~p ~ ~ ~~ ~i F ~~ ~ ~ ~ • I t o ~' -- ^ a ,,~ '~ o ~ ~ ~i ~ ~. ~ ~ ~ ~ ~~'~' ~ ~ o rv ~~ ^D~ ~ ,,~ , o O ^ ~ -~.. o.. N. ~. ~ G N . C4 N m b N ~ _-J~ ~"~ ~ __----~ ~ .~ n. .~ ~ o ~~ ~ N~ o ~ ~, z rn .r U ~~~E a. L%~~~ w U w ^O Li.. W Q W _~ Z • x ~ '~.' .~ (~ o ~} C c, a ~ N ~' ~ Q c ~ ... ~: o ~ ~ ~ 1 ~~ L .. ~_ r~ ~ ~ ~ M ~ ~ ~ O L Q~ ~ ~ o ~ .. ~.}~ v ~ O : . C _~ n cC3 N ~'~ 4~ a _ ~ ,,_„~ _ .~ cNo ~ ~~Civ~ a~..,, _ ,~, ~, ,,,~ ~J i '1 ~ i .~ `I » _. Y J L 'J ^L W C W ' ^ ' _ ~ ... .. '~. .._ .. IN RE: IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY. PENNSYLVANIA ESTATE OF RUTH V. JUMPER DECEASED NO. CP-2I-ORPHANS' 0230 2001 ORPHANS' COURT DIVISION ORDER OF COURT AND NOW, this 14~" day of JUNE, 2006, after hearing and after having reviewed the briefs filed by the parties, it is hereby ordered and directed as follows: (1.) Within ten (10) days of this date, the executors shall file a formal request with South Middleton Township to have the real estate rezoned. They are further directed to pursue the matter with the utmost dispatch. (2.) The executors shall list the property for sale within ten (10) days of a decision by the South Middleton Township Board of Supervisors on the request for rezoning. (3.) The terms of any good faith offer shall be shared with the beneficiaries. (4.) No written offer shall be rejected without court approval. By the Cotart, ^~~ .,y~y • ~~ ~~ Edward E. Guido, J. Carl C. Risch, Esquire Ten East High Street Carlisle, Pa. 17013 Richard P. Mislitsky, Esquire One West High Street P.O. Box 1290 Carlisle, Pa. 17013 ,m .. ~, : - _ t ~.. ~.__:.- ORPHANS' COURT DfV'ISION COURT OI' COMMON PLEAS Ol~ In Its: I s(at~ of~Rl;'fl1 V. JUMPER CUMBERLAND COUNTY PF,NNSYLVANIA NO. 21-O1-0230 CERTIFICATE OF SERVICE OF ORDER it ~D(~I_~S I~'1l~lALS: L.E.G. 1111 ~1~.A~iP DATE: 06-14-06 IN KE: ORDER OF COURT SI~.R\~ICI~: ~I U: Cf\RL RISCH. F,SQ.; MARK W. ALLSHOUSF., ESQ.: RICHARD P. ,VIISLITSKI'. I~~__ ~II~:~I~I IUD OF MAILING: ~J l; S i'ti ^ RRR ^ 1(AND DELIVERED M-AII I~_D: ~~ti-1 ~-U(~ ENVELOPES PROV[DI?D BY: ^ PETITIONER ^ JUDGE ® CLERK OF ORPIIANS LOUR"I~ ~I~RV~ICI~: 1U: ~AII~~I~I IUD Ol~ MAILING: '~ I St'ti ~ I:RIz O"~IJI:R \l \II l~:D ENVELOPES PROVIDED BY: ^ PETITIONER ^ JUDGE ^ CLERK OE ORPHANS COURT '~' ~ Deput~ Clerk of Orphans' Court ^ Complete items 1, 2, and 3. Also complete item 4 if Restricted Delivery is desired. ^ Print your name and address on the reverse so that we can return the card to you. ^ Attach this card to the back of the mailpiece, or on the front if space permits. 1. Article Addressed to: L~~l' ~ ~ ~ 1~i SC/)r ~5~. Ail ~ iN w C~ ICS ~ I~f~h =St f 7G' i 3 ~f~'t~'~- `-c'"tom! ~ D Agent X ~ ~ ~ ~ ~ ^ Addressee B. Received by (Printed Name) C. Date of Delivery ~ ~` ~~ ~'-Y C_l ~- ?Yr ) 1 O h D. Is delivery address d fererK from; Item 1 ? ^ Yes if YES, enter de}ivery address ?e1ow ^ No ~' . ~~~ ~' , 3. Servi Type !. ; Certified Mail D Express IGlail ~ Registered ^ Return Receipt for Merchandise ^ Insured Mail D C.O.D. 4. Restricted Delivery? (Extra Fee) ^ Yes Article Number 7 0 0 5 18 217 0 0 2 2 4 615 3 8 6 4_ (Transfer from service label) --- - - -----_____.__ wr~ -- _- - Form 3811, February 2004 Domestic Return Receipt to2595-o2-M-i5ao ; ^ Complete items 1, 2, and 3. Also complete item 4 if Restricted Delivery is desired. ^ Print your name and address on the reverse so that we can return the card to you. ^ Attach this card to the back of the mailpiece, or on the front if space permits. 1. Article Addressed to: n~~~ ~,~ ez~is~~~-f, Es~~. ~~a 3 Sir, r~ ,~c~ :~i~errn~s ~a ~~, P~ i ~C)~~' a. ` D Agent D Addressee B. Received by {Printed Name) C. Date of Delivery D. Is delivery address different from item 1? ^ Yes If YES, enter delivery address below: D No 3. Servi ype ertified Mail O Express Mail ^ Registered ^ Return Receipt for Merchandise ^ Insured Mail ^ C.O.D. 4. Restricted Delivery? (Extra Fee) ^ Yes 2. Artiotelvumber 7005 182 002 4615 3857 .~,~r~~> (Transfer from service label) -_- ------- _. ~__..._._ a PS Form 3811, February 2004 Domestic Return Receipt 102595-02`-Fv1-1540 1 ~ UNITED STATE$ P~~~A~ ~ER.yrl y s `~"t°~" it ~ M~ _ ._ . _ . _ USPS ~..'::.% µ11.d ~`'rt N'.?~'i~~ r`"e ~::+ I'~ i .{ ,~. ~,~~~ P ik! . -10 • Sender: Please print your name, address, and ZIP+4 in this box • . _ r._ J ;...Glenda Farner Strasbaugh Register of Wills and Clerk of Orphans' Court: County of Cumberland One Courthouse Square Carlisle, PA 17013 UNITED STATES POSTAL SERVICE i ii ii i • Sender: Please print your name, address, and ZIP+4 in this box • .. - . _ `~ ~r ~1-~~~L~ Glenda Farner Strasbaugh Register of Wills and Clerk of Orphans° Court County of Cumberland One Courthouse Square Carlisle, PA 17013 First-Class Mail Postage & Fees Paid USPS Permit No. G-10 u .. ._ Ifiil i7{Sil~ilfi}l1711F71i}111i11 ~I llilfi l~Iifi111Fi }il lli}Iill ^ Complete items 1, 2, and 3. Also complete item 4 if Restricted Delivery is desired. ^ Print your name and address on the reverse so that we can return the card to you. ^ Attach this card to the back of the mailpiece, or on the front if space permits. 1. Article Addressed to: ~~~~~~~ P ~;~~~; fs~y, ~sy iw' ~y,~st G' c~. ~~x iz~~U C'~irls~~, P~ ~ wi I rAgent ` '~ ^ Addressee B. e'ved b Pri ted Name V C. D e ~D ~ e ~i~ ~~ ~(l~f~ h lS D. Is delivery address different from item 1? ^ Yes If YES, enter delivery address below: ^ No 3. Servi Type Certified Mail ^ Express Mail ^ Registered ^ Return Receipt for Merchandise ^ Insured Mail ^ C.O.D. 4. Restricted Delivery? (Extra Fee) ^ Yes 2. Article Number 7005 ]x823 222 461x5 3840 .~/) (transfer from service labs-------- - ~_.__._ .._._ v , PS Form 3811, February 2004 Domestic Return Receipt 102595-02-M-1540 UNITED STATES POSTAL SERVICE ii • Sender: Please print your name, address, and ZIP+4 in this box • ~~~ _1 Glenda Farner Strasbaugh Register of Wills and Clerk of Orphans' Court County of Cumberland One Courthouse Square Carlisle, PA 17013 First-Class Mail Postage & Fees Paid LISPS Permit No. G-10 u .:_ 2 I,~~ill~,~iii~,~E,~Il,fli+.Ali„~IIF,,II,II>>tli:,.1=~III:~I,i IN RE: IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED N0.21-2001-0230 ORPHANS' COURT DIVISION Petition to Compel Sale of Real Property AND NOW comes Galen Jumper, by and through his attorney Richard P. Mislitsky, and requests this Honorable Court to compel the Executors of the above estate to sell the real property of the estate and in support thereof avers as follows: 1. Plaintiff is Galen Jumper is the son of the decedent and one of several beneficiaries under the Last Will and Testament of Ruth V. Jumper. 2. When this matter was first brought to the attention of this Honorable Court, Barry Jumper was a named plaintiff. As a direct result of the Executors' delay in finalizing the estate, Barry Jumper died without the benefit of receiving his portion of his mother's estate as set forth in her Last Will and Testament. ... 3. This matter has been before this Honorable Court on two prior occasions. ~? 4. On or about March 14, 2005, plaintiffs filed a request to remove the Executors. ~ A copy of the Petition is attached hereto and marked exhibit A. r ~~ 5. Executors failed to respond in a timely fashion and this Honorable Court entered an.-~ -; r Order dated April 13, 2005. 6. Upon Petition filed on behalf of the Executors, this Court held a hearing on May 9, 2005 and as a result thereof reinstated the named Executors. A copy of'the Order is attached hereto and marked exhibit B. 7. Thereafter, representatives of the Executors appraised the real property and established -,; the market value of $550,000. Thereafter, the Executors of the estate refused offers on the property and further refused to permit the listing of the property at or near the appraised value. 8. As a result of the Executors' refusal to move the estate toward finalization, plaintiff was forced to file a Petition to Compel sale of real estate on March 16, 2006. 9. A hearing was held on May 15, 2006. As a result of the testimony during the hearing, this Honorable Court issued an Order dated May 15, 2006, a copy of which is attached hereto and marked exhibit C. 10. Pursuant to the Court's instructions, a request was submitted to South Middleton Township to rezone the property. 11. The governing body of South Middleton Township refused to rezone the property, thus eliminating any uncertainty as to the value of the property. 12. The Executors continued to refuse to sell or list the property at its appraised value. 13. Plaintiff believes and therefore avers that the Executors continue to list the property at a totally unreasonable price. Plaintiff further believes that recently the Executors reduced their expectation and reduced the list price to $900,000. 14. While the Executors will argue that they agreed to reduce the listing price, the Executors continue to delay finalization of the estate in that the present listing price remains well above the appraised value of the property. 15. At all times material hereto, the Executors have intentionally delayed finalization of the estate so that the original Petitioners would be prevented from receiving the portion of the estate given to them under the Last Will and Testament. 16. The Executors have succeeded in part. Barry Jumper died in May 2006. 17. The refusal to permit the real property to be listed at its appraised value intentionally prevents the sale of the estate's real property. 18. A listing price far in excess of the appraised value deters prospective buyers from presenting an offer to purchase and purchasing the property. 19. The Executors have at all times material hereto acted with the intent of depriving Petitioner of his portion of the estate. 20. Executors have refused to act in accordance with prior orders issued by this Honorable Court. 21. Petitioners request this Honorable Court to Order sale of the property at public auction. WHEREFORE, Petitioner prays this Honorable Court for an Order in favor of the Petitioner. Date: /1 ZTj (~ 1 d Richard P. Mislitsky, Esquire Attorney ID # 28123 One West High Street, Suite 208 P.O. Box 1290 Carlisle, PA 17013 717-241-6363 Attorney for Petitioners Attorney's Verification I verify that the statements made in the foregoing Petition to Compel Sale of Real Property are true and correct. I understand that false statements herein are made subject to the penalties of 18 Pa. C.S. § 4904, relating to unsworn falsification to authorities. Date: Richard P. Mislitsky, Esquire TAT R~ LECF.~ SEA _, =`1 _ __ `CUR"' OF ..,~ivl:-ICS; rLEA ~:%Iy_---'.~;~ CG'S i'~"%, P:~; ~~_~`~'?tiL~. i;C. 2'~-20C~-C2~C ORP~?.~i~ CCUR T D~°JISIOI`; RUNE '"O SHOW CAUSE Ai`ID NOP~, this day cf 2005, a Pule to Shcw Cause is hereby issued u~o^~ Wilmor_t Jumper, Debra Jumper and John E. Killinger, Jr. to show cause why the relief requested in the Petition to Compel the Fiiing of an Accountir_g and/o-r to Remove Executors s'_~all not be granted. A response to this Rule is re~urnable within ten (10) days of the date of jervice. BY TI`E COURT J. a PLAINTIFF'S W EXHIBIT J H F J a _~~ ~..~. ~~! _.,..~ C~i..~,~ ~._ ....~~'1~'1~11 PL~._.._ ~~ , ..~.,~A.~~ , ("iNaT \ ~V_J L L-~ ~i 1, ~ L :~.. ~.. ~ ~ S PETITION TO COMPEL THE FILING OF AN ACCOUNTING AND~OR TO REMOVE EXECUTORS A`~D ~iC~,~, come Petiticners, Barry Ju:<<per, Galen Lee Ju~.,per and Duane Jumper by ar:d t~~rough their attorneys, Richard P. Misiitsky, Esquire and Mark W. Allshouse, Esquire and file the tollowi ng Petition tc Compel Distrib~:tion, File Accour.tir.g and/or Remove Executors, and in support therecf r espectfully aver as follows: 1. Petitioner, Barry Jumper, is an adult individual having a current address of 30 Conrad Road, Carlisle, Cumberland County, Pennsylvania. 2. Petitioner, Galen Lee Jumper, is an adult individual having a current address of 230 Mulberry Avemae, Carlisle, Cumberland County, Pennsylvania. 3. Petitioner, Duane Jumper, is an adult individual having a current address of 342 South F;ast~ingt on Street, Mechanicsburg, Cumberland County, Pennsylvania. 4. Ruth V. Jumper ("Decedent"), a resident of Cumberland County, Pennsylvania, died testate on February 19, 20 01, A true a .u ... ~.~_ _.. .. CCU i C. ~eC~.~er Ni~1 ~.. ~~.` :Creel _.C.~ _CC ..._.~ '; ,_,,, -~. aoe nay- ..erec~ as Ex_~_~,~._ "__" . 5. Tr_der tre prcv_s_en., o~ Decede___' s mast ~~~~~ _ and Testament, in addition to other d~__ct_-~e=, Decedent's far;^ .~ r: SOUt~? 1`~11d~~etOn TOWriSnlp, lOCated at ~ 0 R:;Ckledge Drlve~ Carlisle, Cumberland County, Penns~~lva^_i a, was tc be subdivided by ar~d between Decedent's beneficiaries. Specifically, Petitioners are to receive a sub-divided parcel of real property to be approximately one acre in size. 6. In the Petition for Probate and Grant of Letters, filed February 27, 2001, the estimate values of Decedent's property including real estate was $41,000, which value is believed to be an underestimation of the real value of the estate. A true and correct copy of the Petition for Probate and Grant of Letters is attached hereto and made a part hereof as Exhibit "B". 7. On February 28, 2001, the Register of Wills of Cumberland County, Pennsylvania granted Letters 'T'estamentary to Wilmont Jumper, Debra Jumper and John E. Killinge.r, Jr. pursuant to Decedent's Will, The Letters were advertised accordingly. 2 P~~'T~~.'1i ~ G:C ~r~GU~IT1V~i 3 . ~ ._ ~" _ ... ~ tom,. .. '~+ i C% ..._-i .. Pct_~,~i- a=~ herr_i lrCO_~Cra~eC ~'i re~~.rerCe a: y~ Sew iCrt at ~i_.^_g`:I'_. ~. ~~ t'~.e Estate 9. Petiti.or_ers are parties __~ irteres` -- ~' because each is a beneficiary ur_der the r`lill . 1C . It is affirmatively a-Terred th at ~_o action tc finalize the estate has taker place in over four years. Also over six months have elapsed since the first complete advertisir_g and Grar_t of Letters and no Account of the Executors has been completed or filed. 11. It is believed and therefore averred that all known creditors of Decedent have been paid in full and there is a balarce of cash and/or property in the hands of the Executors cf an unknown amount. 12. It is believed and therefore averred that taxes for the Estate have not been filed either with the Internal Revenue Service or the Department of Revenue of the Commonwealth of Pennsylvania. 13. Petitioners have .been provided no information regarding the amount of assets left in the Estate and have not received distribution of tree real estate devised to them in the Wi11. 3 _.a. ~_., t ~_ aS:~eCS C~ t~.a ES:.a~e as ~=C' __`.,. C{ ~__.~,~.C~a~~=S f:,_ 1. C ~.7 '.~Qte . y5. It ~~ believed and therefore a-veY~ed t at t:.e Executors of the Estate ha'~e failed to file ar: Accou n~ing ir_ accordance with 20 Pa.C.S. 3501.1. 16. The Executors have failed to provide Petitioners with any informal account of their administration despite being requested to do so. 17. Four years have passed since the date of Decedent's death and there is no reason that an Account should not be filed, the property distributed and the Estate completed. 18. The Executors may now be cited to file their P.ccount pursuant to 21 Cons. Stet. § 3501.1. WHEREFORE, Petitioners respectfully request that a Citation be awarded directing the Executors to show cause why they should not file an Account of their administration of the Estate of Ruth V. Jumper, deceased, within twenty (20) days. II PETITION TO COMPEL_ADMINISTRATION DISTRIBUTION 19. Paragraphs 1 through 18 are incorporated by reference as though fully set forth herein. 20. Executors have failed to distribute Decedent's Estate pursuant to the Will. a ~_. _c ~s nel~eve% a__c ~__er~_.ore a-r=__ed "at ~he C~.S~~_~:C~_^n a-c S'_~C-.1~y..._C'_~ C= re?_ _ =C':.`er "_i as s°_~ _.._.~__ -__ t~ ` ,`J~, ~ :~a, ~_,.,.. re possib_e unaer tree cure .. s~~.-d~•~_s~on o~ Sc~~th tiI=ddletcn Towrshio whsrer__ t:._ real property i s _ocated. t'2. ^'rle mill provides that it for any reason a nor Dart of t~~e sub-divisior_ of the real propertyr as set forth therein shall not possible, then the real propert,- bequests sha11 lapse and be added to the remainder of the Estate. 23. Further, the Will provides that all the rest, residue and remainder of the Estate...is given, devised and bequeathed to each of the children that have survived decedent by ninety (90) days in equal shares, per stirpes. 24. It is believed and therefore averred that the Executors have failed to properly administer the Estate knowing that the intended sub-division was not possible and trat they would be receiving a smaller portion of the Estate as a result. 25. Petitioners have requested the Estate be completed and distribution made on several occasions. 26. Despite these requests, Executors have refused Petitioners' request for distribution without explanation. Wherefore, Petitioners respectfully request the Honorable Court to Compel Executors to perform their required duties and complete administration and distribution of Decedent's Estate. 5 ...1 1 ~ .+ !" ,T. ~ '.'1 T l'. ~. T! ..^T~VTT 11~ ICJ. .LEI Vim. as th0~.1~_"'_ f;.i~ `i set fCrt~1 i_e rCi i:. 28. Coun~ ~II ~s beir_g pleaded ~__ `re alter-.ati-~-e '- ~. o Counts I a_~d II, in t'r_e evert that th_s Court finds that current Executors are not capable of performir_g their duties. 29. Executors have failed in their fiduciary duties as set forth herein. 3G. Executors have proven their unwillingr_ess and inability to serve as Executors and fulfill their fiduciary duties to the Estate. 31. The best interest of the Estate and its beneficiaries will be served by removing the current Executors and replacing them with one or all of the petitioning parties. WHERErORE, Petitioners respectfully request this Honorable Court to issue a citation directed to Executors to show cause why they should not be removed from office as Executors of the 6 r. '~._...~..~e~ ~.:C. .~L~..~..__..~5 ;:;e a'^~C~.nLe t^. ~CT~~---ste:_ t~~_~ ~':~`_c~e. ;' ~ - .~ ,~ 1 ,f L -till-'~- ~, Ri ~incrd F. N~islitsky, EsUair Attorney ID # 28123 One Nest Nigh Street P . O. Bo.{ 1290 Carlisle, FA 17013 (717) 241-630'3 Rest' =ctfully subm~.tted, Nl~rk w. ~lisrctse, Esraire 1~ttorney ID ~ 78014 4833 Spring Road Shermans Dale, PA 17090 (717) 582-4006 attorneys for Petitioners 7 LAST WILL ,~~D TESTAI~tEtiT OP RL"FH 3L'MPER I, Rut;~ Jumper, widow, of South M~,dd!rtor, To~h~aship, Cumber!and _uur:t~;, Pt^;;sv;vu:iu, being n.° :rural r.d disposing miad,-mew cr-, and ;;ndc.-szarding, d<~ ?teTbv ma'~c, ;.~:!;;15i,, ar,d dcc;arc. this aS and for my Last Wil; an d Tcstartrnt, hereby revoking and makinb v%i~ any a:':: a;i W'i;!s by me at any tame heretofore made. 1 . I direct my hereinafter named Executors to pay a!1 oC my debts !n which 1' am bou ^d anl! fur,er:.; the expenses of my funeral, last illness, and of the adminis~atintt cf my tarots as scx,~t: after nl;~ Catat}l aS may be fOL'nd COn VC nlenl f0 do SO. 2 1 dcclnre that I am currcndy a widow, and that 1 have eleven (11) chiic!rcn whu arc Debra Jumper, Twila Stacher, Wilmot Jumper, Miley Jumper, Ir., bonnie McKee, Gary Jumper, D,:anc Jumper, Galen Lee Jumper, Barry Ju:np~*, lythez Dean Jumper, and Charlotte Killinger. 1 furuhcr declare that 1 have no other children. 3. I hereby direct my Executors to make arrangements for the 6ubdivisian of the farm which I uwn in South Middleton Township, Clrmbcrland County, Pcnnsytvania, having a mailing address of 1120 Rockledge Drive, Carlisle, Pennsylvania, fzn r.'atTl. ~._uf-carrying out the hcrcir,aftcr stated bcgtststs. I give, devise and balucutht a. to my dau~urs, Debra Jtunper and Twila Stacher, my house at 1120 Rockledge Dnvc toQctiter wi al! the tangible perstxtal property located therein and together also with an amount of land the house determined tly_my J?xrcuicrs.tn be a rrpm~A.hlc-.arraunt ot" land for the use of the house as a single family residence. be to my son,-'vliley Jumper, Jr., the land surrounding his mobile home cn^sistinl; of approximately one (1) acre. c. to my son, Duane Jumper, a lot at the northeast corner of the farm, which lot shall be approximately one (1) acre. d. to each of my sons, Qalcn Lee Jumper, Barry Jumper, and Luther Dean Jumper, and rr)y daughter, Charlotte iCillingcr, a lot of gerund, each of .said k>ts w be approximately one (1) acre. c. to my son, W ilmot ]umpcr, n1I the remainder of the farm. Providul, hnsutuer, that no such $bovamentioned child shall be entitled to the brqueu alx~vc uttJess and until they indicate in writing that they desire to receive such bequest tend arrcc in writing to paY in advance ihcir share of the costs of obtaining subdivision approva! from all rcquiitd municipal authorities, which costs shall be determined on a per capita and not on a pro- rata basis. j If any of my above•mcntiorcd children, with the exception of my son, 1~'ilrnot Jumper, shall predecease mc, fail to survive n°.e by a period of ninety (90) days, or not tndicate in wrung their c!esire to receive ihcir bec;ucst and their wllltnertess to pay in advance their per capita s}luc of ~e costs of obtaining subdivistor, approval, then their bequest shall lapse and shall tx added to the ~ share of my son, W ilmot ]umpcr. if my son, Wilmot Jurnpar,-shall prtdeetase me, fni] to survive me by s pcticxJ of ninety (90) days, or not indicate in writing his desire to restive his bequest and his willingness to pay to advnncc his per capita share of the costs of obtaining subdivision ~= ,approval, then his bequest shall lapse and shall be added to t}tt remainder of my estate. If for any ~ reason, any pan of the subdivision of my farm as set forth herein shall not be possible, tear in ~_~ such event each of the bequests set foRh in this Paragraph 3 ahall..lapse and-be added to the remainder of my estate. x~ 4. All the rest, residue, and remainder of my esta!c, real, personal, or mixed, erd wheresoever the same may be situate, I give, devise, and bequeath to such of my children as shall ~ survive me by n period of ninety (90) days, the share any deceased child would have receivrd to `pass to iris or her issue pet stirpes, and if there be no issue such share shall lapse and be added to C`1,~ the remaining share or shares per stirpes. At the present time I have eleven (t l) chiWron as ~" afortrnentioncd. ~. ~ .Page I-of 3 pages \\ Should any pcr'>Gn less than i 8 year; of age be tt:eted to disc:butior. is ;m ;ny es; ;tt, ir, such -vent the sha.**_ that person would ahc^~ise have rece:L'd shat; be paid to my ~rccutors, in t*}st, to receive and invest the same, and tc kay the income :^y therefrom, to^ycther wien sp aria - -- -- ___ - muc!t ci the prnrea! thereof as in her opinion is necessary ar destra'ri- to Fx expent:c: for tiro r^,rOYCr..,.iatc:.ant-.-supgcrt, a:.zi. r~+.:~r~r~. nn af~r:c5_pe:san, tnnr for :hc ~'~it ~:E_suc_h ,zc:<.cn, and open such pcrscn attaining ig yews of age to pay w him or he: the ;beet :cm:aining ptinci~al tngc:her with ar~y undissibutcd income. 5. 1 t:cre5v norlinate, consuw;e, and 3npoint my daul;!tter, Cchra luntper, my son LL';'.n•:ut ar.her, and my grandtion. John F. Killinger, ;r., or any ri ;hem, as Executors u( this my I.~st Well and "l~estantrnt and 1 furthc.* direct thdt none of them shall tx rcquirui to post ;any herd ;o secure the faithful performance of kis or her duties in the Commenwea!;h of Pcnnril~;tn~a :,r ;n ac~, ut`~.cr;uriirtiic;ion. 7. [n addition to dte power<_ cor.fcrrrd by !aw, my herein named Executors and '~nr.,ccy are empowemd. a. 'Ib invest any par; of the trust corpus in such securities, investments, or ether property es may txc deemed advisable and proper, irtspective of whether the same arc authorized for the investment of trust funds under the laws of any gcvernias;unsdicror,. b. With ruptci to-any tnrcratna~thzsnc4s, bands, nr~t2ur securties of which nr~y 6c hc(d, to vote in parson or by proxy on any shares of stock; to consent to the tncrgcr, consolidation or reorganization of such corporations; to consent to the lcasini;, monyaging, or sale of the property of any such corporations; to make any surcndcr, exchange or suhsnrutton of such stocks, bonds, or other sect:ritits as an incidr.nt tc the. merger, consolidation er reorgganization of such corporations; to pay all asscsmtcnt,, sultscrpticns and other sums of money which may tx deemul wise and expedient fur the protection and maintenance of the proportionate interest of the invrstmenr in such cnrlx~jatiuns; to excrtiise any option or.prixikge which-nosy bewaterretl uptxt.:lte :toldrts of .uch socks, bonds, or other securities of such ccnporatiuns tither for the conversion of :hc sums onto other securities or ft7C ttx purchase of additional securities, attd to make ary :u,rl al4 accessary ,~nynxnts which may be rcyuircd in connection thcrew th; and gcncral!y to have and exercise as to all xuch stocks, bonds, and outer securities, the pt~wcrs of an ;ndivi^uaI owner who [s under trust obligation. c. To hold the trust Corpus in one or more consolldatrt! funds in which separa:c sh;tres shn!1 have undivided +nttrests. d. To sea at pubLc nr private sn!c for cash or upon credit, er pertly for cash and pa^ly on credit, and upon such terms and conditions as shall be deemed projtcr, any pan nr pate rf ;he trust estate, and no purchaser et any such sale shall be bound to enquire ono the expediency or ptvpriety of any such sale or to see to the application of the purchase nx;ncy xrisir,g therefrom. e. To keep on hand and uninvested such moneys as tray be dccnxd proper and fur s.:c`t period as.may be SnundLx;.r:iirnL f. To compromise, settle, or arbitrate arty claim or demand in favor of or against the tr,iSt e5tatc. g. ~trul authorized in the discharge of fiduciary duties, to cmptoy counsel and to (.'.._, dctcrntinc and to pay such counsel reasonable compensation which shall be charged against ' -the principal crrirtctxne of the; trust ftmd,~rtd-sheillfurther bezntit!ed tv charge against the ~trincipal or income such other reasonable expenses and charges as may b,c accessary ar.d pn~per to incur for the proper discharge of fiduciary dudes and far the proper management ~ and administration of the trust estate. h. In making any division of pro~crty into shares far the purpose of any ca distribution thereof directed by the provisions of the trust, to make such division or distribution, either in cash or in kind, or partly in cash and partly in kind, as shall !x deemed nxtst expcdicnr, and in making any division or disxibution in kind may ally any specific security or property or any undivided interest thet>rln to any one of more of such ~Jtares, arul to that end may appraiseBny nr_all of the propeayso to-be allotted and tttc ~ lodgment as to the proprety of such allotment and as to the relative value for purposes of ~t disc-ibution of the securities or property so allotted shall be final and conclusive upon all persons interested in the trust or in the division or distribution thereof. Page. 2 of 3 pages /~~ ' l.~l,C- ~'~ ,~~~ r -l. , ~'. ~~ `. iN W ITtiESS WHERF,O~, I have he:t~nto set my hand and seal en this Page ? ~f 3 Paves of ;his my Lass W:L and T~scarreni wt^tten ;his idLh day cf .November, 199 :. R;::h 3umper In our ~trw^.ce. Ruth lumpu_si$z;rd--thisBrd ~eclarcd it to be her-Will, and new st `;er regaest, in her prescnct, and in the presence of each other, we sibn as wimesses. c' t ~ i i a .y ,! J ~ ~~ \\\~/ ~ ~f~ ~~~ ~ 1 ~,~~ w , 1 I ~ r--~ 5 n ~~' I2w ~ t in j , ~ ~ C~l/~I ~ ~ ~ ~ ~ `~~ C ~l ~4 ~ l ~,~~ L F >~ ~ ~..w h e ~ wl ~2..e, e ~ ~. r~r~ ~. c~ ~w1 o-~~~. y l~f ~ 1 1 ; ( -~~ (ter C . ~~ ~ ~ ~ ~ CC O ~ ~i A~ ~ j G111n. r y~, ` f~~ ~ti ~ wti -~ ~ ~ ~?, ~ !~ ~~ ~~, w ~n ~ / CC /~ -~-. ~/ ~ -~ d'~. 1~'P_ ~ ~ ~ l~ 1 ~~ ~~~ ~L. /w.w~~^~C~~'~ C~, V1C~ !''-~ ~~~~~~~ i ~ w ~ l ~ ~ .S <" u w~> ~ U,~Q d ~ fro cw c ~ P ~t/~ f ~ ~ ~ L~/, ~t~ .~~~~~~ ~ ~ ~ ~ ~w ~w~ ..w~ v 9 1J~/~ ` ~ :- y-~ Page 3 of 3 pages ~ J 1 ~J'S r' bI~~U`~~ Cvnbe~eG 3 ttt---•---..~~~JJJ "' ~ ~~ ~~ " ~c! .o he ~ Dt'e,ed 5•J!h~is plcr. _ __._ ~~ ~, ~` ~~ ' ,,. ,ii- a0. / ~^J~ )` ~~\ 1' ~~' f'i ~ l v ` 'w J/~~ r ~' l wp 'o- tC ~ / ~ c , J'., a~ f~r' ~'~~ ~;~~ ~ / ~~ /IP.~L/CATjoV / 7So °`' ~ ~rNAC ~LAJ~/ ...~ r E~~~~ / ` Spa ~` ~ --- -- _.,. --~'~Q-a~ /~E~4'' T-FC~ SE~T7lin do/f of Ruth`/J ~m^er ~: ~lU~I~~C~I.vGr~h(, ~IYrl+~~~ ~ '~ ~. r • l9-Z-062- _ Ru?>'rc ~1~«/ ~.~~pctr/'~D TcJ n / G'f !' ~ L a ~.~ v ~ ~ ~ ~~ rr / Ns 0. /~ ~'' ~I 'O 'O7 Uf ~ 6`yy mac, ,F; ~ ~•, ,_ .E,',pA~~P ~ ` l n~ `934., ~O _! N'-?~- // ~~~ ~~i' y 10 ~. S 'C n~C~' Nn ~~ ~t,r~l „~~ ~ 4---i-r%~~;--~ ~c~' ~- ~ `. r cr-~ - lel '. .'."::'~ C r `C .cc_~._ . n .,~ c.~ .., _ ~ "^ Ala Ere.. ~~. ~Jose;.n~.Gir!.. ~~,. ~Ohn...p,t2~c;. .: '~iChCr~ t.` :. ~~rnn~~~ L ~.:~ - r 0!r e' /o ~/~f ~ .~ ~~ ~ :^ G :-~ n ~: •~ ~ ' Y , ~ ty , --~~ ,r ~~CL~I~If1~1LF r2,L'C ~ ~icr<JLijY y ~ _~_i~,_ r~25~ 9'E /.. ?l7,: ~., ~?2 ~,.~7" ICIiv~ lend r ~,~~ ;! 7 ~,/yCQ~ /11AX1/f Ic.~ n/tof P,lartin L.Vlclt ^ale S. ~"' 18-0- 123 `" t i~>~ 7!~.~ ~~fF= ~~r jI_?~,,-j}~ >Ir/2Vf~ ~'.~ r~ ryt f~J? "?fit M ~1 Lr.~~/~/f.~/C fi.2 t~~~/G~v os~' ~~LC C11;~ /yf/l,~ f~r~/~ /G~i r~~G~l//~~,~~ ~~A.r/. INDEX MAP 6F ,~9p ~~~nrT/i ~'~. aoo o aoo oco /~ CSC/L (~c_ ~;JG -/''~''/is--F~ %`~:: Sccle I~= 400' All information shovm on the Index "+'apw~ plotted frcm o dead raccrded in the Cumberland County Deed Bcck 18-Z, Pace 062 and r~ll2/i~~ '~y/rdlr/' reflects the accuracy end/or incccurecy of that deed.l`1o tied wcrk was CA~~~' /f,~Y / F^?G performed by Carl D. Bert, R.S.,attnis tlrne. ,~ `~ w7 ~ ~<~J ' ~"~.~ < S NEREBY CERTI F;EO Tr+AT YHE UNDERStGNEC7 N:.S LEOAL OR JITABLE TITLE TO THE LAND SHOWN AND THAT ALL RCA^u5 CR 7EET5 SNO'NN HEREON, IF NOT PREVIOUSLY DEDICA7E0, ARE :rBY DECICATED FOR PUBLIC USE. OWNER .7E CF PENNSYL'JANIA , COUNTY CF __ ISCNALLY aPPE ARED ©EF^.RE, :. NOTa RY PiJp'~.IC, .N nNp i Tf1E SPATE A1iD 000!iTY AFnn~~$;JD. ... .. .. . . REVIE'.VEO TtiIS- DnY OF 19_ ,8Y T~.E C'Jtd7ERLAND COUNTY PLAPINING COMMISSION, CNA1! ---- -. SE C R nEVIEWED TH!S~C.1Y OF _f9_, 0'f THE SOUTH b11JCLETON TO'.V!;SH1P PI_ANrIING COAIFA;SSICh _ -- ~ i ~ '1;~, ,- ~,-_. " 4~ ~~ N `' ~ _ C ~ ~ ,- r ~` n `~ ~~ '' ~ r r v \l r v ~. • v ~ .. .. J ~. I, '. .; ¢a if ~ 'f'` .f' ` f i ~ ~ ~ w ~ ~ ~ i i~ (~ v if ~ 1{ - ~ ~ { ~ 1 r~ -.,J v 1`~ i M ~: ~ ~~ Z '-' m L• _ `-^1 ~ r~ r- p s z ~ r ~ r v ~ ~ n t,^, r : ~ z ., m r r Y V J ~ 4+ C 4% f . , ~ = f v ~= , t ~ ~ '.. ~. ~- ,. ~ i^ ~. ~ ;~ ~* P,. .~; ~ ~_ ~ , ~ ~ ,v ~ V, ~ • n ' ' = ' 4 1 J J N r- ~ ~ ~_ ~~ _ r , r ~ ~~ , ~r ', C r r. i ~ ~ ~ ~I ~ i < ~ ~ ~ , ~ f ~ < i ~ ~ ~ ~ :r ~ - I ~ ~~ ~ r _ t ~ ~ G ~ n ~; ... ~ ~ ' r ea! ~ , ~ ~ I~ ~ ~ ~ f' ` ~ ~ ~ r ., i 1 ~. ~ ., ~, ?: 1 G ~ :t p'a r ; ~ 1~ ~ LL ~` f ~ V f ~ C' `.~ ' r ~ l'~ ''~~'',, CC'' ~ ~ ~ ~ y ~ 1' ~ ~ ~ ~ ~ ~ ~~ ~ ~J ~ ~ ; r ~ C~ r ~ I f ~ ," } p { f> ~,I t`1~ f t , yw SI = o r , ~ ~ ' ~ r, C~ I ~ ~ ~ ~ :!: G ~ ..~ i i i i ~ i ~ i ~~ ~ ~~~ ~~ PET~TICf',~ EflR ~RD3aT~: a:~~ GR.~~3~ OF' LETTERS i. ---- ------ -•- ~- - ~l' ' k _ ~~. _., ~• iii'. I~,~i i(.' ~ ~ ~- '_ _ ?~:._ pe:..:ter..: ~.._ ..:,~_~si~~-:e:_ __~,.:...-.~ r_. ,._~n_~ :.,~-. T .ili; r~;:i:CI:..:i.ii. tl;',O ._ _.a _ 1 ~}~1r~ v' a'~'' Lr Cl.:~er an ..._ exe::.. ~% ~ nlrn_.. In [~'ic iasf '•~~'.il Oi Che aJO`: ~ deC,.c'.~., d~ t~'~ J,~ - `~ ~ ` r l S:1L r__~` pfd _.,-_...^.; Sf ;..~~... _ ._...!f1C: ~.. ~, ~r1i~l .-. ~_~. _,..,- .} - Dc.e::dc:r.[ leas dorni,:iied at death in C~~='•~~= 1'=- ~ County, Pznns~;i`,'anis, pith: r ~ Iasi Ia,:,iiC Or prinCl7C.~ reS:den:: at T 1 ^ ~ ~ C .~ -''- - 2 ~) ~- 1 ~~ C ~ l S I SO:__C `.fl'j._.12~0~ 1GT.d1S:-il^u ~ (list street, r,umbcr and mu^dpa;;;;:} Deco^der:t, u:e^ ~ 3 ~ ars of a^_e, died ?' e b r u _ r v 1 ~ ;::~_ ? ;1 ~ } at-~~-~ s.~e 1~ospita_ - , Except as toliolc;, dzcedent did r_ot marry, was not divorced and did not have a child 'Dorn or adopted after execution of the kill offered for probate; was not the victim of a killing and w•as never adi~.tdicated incompetent: De~endz::t at death o'.~'ned property with estimated values as fcll.olvs: (It d~r:,iciled in Pa.) :all personal propert} 5 ! , GO~~ . 0G (If not domiciied in Pa.} Personal property in Pennsylvania ~ (I.' not domiciled in Pa.} Personal property In COLRt}" ~ `'clue of rzal c_tatz in Pennsylvania j 't 0 , 0 0 ~~ . (1 it situatzd as foliow s: 1_ t 2 ~; Rork 1 a' o p D r i ~. ~, (' a r ~;~ l a ~ ~ ~ti~HEREFORE, petitioner(s) respecffuily request(s) the Probate of the last will and codi;:il(s) pr_sented herelcitl: and the grant of letters T e s t a... e r t a r ~- (:esw,r;cn:are; xd :i::is-ation ..[.~.; a.lr„iris:rauc: d. b.r.c.t.a.} theron. _ I ~ ) 11 D !~ 4 1 LSD ^~ r 1 ? '? -~ ' 1 _ _ _ ~~ {l. A Car?isla, P- IiOI~ fl ~TI-I flF PERSOtiAL REPRESE'~TAT~~~E ~CO~'1~iOtitii EAL~I'H OF PEti~S'~'L`-~~I_~ 1 Ct)L'tiT~" flE CL::~t3E2%~i~ ~- s~ The petitioner(s) above-narttzd slvrtr(s) cr affirtr,(s) that thz statzmenfs in the toregoin~ petition are true and correct to tl:e best. of the kno`,tiled~~e and bzlief of petitionzr(s) and that ::s pe:coral r.pre;ea- Cai.~'c:15) Ot LhC aDOle C.e':edeT'i[ pef;COner(S) lvlll hell 3P.d truly administer L'1e eSi3te 3000rdin°_ t0 lal4', ____~- .f Sworn to or affirmeyi anal subscribed ~~'.,~~ti" ~~~~`~/"-"--' f before m^ this ~7Ta day qt" ` c ~ r ' ~„~,..~ - ~. Tom- ._... .,,. ~ ~ .,~ .. ti~ERIFIC.~~'O\ I, the undersi<med, hereb~~ ~-er~fv that the a~~erments made ir. the fure~oin~ document are trse and correct to the best of m~~~ kna«~led~e, infornatior.. and belief. I understand that the statements therein are made subject to the penalties of 1.g Pa.C.S.A. ~ 49G~ relating to uns~~~om falsification to authorities. Date: ,~/(1 ` U S~ ~ ~ -~"% ~~ jj~P ~~ ~~~~~ Z~ERiFIf~_~TIOti I, the undersi~,-ned, hereb~~ verit;~ that the ati erments made in the toregoin~~ document are true and correct to tie best of my knoti~~led~ae, infornadon, and belie±. I understand that tl:e statements therein. are made subject to the penalties of 1S Pa.C.S.~. ~ -I90~ relating to uns~~-orn falsification to authorities. Date: 3~--/~ -~~~ ~_-~ ~. ~ '~~ ~~ ~j ~ 1- `~ERIFIC.\TIOti I. the undersi_rned. htrebv verifti~ that the ati~e:~-nents made in the foreaoin<_ document are true and correct to the best of my kno~~ledy7e, information, an<~ belief. I understand that the statements therein are made subject to the penalties of 13 Pa.C.S.A. y 490a relating to uns~,vom falsification to authorities ~~ -~ -- Date: L~ ~G~ G7' ` ~ ~~ ~ - C~~.1~5~ `~-~ t~ c 1 ~ -,'i ~ ~ . ~~~! ~.. ~. '~J~~~ - yr ~v~i ~!(L,: i•l Y`....:iy~ CERTIr^ICATE CF SER.`TICE I, Debra Swigert, hereby certify that a copy of the foregoing has been duly served upon the following, by depositing a copy of the same in the United States Mail, first-class, postage prepaid, as follows: Debra Jumper 1120 Rockledge Drive Carlisle, PA 17013 Jchn E. Killinger, Jr. 41 Yorwick Road Carlisle, PA 17013 Wilmont Jumper 1136 Rockledge Drive Carlisle, PP. 17013 Date . ` ~ ; C :!~ ~_~~1 i(~/~; ~-~~~~ C, ,~, ~ ~~ Debra Swigert ~ ~~ Law Office of Richard P. Mislitsky Ore West High Street P. O. Box 1290 Carlisle, P?~ 17013 (717) 241-6363 I'`1 RE. I~1 THE CCCR'~' CF CCi`~~1~'~d PEAS CF ESTaTE GF Ru"u ~. JliN1~ER, NC. ?1-X00:.-02 Deceased CR?HA~~S' CCT.:RT DIVISIO?` ORDER OF CCURT rND NC6~], this 9th day of May, 2CC5, after hearing, the Petition For Rerncval of the Executors is DENIED. Provided, however, the executors are directed to forthwith proceed :'with the administration of the estate. In that regard, a hearing is scheduled for June 2, 2005, at 3:00 p.m., at which time we will take evidence and determine whether or not subdivision of the property under the terms of the will is feasible. It is further ordered and directed that the Petitioner's counsel fees be paid from the corpus of the estate. If the parties are unable to agree upon the reasonableness of the fees, we will schedule a hearing to determine the reasonableness of those fees. Mr. Mislitsy, as attorney for the Petitioner, is to be granted information upon request. By the "Court, dward E. Guido, J. /~tichard P. Mislitsky, Esquire Mark W. Allshouse, Esquire For the Petitioner Carl C. Risch, Esquire Christopher E. Rice, Esquire For the Respondents a PLAINTIFF'S s r s W EXHIBIT J ^ H e' H Q ~, ~ riot COPY FROM RECORD l;" ''' .;.: .: ~.~ wherox, I hereunto .~ j~?rci and the seal .. .. ':: •a;_~rt a? C:~riisle, PA iil~ i r .... .._~:m `. _~ Vii. ~.. ~~i~. vv~~___j., l.,w_::=~_.`.y.~i i~ ~_J.. ~~~_, _..~~V .JJYl.. _~, T.. i. .._.L~ :J =. .. ~F.~~R ~T C~ J~.~, rii~ ~J',~i'+'J, t%1S ~ cJt.'! Qay cf i'iali, 2~G~J6, after r'.earl.^: C„ Pet~tiOnerS are w'::at they are asking the to do iL. Said brief to 2, 2006. Respondents ma business on Monday, June reuuested to file a :brie deta~.li r,g Court to do and what authcrity we have be filed by close of business on June y file a reply brief by close of 12, 2006. bue will entertain argument in chambers cn ~~lednesday, June 14, 2000, at 8:30 a.m. Richard P. Mislitsky, Esquire One ~~iest High Street Carlisle, PA 17013 r..... ,Crrristc~'~°Y Rice, Esgl_i re men East High Street Carlisle, F~ 17013 Mark G~1. Allshouse, Esquire 4833 Spring Road S'r~ermans Dale, Pr 17090 srs a PLAINTIFF'S J EXHIBIT Q G N J J Q IN RE: : IN THE COURT OF' COMMON PLEAS ESTATE OF RUTH V. JUMPER, :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED NO. 21-2001-023 0 ORPHANS COURT DIVISION Certificate of Service I, Juli McGreevy, hereby certify that a copy of the foregoing Petition to Compel to Sale of Real Property has been duly served upon the following, by hand delivering it to the address below: Carl C. Risch, Esquire Martson Deardorff Williams & Otto 10 East High Street Carlisle, PA 17013 Christopher E. Rice Martson Deardorff Williams & Otto 10 East High Street Carlisle, PA 17013 Date: ,~y~~, OU ~ ~.C-r~ivz, ,~ -~~ ~~ L Office of Richard P. Mislits e West High Street, Suite 208 P.O. BOX 129() Carlisle, PA 17013 717 - 241-6363 FEB $7 200 IN RE: ESTATE OF RUTH V. JUMPER, DECEASED IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA N0.21-2001-0230 ORPHANS COURT DIVISION ause ~~D NOW, this ~? day of ~ /007 ' ~~,~~"'.~,~ Sri IKw..Q. l4 ~3O ~ ~' 00 • /wl . u d by f's P of a t. J. ~.., c~ -. ^~ E`.~ ~ .7 ~;_,} ' ~i- -,. `_ J ,... - _. _ ~ , ,' , J L~ ~ _ 1 _ --7 C. . .:_' _-^ Cif ORPHANS' COURT DIVISION COURT OF COMMON PLEAS OF In Re: RUTH V. JUMPER, DECEASED CUMBERLAND COUNTY PENNSYLVANIA NO. 21-01-0230 CERTIFICATE OF SERVICE OF ORDER ORDER DATE: JUDGE'S INITIALS: TIME STAMP DATE: 02/28/07 IN RE: ORDER SERVICE TO: CHRISTOPHER RICE ESQ, RICHARD MISLITSKY, CARL RISCH METHOD OF MAILING: ® USPS ^ RRR ^ HAND DELIVERED ^ OTHER MAILED: 02-28-07 ENVELOPES PROVIDED BY: ® PETITIONER ^ JUDGE ^ CLERK OF ORPHANS COURT SERVICE TO: METHOD OF MAILING: ^ USPS ^ RRR ^ HAND DELIVERED ^ OTHER MAILED: ENVELOPES PROVIDED BY: ^ PETITIONER ^ JUDGE ^ CLERK OF ORPHANS COURT n Depu Clerk of Orphans' Court Law Office of Richard P. Mislitsky One West High Street P.O. Box 1290 Carlisle, Pennsylvania 17013 *Richard P. Mislitsky Telephone (717) 241-6363 Fax (717) 249-7073 March 6, 2047 The Honorable Ed Guido One Courthouse Square, Fourth Floor Carlisle, PA 17013 RE: Estate of Ruth V. Jumper, deceased Dear Judge Guido: You scheduled a hearing for March 16, 2007 at 1:00 PM in the above matter. The hearing is in response to a Petition to Compel Sale of the Property. Offices in: Carlisle Chambersburg York I have had a longstanding commitment to take my youngest daughter to Lynchburg College for a scholarship presentation. I will be leaving Thursday and not returning until Sunday. I am not asking you to reschedule the matter. I am writing to inform you that Daniel J. Menniti, Esquire will stand in at the hearing. I apologize. I ask your forgiveness, but I am confident that Attorney Menniti will handle the matter well. Sincerel , ~~'1 Richard P. Mislitsky ~ ~ ; -, ~_ ~~ - %n ! RPM/dls ; ~ ~ _ _ ._ -, -t, - '~ cc: Carl R. Risch, Esquire ~:~ ca ,=~_~ Daniel J. Menniti, Esquire ? ~' Buz Wolfe `j' Galen Jumper *Certified as a Civil Trial Advocate by the National Board of Trial Advocacy A Pennsylvania Supreme Court Accredited Agency J IN RE: IN THE COURT OF COMMON PLEAS OF ESTATE OF RUTH V. JUMPER, CUMBERLAND COUNTY, PENNSYLVANIA DECEASED N0. 21-2001-0230 ORPHANS' COURT DIVISION ORDER OF COURT AND NOW, this 16th day of March, 2007, after hearing, the executors are granted authority to make a reasonable counter-proposal to Mr. Stoneberger. By Edward E. Guido, J. Daniel J. Menniti, Esquire Carl C. Risch, Esquire Richard P. Mislitsky, Esquire srs • ` ~'~f F~ _, ; i'-~' ~; ~Ij~ Ju .. W _. _ - _.. ~~_;_ __ `_ -~ _ _ :__ rm......~---,--~.,,.......~--~ { t ORPHANS' COURT DIVISION COURT OF COMMON PLEAS OF In Re: ESTATE OF RUTH V. JUMPER CUMBERLAND COUNTY PENNSYLVANIA N0.21-2001-0230 CERTIFICATE OF SERVICE OF ORDER ORDER DATE: 03/20/07 JUDGE'S INITIALS: EEG TIME STAMP DATE: 03/20/07 IN RE: ORDER OF COURT SERVICE TO: DANIEL J MENNITI CARL C RISCH RICHARD P MISLITSKY METHOD OF MAILING: ® LISPS ^ RRR ^ HAND DELIVERED ^ OTHER MAILED: 03/20/07 ENVELOPES PROVIDED BY: ^ PETITIONER ® JUDGE ^ CLERK OF ORPHANS COURT SERVICE TO: METHOD OF MAILING: ^ LISPS ^ RRR ^ HAND DELIVERED ^ OTHER MAILED: ENVELOPES PROVIDED BY: ^ PETITIONER ^ JUDGE ^ CLERK OF ORPHANS COURT Deputy Clerk of Orphans' Court F:\F14ES\ESTATES\ 11570\ I 1570. I resp.2 Created. 4/15105 9~.02AM Revised: 7/U/07 2.O2PM ~ RE; IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA ESTATE OF RUTH V. JUMPER, r_, NO. 2001-0230 t:~ 4 Deceased ORPHANS' COURT DIVISION ~= c, -- , __.. -~ _ RESPONSE TO PETITIONERS' PETITION TO COMPEL ~., =,~; AND NOW, come RESPONDENTS, WILMONT JUMPER, DEBRA JUMP, and JOHN c E. KILLINGER, JR., by and through their attorneys, MARTSON DEARDORFF WILL~MS GILROY & FALLER, and in support thereof, respond as follows: 1. On June 22, 2007, Petitioner filed a Petition to Compel the sale of real property. 2. At that time, a pending offer to purchase the real property existed for $650,000.00 with contingencies. 3. This offer expired on June 30, 2007. The Petition was premature as the offer vas extended to June 30, 2007. 4. On or before June 30, 2007, the Executors met with some of the beneficiaries of the above-referenced estate. 5. At the meeting, some of the beneficiaries and the Executors decided to purchase the real property for $555,000, as is. 6. The listing agent for the property, Mr. Buz Wolfe, prepared an agreement of sale for the purchase of the property in an amount of $555,000.00. 7. The agreement of sale was presented to the interested beneficiaries and Executors, along with an estimate of how much each individual would need in order to purchase the property. 8. A few of the interested beneficiaries and Executors decided that they were not interested, for whatever reason, in purchasing the real property and decided not to sign the agreement of sale. 9. Thereafter, the remaining beneficiaries and Executors could not afford to purchase the real property at the offered price without the initial group of interested beneficiaries a~ld Executors joining in on the purchase and, likewise, decided that they could not execute the agreement of sale in good faith. 10. The Executors are considering other options at this time in order to sale the property for a fair price. 11. Petitioner is not aware of the internal negotiations going on between the interested beneficiaries and the Executors, and continues to pressure the Court for a sale of the property. 12. Petitioner continues to attempt to utilize the Estate's money to pay for his attorney's fees, which he is not entitled to. WHEREFORE, for the foregoing reasons, the Executors request that this Court deny Petitioner's request and permit the Executors to re-examine the current offers. MARTSON LAW OFFICES By; ~... ry.~_ `'~ s ~~. Christopher E. Rice, Esquire I.D. No. 90916 Ten East High Street Carlisle, PA 17013-3093 (717) 243-3341 Attorneys for Plaintiffs Date: 7_/7 _ p'7 07/17/07 TiE 15:58 FAX 7178618268 211 EIS f~j002 .- ,,, , , ~ „ ~.,~„ i.,. u r r i f L'~J1 O~Cr MUWU PQ(jE 04/e4 y .,,... . V1gRIFICAT~ION I, John E. Killinger, Jr., aclaiowledge I have the authority to execute this Verification on behalf, of the Estate of Ruth Jumper and certify the foregoing Response to Petitioners' Petition to Compel is based upon inf onnation which has been gathexed by my counsel in the preparation of the doctimtnt. The language of this document is that of counsel and not my own. I have read. the docuzncnt and to the extent it is based upon information which I have Given to my counsel, it is true a~ad correct to the best of my knowledge, information and betief. To the extent the content of the document is that of counsel, I have relied upon counsel in making this Verification. This statement and Verification are made subject to the penalties of 18 Pa. C.S. ~ 4904 relating to unsworn falsii'ication to authorities, which provides that if 1 knowingly make false averments, I znay be subject to criminal penalties. .1v ~n E. Kit nger, Tr. Dated:l7 ~c~~ ooh CERTIFICATE OF SERVICE I hereby certify that a copy of the foregoing was served on Petitioners this date by depositing same in the Post Office at Carlisle, PA, first class mail, postage prepaid, addressed as follows: Richard P. Mislitsky, Esquire One West High Street P.O. Box 1290 Carlisle, PA 17013 Attorney for Petitioners MARTSON LAW OFFICES Christopher E. Rice Ten East High Street Carlisle, PA 17013 (717) 243-3341 Attorneys for Plaintiffs Dated: ~ - /~ ~ ~ ~ ~; IN THE COURT OF COMMON PLEAS OF :CUMBERLAND COUNTY, PENNSYLVANIA ESTATE OF RUTH V. JUMPER DECEASED NO. CP-2I-ORPHANS' 230 - 2001 ORPHANS' COURT DIVISION ORDER OF COURT AND NOW, this 26~ day of JULY, 2007, a hearing on the "Petition to Compel Sale of Real Property" is scheduled for THURSDAY, SEPTEMBER 13, 2007, at 1:00 p•ril• in Courtroom # 3 before the undersigned. _ - By the C , Edward E. Guido, J. Carl C. Risch, Esquire Ten East High Street Carlisle, Pa. 17013 Richard P. Mislitsky, Esquire One West High Street P.O. Box 1290 Carlisle, Pa. 17013 Mark W. Allshouse, Esquire 4833 Spring Road Shermans Dale, Pa. 17090 sld ;~., ~ ~-, , - ~ Q _ . ~ , ~ c-, r ~ , -, > ~ ~.~ ~ -= ~ ... f-~ ~, -;; _ - ~ , . . ~ ORPHANS' COURT DIVISION COURT OF COMMON PLEAS OF In Re: ESTATE OF RUTH V JUMPER CUMBERLAND COUNTY PENNSYLVANIA N0.21-2001-230 CERTIFICATE OF SERVICE OF ORDER ORDER DATE: 07/27/07 JUDGE'S INITIALS: EEG TIME STAMP DATE: 07/27/07 IN RE: ORDER OF COURT SERVICE TO: CARL RISCH RICHARD MISLITSKY MARK W ALLSHOUSE METHOD OF MAILING: ENVELOPES PROVIDED BY: ® USPS ^ PETITIONER ^ RRR ®JUDGE ^ HAND DELIVERED ^ CLERK OF ORPHANS COURT ^ OTHER MAILED: 07/27/07 SERVICE TO: METHOD OF MAILING: ^ USPS ^ RRR ^ HAND DELIVERED ^ OTHER MAILED: ENVELOPES PROVIDED BY: ^ PETITIONER ^ JUDGE ^ CLERK OF ORPHANS COURT eputy Clerk of Orphans' Court IN RE: IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA ESTATE OF RUTH V. JUMPER : N0. CP-2I-ORPHANS'230-2001 DECEASED - ORPHANS' COURT DIVISION IN RE: MOTION TO COMPEL ORDER OF COURT AND NOW, this 13th day of September, 2007, after hearing, the Executors are directed to list the property for sale at $550,000 on an "as is" basis. The beneficiaries are given 30 days to submit a contract to e property through Mr. Wolfe. By th~/Court, ward ~. Uuiao, ~. Richard P. Mislitsky, Esquire One West High Street P.O. Box 1290 Carlisle, PA 17013 For the Petitioners Christopher Rice, Esquire ~~ ~ ~~ Martson Law Offices ~~ `~ _ c,~ -~_~ 10 East High Street ,_. ~-., '-'~ ~ _ _ y Carlisle, PA 17013 __; ~ rv -- For the Respondents . ~~::-;:~ "" - - ml c -- ~f~ ~ ~ 1 ~~ -~`= - ' __ , . ~_e ~ In Re: ESTATE OF RUTH V. JUMPER ORPHANS' COURT DIVISION COURT OF COMMON PLEAS OF CUMBERLAND COUNTY PENNSYLVANIA NO. 21-2001-0230 CERTIFICATE OF SERVICE OF ORDER ORDER DATE: 09/13/07 JUDGE'S INITIALS: EEG TIME STAMP DATE: 09/21/07 IN RE: ORDER OF COURT SERVICE TO: RICHARD MISLITSKY CHRISTOPHER RICE METHOD OF MAILING: ® USPS ^ RRR ^ HAND DELIVERED ^ OTHER MAILED: 09/21/07 ENVELOPES PROVIDED BY: ^ PETITIONER ® JUDGE ^ CLERK OF ORPHANS COURT SERVICE TO: METHOD OF MAII;zING; ENVELOPES PROVIDED BY: ^ USPS ^ PETITIONER ^ RRR ^ JUDGE ^ HAND DELIVERED ^ CLERK OF ORPHANS COURT ^ OTHER MAILED: Cam/"'" Deputy Clerk of Orphans' Court IN RE: IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED NO. 21-2001-0230 ORPHAN'S COURT DIVISION Petition for Attorneys' F~~~.:1 .:; - - - ~:~,, -_;- - , AND NOW comes Galen Jumper, by and through his attorney"Ri~~hard`P~. MislitslCy, Esquire, and requests this Honorable Court to compel the Executors of-the above estate to pay :, attorneys' and in support thereof avers as follows: " ~" 1. The Petitioner is Galen Jumper. 2. The Respondents are Wilmont Jumper, Debra Jumper, and Sohn E. Killinger, Jr. 3. On or about March 14, 2005, Petitioner was forced to file a Petition to Compel the Filing of an Accounting andlor to Remove Executors ("Petition to Compel"). 4. As a result, Respondents filed a Response to Petitioners' Petition to Compel on April 21, 2005. 5. A hearing was held before the Honorable Edward Guido on May 9, 2005. 6. Among other things, Judge Guido issued an Order dated May 9, 2005 requiring the Estate to pay attorneys' fees fram the estate. The Order is attached as exhibit A. 7. Since then, Petitioners have been forced to file the following: a. Petition to Compel filed on March 16, 2006; b. Petition to Compel Sale of Real Property filed on February 26, 2007; and c. Petition to Compel Sale of Real Property filed on June 22, 2007. 8. By correspondence dated October 19, 2007, Counsel for Respondents, Christopher Rice, Esquire, informed Counsel for Petitioners that the estate would not pay all attorneys' fees. The letter is attached as exhibit B. 9. The law office of Richard P. Mislitsky includes lawyers in addition to Richard P. Mislitsky. A copy of the letterhead is attached as exhibit C. 10. Attorney Menniti represented the Petitioner at two hearings, one on March 16, 2007 and one on September 13, 2007. 11. Mark Allshouse, Esquire prepared the initial Petition and participated in the hearing on May 9, 200. 12. Respondents' Counsel's failure to pay all attorneys' fees is ludicrous and ignores the standard practice of law firms to have multiple counsel work on the same case. 13. Respondents' attempt to reduce attorneys' fees is a blatant attempt to reduce the costs that the Estate forced on the Petitioner. 14. Attached hereto as exhibit D is a printout of hours expended by the attorneys representing the Petitioner. WHEREFORE, Petitioner prays this I-Ionorable Court to enforce the Order of May 9, 2005. , ~ ~ ~, 1 ~ / i 1= ~'~ ~~ ^ ^~ ~ 1,~~ Its ~. j~ ~h Date: ~ ~ ~~ ~., r Richard P. Mislitsky, Esquire Attorney ID #28123 One West High Street, Suite 208 P.O. Box 1290 Carlisle, PA 17013 717-241-6363 Attorney for Petitioner IN RE: IN THE COURT OF COMMON PLEAS OF CUMBERLF.ND COUNTY, PENNSYLVANIA ESTATE OF RUTH V. JUMPER, N0. 21-2001-0230 Deceased ORPHP.NS' COURT DIVISION ORDER OF COURT AND NO~~d, this 9th day of May, 2005, after hearing, the Petition For Removal of the Executors is DENIED. Provided, however, the executors are directed to forthwith proceed :ai~-h tT~e administration of the estate. In that regard, a hearing is scheduled for June 2, 2005, at 3:00 p.m., at which time we will take evidence and determine whether cr not subdivision of the property under the terms of the will is feasible. It is further ordered and directed that the Petitioner's counsel fees be paid from the corpus of the estate. If the parties are unable to agree upon the reasonableness of the fees, we will schedule a hearing to determine the reasonableness of those fees. Mr. Mislitsy, as attorney for the Petitioner, is to be granted information upon request. By thee-Court, `1 Edward E. Guido, ~1~ichard P. Mislitsky, Esquire Mark W. Allshouse, Esquire For the Petitioner Carl C. Risch, Esquire Christopher E. Rice, Esquire For the Respondents srs ~. ~ e~0~ rOt~Y F?7"<~ Ri="JF~D ~- '~' ~ ~~ t-~~~ar~f, !hereunto ,.~.~ ~~:~ ~~td the seal ___ \ I ~_ EXHIBIT A `~ ~~ ~- ": I ; ---~~ ,.;_r.-r ', ` ~ ~ { ~* MARTSON 1.A\~' OFFICES (,~ i~.~.,r I1~~-,i~ ~~i,~ ~_~. Lt r! ,..-,! I ,~ ~ ,r. r.;,u;~~~ni.t~~~,c; ~m Richard P. Mislitsky, Esquire 1 West High Street P.O. Box 1290 Carlisle, PA 17013 RE: Estate of Ruth V. Jumper No. 2001-0230 Our File No. 11570.1 Dear Attorney Mislitsky: October 19, 2007 ~~ ILI.i A'.I f'. ~~ .Rl~~ti~ Ci};~iRGb: B. F~ILLLR~R.~` h ~!i~ B. l~~ ~~~, ~.rit li[ I~:~~~n~ A. F'IT7.51yt0'~S .~ V`.11-!. ~~. ;)..1{:1>~~F'- i t,IiRISTOPHF.R E. RicL J~I+i ~,V.A~ ~. ~t II L( \AI~' JE`J~;IFER j . SPF'ARS 1CU V~. <TITt ~ ](1 SETH T. il1rJSFB6Y ~~t-R~.li'1' ~. C,II R~ i[ TRCDl' F.. 1'F.HI_itiGER ~~~f 1.; It t) ~_I'.k111 ~F[~ ~~I~'II_ CNIAI SPti Ci AS.I S"S I am in receipt of your letter dated October 16, 2007. However, the fees for Attorney Menniti and Attorney Allshouse were not part of the Order and therefore, those fees will not be paid as part of the estate administration. In addition, the Judge ordered that your fees be paid up to the date of the hearing, which was September 13, 2007. Any additional fees will not be included. If you have any questions, please feel free to contact me. Very truly yours, CERlmmp F ~FILGSClicnts BSTATE5.I IS'OIIS'0.1 im 16 _. } ~ MARTSON LAW OFFICES ~-~i~ s ~? Christopher E. Rice EXHIBIT B { \ F i.~ u. Ai .1 'i I C' N A r> ~' I C t~. A I~ ~~ t~ r- a r- ~- ,~ Law Office of Richard P. Mislitsky One West High Street, Suite 20$ P.O. Box 1290 Carlisle, Pennsylvania 170]3 Telephone (717) 241-6363 Fax (717) 249-7073 Richard P. Mislitsky Daniel J. Menniti, Esquires EXHIBIT C ~ Of Counsel -Practices independently as Daniel J. Menniti, Esquire z Of Counsel -Practices independently as Karl M. Ledebohm, Esquire 3 Of Counsel -Practices independently as Christian Lawyers Solutions, LLC Karl M. Ledebohm, Esquire Mark W. Allshouse, Esquire3 f~iC'~i.il'{~ ~. .~.iiS[iiS~il', ~.S~jtt[3`t~ OT;C ~ti~::st 111"h 5i:"~:~i P. O. 8~~~ 1 '~~~~ Car;i?~. P.~~ 1 ~C~ 1 I3at~~~:~ Jumper . `~ C'~~~r.,,.~i Str4~r Carl;sl:;. P a 1 fit) i .f ulv 1 ~. "'C~i~~ attention: Fi1~ =: }umpcr Ins ~: ~,;(~ RE: Jumper Estate D.~TE DESCRII'TIO~ IIOL"RS :\~IOC"~T L:~tt'I'ER Feb-O~-OS Conference with client and George Dou~~las; O.gO 1 X0.00 IZPtI Confez-cnce ~z~ith 13111 Daniels; Telephone call to ti~1ar~ Feb-22-OS Email from and to ~'IcGo~a~an re: Status 0.=10 60.00 RP~1 '~1ar-0~-OS tiIeeting Jumpers and veil; Telephone call t~ 1.00 150.00 RP~1 Mark 1~1ar-0~-OS memo to ~'Iark 0.20 X0.00 RP~I 141ar-0~-OS Re~~ie«~ and Re~~ise memo to ~1ark 0.20 X0.00 RP~I ti~1ar-09-OS ?~ieetin,~ ~~~ith i~~eil; Conference kith titark; I.OU 150.00 RP~I Conf~renee «•ith 1~~1ark; Conference ~~~ith S~1T En~~ineer I~~lar-l l-OS Conference tivith vlark 0.20 3G.00 RP~,1 i~'Iar-14-OS Revie~~~ and Re~~ise p~titi<m C~. ~0 X5.00 RPt1 Apr-07-Ci5 Tel~:phone call to Shu«I1art; Conference ~~~ith 0.60 90.00 P~P~1 ~1ark; Conference `~ ith Jeff re: spilt of realt~~r fees C~~:~ference «-ith earl: Conference ~~~ith Pat rc: 0.-~t) 6~).~~0 P.P\r reait~~r fees E~ffiBIT D far-C'3-+ -~ t:: ~~:~:.~ _ ~~~ ~.~ :.': ~;_~~':: T~! °^~,~ ~r~ ~ :~ `>> i %`:' 1- _ .Gi? R?'~i ~I~l_~~1~. ~r~~~~ r_~,_ t ,:~~ ~ t_ '`.~ ii~l ~,el F V~' Ili.-~ 1~I~~~`Dc;; ~i~c'l, _ `•C iiii I?~1i1~~ ~.(~l ~ ~i~~,ii(: :~I ~1 ~;~r-1 . -U~~ C~~nfcrence ~~~ith ~f;rh. C~~n,~erente ~~~i:;~ ~cil 0.~1! "~.i;O RP~,~i Al~r-13-0, Conference ~~~ith Da«~n Shu«:~rt 0.60 ~%t~.;0 RI'~1 .-attend meetin~~ 2. %0 ~O~.Oi.) Ri'~i Apr-1=I-OS Conference ~~~irh ~Vea~~er; Conference with 0.50 75.0t? IZP~1 Dawr1; C~nfercnce ~~~ith Shu~al-t Apr-13-OS Conference ~~ith client 0.20 >0.00 RP~I Rey iew Order; Conference «~ith ~~Iar=ri 0.70 105.00 RP~1 Apr-I9-Oa Re~~ie~~~ Risch Petition; Outline response; I.20 130.00 RP~~I Research code Apr-20-OS Re~~iew Order; Rule Absolute 0?0 X0.00 RPLI Apr-? 1-OS lti'ork on Ans~~~er; Conference «'ith i<eil 1.00 I X0.00 RPlt Apr-??-0> ~Z'ork-on and dictate draft response, 2.~0 420.00 RP~1 Conference ~~~ith dark Apr-29-OS Re~~iew and Re~~ise Answer; Call to ;veil 0.40 6U.0(~ RP~i Apr-~O-OS Telcpholie call to veil; Preparation for hearing 1.70 255.00 RPtiI ~~av-06-OS Conference ~~~ith ~~eil 0.30 45.00 RP:~1 'May-09-OS Preparation for and attend hearing; Post 2.~0 420.00 RP'~1 conference ~~~ith clients ?~1av-I3-OS Correspondence 1i-om Counsel; 0.30 -h.00 RPy1 Con-espondcnce to Clients Sun-02-0> Fat from Counsel 0.20 ~ OU.OI) RP~I TOC1I~ 24.90 SJ.f'_ ~.O(i DISBtiRSE~IE~TS 1 un-.~ -0~ F~~s to ~far!~s ~~-..~1~~Lot~sc, Esq~:ire Disbursements Receipts T~~~tal Total ?i ees S Disbursements Pre~~ious Bala;lce Pre~~i~~us Pavl7~er;ts 1,66.00 3.1 1,668.1 1 50.00 S5,-103.11 Balance Dice ~a« n o ~ ~ „ ~ .' i C ~~ : , `-'. ~: ~; ;? . -=. (~ u7 0 ~ r- M ~ ~ H) Era ~7 ~ U c9 ~ y~ _ ~_ _ V ` ~, U `-'. . , ~ ~~.' ~,r; ~ tSi - ( ~ Ef-} to ~ ~ pi r- p" ~3 63 6- .. iC? ~' ~ ~ ~ Mfr '`~ Q~. ~ E73 ~ ~ ' 't" . ~ N ~ C? O ` c- O ~ O ~ , tf7 s- N ~ O ' ~C"i M N ~ a o ~~ N J ~ d o p r z~, o ~; :.~ o ~ o ~ W U _ ~ d r U, ° L ~ ~ c ~ 1 -o c C a ~ ~, :!) Q :r ~ p CX- U N ~~ ~ C ~ cn ~ , O c~ N G1 ~ ~ N ~ N G (- ~- C O ~ ~ "' '~ `" _ ay U T ~ ~ -'- J ~ ~~„ ~ ~ 7 d G d ~ Q O .T C3 C ~ U ^J ~ C t7 `rte .J~-- ~~- W ~ ~ ~ u _ CJ Q ~ ~ C 4 ..: ~ ~ C CJ G ~ ~ ~ '7 ~ r;J 4) '' ~ Q "U ~ Z ~ ~ ~ ~ ~n ~ ~ ~ ~ ~ n ~ ~ O S-' U r - ~ U C d co 5 G = o ~ ~ ~ N ~ ~ _ ~ ~ ~ cn o ~ _cn ~ ~ Cj u ~ ~ CJ C' ~ ~ ~ ~ ~ ~ G ~ o ~ r;y ~ C3 .f~ G ~ ~ ~ ~ G ~ ~ CJ a ~- ~ ~ ~ O O ',: ~ CJ p ~ .... ( ~ U ~ U d ~ O a GJ ~ C~ ~ y a~ ~ , U U ~ ~ ~ ~ c~ c.. ~ _. - U ~ ~ O _ c n. CJ _ .J N - J O ~ t7 O ~ G. U U ~ ~„ G O U - CAS O ~. %~ U CJ Ci ~ y0 v7 a O~ O CCS C o ~-~- ~ U U O z cn @ ..~ U N ~ O -~ ~ U ..~ ~; ~ r a ~ ~ o ~ ~ p ~~ ~ ~ ~ ~: ~ o ~ ~ ~ 0:~ ~ `~ ° G~ ~ ~~ a li~ O u7 O u'7 O N ~f 7 N_ - N ~ Q C'~ CJ Ca ~ ~,~ ; N ` N ~ rJ ~ T ~ N ~ T ~ T C~ ~ ,~ -- ~ C- C .~,~ v~ ~ ;~ z z ~, ~ z n; ~- ~1::'}.' it i'1 ~ ~. .~ ~i.S ~IIS:~ 1'. ~St~ 11 ii'ar' O,:e ti~ ~~t H'"(~ Suer 1 . (J B~~-~: 1 ~~~( Carli_i~_ P:~ 11)1 -- ~ , , 1~11t?iiC: (J i -~ ~l -~ '~l_ ~), I ~1`l: ( .' i _-r `)_ i,l^ ; f~~li7~' ~L:IIip e. ,~.ttClltlOil: ~ LIC `: 1Llll;p c'.' Im~ -. 396 RE: Jumper Estate D.~"TE DESCRIYTIOti HOL`RS :~~IOL=~~T L~«~YER tun-?6-OS Correspondence ti~om counsel; 0.30 ~~.00 RP~1 Correspondence to Shearer Jul-1 ~-G~ Telephone call from Risch; fay. from Risch (x.30 =~~.00 RP~1 Jul-'0-0~ Conference with tied 0.20 30.00 RP~I Jul-29-0~ Correspondence to Ruch 0.2G 30.00 RP~1 Oct-1-I-05 Correspondence from Risch: Correspondence 0.30 4.00 RP~1 t0 Clients Dcc-06-0~ Correspondence from Risch 0.20 30.00 RP~1 totals DISBt~RS Jul- ~ l -0~ Au.=-31-C+~ Sep-3U-0~ Oct-3 l -05 Dec-30-OS E~iE1TS ~Iiscellanec~us Costs ~Iiscelianeous Costs ~~Iiscellaneous Costs Miscellaneous Costs ~tiscellanec~us Cosh Totals l.`i) 522~.U0 Dishursement~ Receipts ;? 9? ~~ ~.,~~ 2.61 2.-;-~5 S~'3?'J S~:i.Oci Total F~~s ~ Disbursements Prc~, i~~us Bala^~e Pr~~ io~:~ Pa~~~..tnt~ Balance Due `oti~ ~~-18.20 ~~c ~t~rrd I'..lll.~l~`ts~~~•. ~'~~jtrrl•~~ (.)I~c 1~~~5t h"i~rh Jii'eeC ~. Q. Bi?\~~ ~~JLi -, ~~al"i1' J ut;7pt1" Carlisle, P.-~ 1",x)13 .l.u~ch ?. ~'~~~;('~~~, .:~ttcntion; File ~: jumper Inv =: ~ 1 RE: .Iumper Estate D_~TE DF:SCRiPTIO~~ HOURS .~~IOC~T L:~~l YER Feb-10-Ob Telephone call from Buz ~~-olf; Telephone call 0.=10 f0.00 RP\1 to dark Feb-16-06 ~I~etin~~ with Realtor 1.10 1 G~.00 RP~~I Totals 1.~0 S??~,00 DISBL RSE~IE~TS Disburse ments Receipts Feb-?S-O6 \tiscellaneou~ ~OJiJ 4.3=1 Totals 5=1.3-1 S~.()0 'Total Fees ~C Disbursements S?29.3-I P~~e~~ious Balance Pre~~i~ius Payments Balance Due '~ oar ~:°c°1:~~~-:1 P. lhsht5~~.~•, Esr~1.~~,~r~ l,'P,c' ~~~~;st Hi~~'1 Si.~~CT P. O. t>~_,x~] _~~;~ C:~riislc. P:~ ; ~1~1 F5dI1`. .'U:,.;~t; l.i C l~: _.~~a: ~ ii is l'. ~i~l~, '.C~. ^r,~,,r. ~~ttention: Fl.~=: jump<-r Ir,~ _ : -1~6 RE: Jt;mp~r Estate D_~TC DESCRIPTION' HOCRS ,~~IOL~`vT L.~«~~'Eh I~1ar-~ 1-06 Correspondence tiom ~~`olf; Correspondence 0.3 0 ~~.Ot) Ri'\1 to ~~1ar1: Apr-1-~-fl6 \otice,~iZule front Court 0,~0 30.OC RPti~1 Apr-1 ~-06 Correspondence to tied 0.~0 3U.00 RP_~I Apr-~0-06 Tetcphone call fi~on~ Ba}~lcy; Conf~rcnce ticith 0.30 =1>.GO RP'~I Juli Apr-?3-06 Revie«~ Order; Correspondence to clients 0.30 4.00 RPti1 Totals DISBL'RSEiAiE~TS llisbursements filar-16-06 Filin« Fec to Re<,ister of ~ti'iils of C~t~mberland 1 x.00 County Mar-27-06 Re~ist~;r of ~~'ills - Filing Fee ft~r Petition to ~O.Oi) Compel l~~Tar-31-06 Miscellaneous Costs ~=i•=~ A;~r-30-()b ~Iisceilaneous Costs ~•3I 1.30 S19~.00 Receipts Totals lj6-~.%5 SO.C~O Total Fees ~ Dis'oursements Previous Bnlanct Previous Pavn:~r~t~ Balance Due tiorr ~~;1; l U, ~';,U6 ~2~4.78 t~,~~~L~rr~i h..ihsl'it~~l'. ~st~u~•~~ One ~~ cstr.: ~;, ~t~e~,~ P. 0. Q~~~ I~~it; Caris~e. P.: ! ~C~ i _~ hitC~Cle:(--I-. ~-~i-b>~,; ~.IS:i ~ ) - ~~~-~U,_ I~~lil"`J .Il.u.~ t~ _ ~'arlislc. PA I7G1 <~ttention: File -~: jumper Ir:v ~: ~b4 RL: Jumper Estate D~~TE DESCRIPTIOV FIOL'RS ~~JIOC'~T L:~~~~~'ER Apr-l~-O6 Con-espondence from t~;blf 0?O 30.00 RP~1 ~Iav-0~-O6 Correspondence from ~~~olte; dictation 0. ~0 4.00 RP~I ~~Iav-08-06 Telephone call to `~~-olte O.ClO 0.00 RPi~1 ~~Iati~-09-06 y Conference ~~"ith F~uz ~~~ olfe; n1er~~o to iiie 0.40 60.00 RPti~I i~1ay-14-06 Recie~~ file ~~or hearin~Y; outline questions 1.~0 210.00 RP\1 ~1a;~~-IS-06 ~~Ieetin~ and Preparation of client; Attend 4.40 660.00 RI'~1 .,, hear7n~; Post hearing con«tcr~ce ~Ia~"-29-G6 Order and dictation 0.30 4.00 RP~~I Mav~ 30-O6 Research 2.00 300.00 RP\~t Jun-01-06 Conference «~ith Dan; Conference ~.~ith ~~1ark 0.40 60.00 RP~i Print and reti"ieti~~ research; draft i~zemo O.SO 120.00 RP~f Jun-C!2-06 "Telephone cell from Dail 0'i~ 30.0~~ RP~~1 Finish and Re~~ie~;- and Re~~ise brief: 3.'_0 ~-'S0.C~0 RP~.I Conference kith Court Corre~pondenee to counsel 7 JL1I~:-I. ~t~-~~ifl 1 ~~- i ~~~1t i~~::~~~~; Ti l1 C'-p l;L il)t1; l~i`~L.1 11~ ~~._ ~~~ ~~.{~ .,, ./ Ri~~~ ~-Ob J~:n-~ ~ ~ ~ h ~ , ~~~ ~~.'S,, R::~~IC~~ ~ E~,,rsln r~~t~- .~. ~ . n ~~~.~~ -I~.~'-U R~ Af ;; Jun-, ?-tu r: ~ u-:epo~~dc;°~.ce t~~ cli~n~; Co~_Ir; Or,~c~ ~ Q.?0 ~~.t;~~', RP~i .Tll~-(~;-'~6 Coi'retipondea~.e }i'a111 R;~;c''1 ro Co!:~._ ~~.~~.~ '~l (~7Ii 1~~~ ~ ~. - ,: + ~~ - ~ ~SILIUt~.C1~I1 ~~~~1~ill `>11:~. Jul-1 ~-06 Correspondence to Tiny Doer: ~?(~ X0.00 RP~1 Dec-~3-U6 Correspondence to Risch and ~~~oif; ~:,emo to 0.30 ~~.CG RPti1 .~ Ll i I San-09-t)7 Correspondence from Risch; Correspondence 0.30 ~~.CO RP~I t0 E3U7 Jan-~~-~ 1 ~OT7eSI?OI1dl:11CC t0 IZ1SCh~~BUZ ~. ~~ ~J.OO RP~ti1 Jan-26-07 Fax from Bu~~ 0.20 30.Oi~ RP~1 Fcb-0'-07 Dlaft Petition 1 .~0 22.00 RP;~I ti~1ar-OZ-O~ Order from Court; Telephone call to Dan; 0.30 4.00 RP~1 dictation T~1ar-03-07 Re`<~iew does fi-on~ Realtor, offer, etc. O.dO 60.01) RP~I ~1ar-Ob-07 Conference ~~~ith Sandy; Conference ~~~ith 0.90 L3~.00 RPtiI '~~Iark; Confercnc:, «ith Dan; Conference ~~~~ith Realtor; Conference ~z~ith Sanely; Correspondence to 1ud~ae Mar-?~-0, Order and dictation; Telephone call to Dan 0.30 4.00 RP~I ~~1ar-?5-07 ~~Iemo tiom Dan 0?0 >0.00 Ri ti1 ~I~ar-?9-07 ;Memo from Dan; dicta ion 0.30 4.00 RF~1 Apr-OS-O? Con-espondence ii-o;n Buz to Risch; Re~~ic~~~ 0.=I0 60.U~.~! R?yI proposal; Telephone c:a to I)an; Memo to Daa Api--1~-~)~ ~'C'rretillC!ndtri~C f;om ~~`~.~!1 ~; ~~O'.-I-~~pOndeil~e ~.3~ ~`.C~J RI'yI to Risch I~ta~~-_ I-C'~~ Telephone cal3 from Z~'olf: Ir.cmo :;~ Dan 0.-~0 60.Ci0 RP~1 J'.i'.1-~!~%-+1 ~'l~i'._~,p1~)i.lil;:ila''.?;:i't.~~'~`!4L' ~ll,t,It:(?.. ~/.,~1 ~1I~i - 1~i ~~I 1 ' Ju!-(!_-i)~ C~~r°esp~:~;u'.c:~re fr~~};i l~ c,'~,: t~, Tice ;.?i) : ~.i'~% R?~1 Jul-~-E-C~% C~~nf~.~cn~~ ~~~itl; D~Ir,~: r~ir:~cshc~n.Icn~e I~-;m ~)_-;n c,~'.!~{? iZi'~.( huzz: i~u!c f~:Iul~:u~'t?ie Jul-1~-0; Re~~ie~~ An,~G~er: nlc:-:~~_~ to Dan O.;Q -;~.Cl) Pp~,I .1,.11-?~-07 Conference ~4~ith Dan 0?0 30.0O RP~I Auk-~~-0 i Re~~ie~~~ Answer; dictation; Chder of Court; 0.-?0 00.00 RP~1 ~~Iemu to Dan Auk-?~-07 Correspondence to ~ti"olt; Memo to Dan 0.30 =I~.00 RP~1 Sep-~~-U~ ':~Ic'Ctlil~ '~~'1C11 ~~'olte; COIlI:a'eP.Ce ~Flth Dail ~. i 0 IOJ.OO RI'~~I Sep-1 ~-07 Re~~iew file; attend herin~~: n,eetin~.: ~~~ah ~?0 330.00 RPti[ ~Vo1fe Sep-?0-07 Conference ~~~ith Deb; Col7eshondence from 0.=10 60.00 RP~1 Rice; Re~~iew Brief; Correspondence to Rice Sep-?Z-07 Correspondence f!-om Rice; dictation; 0.3C? ~~.GC Rpyl Col7~esponde.nce to Rice Sep-?4-07 Conference ~~-ith Deb re: Redsister of ~~"ills 0?0 30.00 RP~1 Totals ?7.00 S-~, 0~0.00 DISBCi2SE1IE~~TS Disbursements Receipts V9ay-31-06 Lliscel?aneous Costs (.;_} tun-01-O6 DJ~1 -Obtain cases for Brief (I? hrs} 1 X0.00 Jun-30-06 Miscellaneous Costs 3?, i~ Jul-~ I-Ob ~ilsce11al1eoUS C05tS i.=}? Dec-?9-06 'Miscellaneous Costs ?.~~; Jan-3 I -07 ~Iisre?igneous Coats ?.3 i Feb-01-0? hilin~ I=ce to he<ris:;r of «"ills for Petitio~z to 1.00 Compel Sale Feb-,~-0~ ~Iiscellaneou5 Cost; ~3 ;? ~1ar- 31-(?- ~liscellaneous Costs ??.OC7 .-Apr-30-(~i 'tiis.:ellaneous Costs ~.l-1 i Iac-31-0~ \Ii`~?Ian~ousCost~ ?.l~ ,. - , 15.00 Jun-L-i)~ ; cc ~i~ t~C:~:~~ ~'i ~w~;li5 L~~ i=t!c ~i. 1i0I1 to Jun-~0-0~ ~,iisc~ilar.eo~~, Cast; i~.73 Jul-31-07 ~,I:~ccll.in~rus C~~sts 0.75 Sep-30-0? i=~:s ,~~ D,::-.~', .l. ~(cti~riti. E~c<<;ir~ (S~c 3,41'.50 ~=~~s t~~ ~I~~:rh ~l". _A!1;1~oLSe. Esquire (See 780.00 attac,ZCd) ~i~:~ra!a 84,619.1? SO.OU Tota( rocs ~ Uisburscl~lents X8,669.12 Previous Balance Prey ions Pavrnents Balance Due \ow $6,140.4 X0.00 ~1-~,g09.~J' c C C v ~ " O _ :~ v O C Q T C p r~ ~ . -- E.~> 6"3 ~ ~n G ~ C ~ N ~fl C e-^ ~ r d r U> .n O X tr1 61 ~"~ '~ ~_ LN>-1 y CJ y N ~ lS.! _~ V L N ti A ..- ~ ~ ~ ~ ~ ~ N ~ ~ ~ C ~ O_ N ~.- N !d tG `J `~ ~ ~ N O ~ O N M X C3 '~ ~Ul J " U r C , , ~ ~ N ~ ca ~ = a ~ ~ w -~ ~ U V ~~ ~ G L 6J C C r ~ ~j O N ~ N ~ ~ C7 N ~ ~ ~ N ((~' 1... C.~ r __ rh T ~ J y/ ~~ n, W Q NW ~ O ~1 C/ O L7 ~ d _ ~-' - c` r' ~+, .- :: m :J J 7" ~ ~ ~ ~ ~ ~ ~ ~ ~ CIO O O C O 0 0 _^ O C> C C O C :7 C G C 'J C ~ ~ ; O t!7 O' O O O C C '~ em u: '~ ~; t~ ~ C ~: L~ O CJ O :V ~ .- EJ ~- V ^ 63 cr3 E,f3 Ef3 b? ~ (*3 CA Ef3 M, '~ Q~ Er3 Ef}v4 Era EfT tR Ff3 Ef3 Ei-3 ~,.~ to Ni ~~ 7 CJ N O N O tT ~, .-- N ('') ~ c"') N ~-- lf7 p ~ OI ~-- O ~-- d' ~- c 7 ~f O O O O O N O O O N N _ N J Q H H "~ a; c i~ °~ N Z W -i ~ ~ v v, O ~ ~ •,- E ~ a~ ~ c ~ U c ~ O L _ n cC ~ ~ G) E ;~ cJ ~ CJ C QJ ~_ ~ ~ ~ S6 (n CJ "_ 'Ci ~ ~ O O C ~ ~ C ~ L ~ cn 4-- ~ ~ _ - N ~ ~ ~ ~ O ~ ~ C~ _ O LL. U `- ~' ~~ N N O d N N N U ~ ~ G _ O ~ aj CJ ~ ~ O C] ~~ W 4- N E ~_ .5 G7 ~ ~ N 3 O ~ O _.. ~ U ~ ~ ~ O '~ ~ O ~ -' cn p ~ ~ ~ m > O ~ (Y O ~ C7 ~ [~ ~ " C C~ C U U O p G ~ , C _ U ~ O G C ~ 2 ~ ~ (;3 ~' ~ ,f0, CL' .C ~ ~ N (ll ~ . Q; O O U O ~ ~ Sc ~ ~ ~ ti `'3 ~ ~ C ~ ~ ~ CJ -1- O C C O~ a V O (Y CL' CAS O~ C O w C O O ~ ~ ~ y ~ • . C O O L ~ ~ ~ G ~ j j C ` ~ - ~ U ~ ~ 7Q) ~ ~ c - ~ (r ~ .~ ~ ~ ~j ~ Q °- ~- ~ - - ~ = ~ ~ ~ Q ~ 4J c ~ > > N ail o ~ a~ a~ D I CJ U ~ ~ > ~ ~ ~ ~ ~ ~ ~ ~ ~ C.. ~ U U ~ ~ ~ cn cn ;u ~ ~ C! ~ ~ o U ~ ~ ti r- o O G ~ ~ ~ ~ ~ ~ O N !~ f~ 0 0 0 0 0 0 r- ti~ ~~ N~ O O O O G O O 0 0 ,- ti~~ ~^,~ ~-- O O N N N N N N.~ O O O C C O` O C N N N M~ ~7 O g N N N N p N N C~ ~' ~ O ~- c- r- r -- N ~% f ~ ti f~- '-- ~ ~= L r r r ,- _r ~ r- r- N CJ N C7 CJ C) ~ ~ L ~. ~ _ IN RE: IN THE COURT OF COMMON PLEAS ESTATE OF RUTH V. JUMPER :CUMBERLAND COUNTY, PENNSYLVANIA DECEASED N0. 21-2001-0230 ORPHAN'S COURT DIVISION Certificate of Service I, 3uli McGreevy, hereby certify that a copy of the foregoing Petition for Attorneys' Fees has been duly served upon the following via U.S. Mail to the address below: Christopher E. Rice, Esquire Martson Law Oftices 10 East High Street Carlisle, PA 17013 ~? ~ Date: (~~ vi~~C o~ ~~D~ Fo : ichard P. Mislrtsky, Esquire At ney ID #28123 One West High Street, Suite 208 P.O. Box 1290 Carlisle, PA 17013 717-241-6363 Attorney for Petitioner v-~ FEB 0 s Zoos IN RE: ESTATE OF RUTH V. JUMPER DECEASED IN THE COURT OF COMMON PLEAS CUMBERLAND COUNTY, PENNSYLVANIA N0.21-2001-0230 ORPHAN'S COURT DIVISION Order AND NOW this ~ day of !_ 08, upon consideration of the Petition for Attorneys' Fees filed by the Petitioner, it is hereby ORDERED and DECREED that a hearing ~n ? , shall be held on / ' ` ~J a0y~ in rtroom at l~ yd A'M • Edward E. Guido, J. ~~ c- c~ _ ~=:-, -= -~ ~ ,_, ..._ ;~;-- _ -~, ..r, ~ 1 __. -, .. c~ L.-. Pa. O.C. RULE 6.12 STATUS REPORT REGISTER OF WILLS OF CUMBERLAND COUNTY, PENNSYLVANIA Name of Decedent: RUTH V. JUMPER Date of Death: 02/19/2001 File No.: 2001-00230 Pursuant to Pa. O.C. Rule 6.12, I report the following withrespect to completion of the administration of the above-captioned estate: 1. State whether administration of the estate is complete: "- Yes ®No 2. If the answer is No, state when the personal representative reasonably believes that the administration will be complete: Approximately six to nine months 3. If the answer to No. 1 is YES, state the following: a. Did the personal representative file a final account with the Court? Yes f i No b. The separate Orphans' Court No. (if any) for the personal representative's account is: c. Did the personal representative state an account informally to the parties in interest? I_I Yes ~~~ No d. Copies of receipts, releases, joinders and approvals of formal or informal accounts may be filed with the Clerk of the Orphans' Court and may be attached to this report. D ne~ February 7 2008 ~.sF~- S ,. i i` ',;-, „ _ ~u~J Signature of Person Filing this Form Capacity:-'~~ Personal Representative ®Counsel Christopher E. Rice ,Esquire Name of Person Filing this Form Martson Deardorff Williams Otto Gilroy & Faller Address 10 East High Street Carlisle, PA 17013 (717) 243-3341 Telephone F:AF(LES~Clients\ 1 1570 ]umperA 1 1570. I .SREP ,~ ~ Cumberland County - Register Of Wills One Courthouse Square ', Carlisle, PA 17013 Phone:(717} 240-6345 Date: 2'i/04/2008 RISCN CARL C ESQUIRE 10 EASTi,HIGH STREET - _ CARLISLE, PA 17013 ~~ ., RE: Esta~lte of JUMPER RUTH V - FileNumber: 2001-00230 Dear SirVMadam: This not'~ice is to serve as a reminder that the Status Report by Personal~Representative under Rule 6.12 is due on the below listed date. As per t~e AMENDMENTS TO SUPREME COURT ORPHANS' COURT RULES, N0. 103 SUPREME OURT RULES DOCKET NO. 1, for decedents dying on or after July 1, 992, the personal representative or his counsel, within two (2) year of the decedent's death, shall file with the Register of Wills a ~tatUS Report of completed or uncompleted administration. This filing is due by: 2/19/2008 Please feel free to contact this office with any questions you may have. I~f you have already filed your Status Report, please disregard this notice. Sincerely, ,~,P~p~r - e S~iC f/a/~t ~ t . Glenda F; Clerk of ~,. ~ s ~ . ..Y~ , ~~t , ', rwa • ~r ~rner Strasbaugh the Orphans' Court cc: Fill Personal Representative(s) Cumberland County - Register Of Wills One Courthouse Square ', Carlisle, PA 17013 ', Phone:(717) 240-6345 Date: 2I,/04/2008 DEBRA JUMPER 1120 ROC~KLEDGE DRIVE CARLISLb, PA 17013 RE: Estajte of JUMPER RUTH V File' Number: 2001-00230 Dear Sir!/Madam: This notlice is to serve as a reminder that the Status Report by Personall, Representative under Rule 6.12 is due on the below listed date. As per t~ihe AMENDMENTS TO SUPREME COURT ORPHANS' COURT RULES, N0. 103 SUPREME ',COURT RULES DOCKET N0. 1, for decedents dying on or after July 1,1,1992, the personal representative or his counsel, within two (2) ye ws of the decedent's death, shall file with the Register of Wills ajStatus Report of completed or uncompleted administration. This fil'~,ing is due by: 2/19/2008 Please f~,leel free to contact this office with any questions you may have. IIf you have already filed your Status Report, please disregard this nofice. Sincerely, ~~ r , 7 ~ ~ ~.,.ar ~ /,~ . x,~( ~ Glenda Farner Strasbaugh Clerk of the Orphans' Court cc : Fi7~e Co~{nsel Cumberland County - Register Of Wills One Courthouse Square Carlisle, PA 17013 Phone:(717) 240-6345 Date: 2/04/2008 WILMONT'JUMPER 1136 ROaKLEDGE DRIVE CARLISL~, PA 17013 RE: Esta'~te of JUMPER RUTH V Filet Number: 2001-00230 Dear Sirl/Madam: This not',ice is to serve as a reminder that the Status Report by Personal~~~ Representative under Rule 6.12 is due on the below listed date. As per t'ihe AMENDMENTS TO SUPREME COURT ORPHANS' COURT RULES, NO. 103 SUPREME COURT RULES DOCKET NO. 1, for decedents dying on or after July 1, ',1992, the personal representative or his counsel, within two (2) yeans of the decedent's death, shall file with the Register of Wills a ,Status Report of completed or uncompleted administration. This filling is due by: 2/19/2008 Please fleet free to contact this office with any questions you may have. If you have already filed your Status Report, please disregard this notlice. ', Sincerely, ', Glenda Farner Strasbaugh ', Clerk of the Orphans' Court cc : Fil'le Coulnsel Cumberland County - Register Of Wills One Courthouse Square Carlisle, PA 17013 Phone:(717) 240-6345 Date: 21,/04/2008 JOHN E I{ILLINGER JR ~ ' 41 YORWI~ICK RD CARLISLEI, PA 17013 RE: Estate of JUMPER RUTH V File''Number: 2001-00230 Dear Sir',/Madam: This not~',ice is to serve as a reminder that the Status Report by PersonallRepresentative under Rule 6.12 is due on the below listed date. As per t~e AMENDMENTS TO SUPREME COURT ORPHANS' COURT RULES, NO. 103 SUPREME ~OURT RULES DOCKET NO. 1, for decedents dying on or after July 1, 992, the personal representative or his counsel, within two (2) year of the decedent's death, shall file with the Register of Wills a IStatus Report of completed or uncompleted administration. This fil~ng is due by: 2/19/2008 Please feel free to contact this office with any questions you may have. I~ you have already filed your Status Report, please disregard this not''ice. Sin-Merely, ~w ~ y ,,Y ~~ 'r ~ ,-` Glenda Farner Strasbaugh Clerk of the Orphans' Court cc: Fil Cou~isel Pa. O.C. Rule 6.12 STATUS REPORT REGISTER OF WILLS OF Name of Decedent: Date of Death: COUNTY, PENNSYLVANIA File Number: 2~~~ ~ _ - ~ ~ ~ 3 Pursuant to Pa. O.C. Rule 6.12, I report the following with respect to completion of the administration of the above-captioned estate: 1. State whether administration of the estate is complete :.................... ~ Yes o 2. If the answer is No, state when the personal representative reasonably believes that the administration will be complete: ~1~~c~, 2~~~ 3. If the answer to No. 1 is YES, state the following: a. Did the personal representative file a final account with the Court? ....... Yes ~No b. The separate Orphans' Court No. (if any) for the personal representative's account is: V~ c. Did the personal representative state an acc~ unt informally to the parties in interest? ............................... QYes ~No d. Copies of receipts, releases, joinders and approvals of formal or informal accounts may be filed with the Clerk of the Orphans' Court and may be attached to this report. Date ~ ~~ 1~~~ ~ ~ ~~~"~ Z~ ` ~ 1 Si nature of Person Filing thi F m Capacity QPersonal Representative Q Counsel Name of Person Filing this Form ~ ~yP~ ~ c lc ~~-~ Address ~ ~4~~~,Si~ ~~ ~~~Z~- Telephone COMMONWEALTH OF PENNSYLVANIA DEPARTMENT OF REVENUE BUREAU OF INDIVIDUAL TAXES DEPT. 280601 HARRISBURG, PA 1 7 1 28-0601 RECEIVED FROM: RISCH CARL C ESQUIRE 10 EAST HIGH STREET CARLISLE, PA 17013 -------- fold ESTATE INFORMATION: ssN: i77-3o-s~os FILE NUMBER: 2101-0230 DECEDENT NAME: JUMPER RUTH V DATE OF PAYMENT: 03/13/2008 POSTMARK DATE: 03/13/2008 couNTY: CUMBERLAND DATE OF DEATH: 02/19/2001 ACN ASSESSMENT CONTROL NUMBER AMOUNT 101 ~ 517, 699.13 TOTAL AMOUNT PAID: REMARKS: RECEIPT TO ATTORNEY CHECK#14338 SEAL PENNSYLVANIA INHERITANCE AND ESTATE TAX OFFICIAL RECEIPT INITIALS: AJW RECEIVED BY: 517,699.13 GLENDA EARNER STRASBAUGH REGISTER OF WILLS REV-1162 EXI11-96) NO. CD 009405 REGISTER OF WILLS 0 0 a a W ~~ ~ W Ci = 3 F 0 ~? x~o '~ Z h6- N 1- ~~ W p W W ~ ~ O N d~ M W N C O = `zQ' a F Z34 =Z ~~a W JZ O a N ~-- z 3a IvizF Z a f,- W t~ ~Q ZIAW ~ MQ 4 d V 0. O d 4 N W x Q F- 'J 2 ~ p t~il o M w ~ ~ ro M v .N+ Zx ~ ~~oa puo(~ 2 cOK ~la-Nm {R{~JJ rr X to ~i W m d' m.ZiCS 0 h~ s Z ~ W O F ~ ~ ~ r o h a o ~ \ ~' O O y ~~ 1.[1 r-1 O A M Q ~ O O N Q O~ A N N O J '~ Z I ~ I I ~C ~ a .-1 W O~ r~ W .. +wt o a ~ o C4 1 E I ~ ri F„ ~ ..1 OD O N r-1 O O q vi ~ o'~ONi.1r-Ip y ~ a !- Q ~ ~ d ~i .~ O A ~ Q ~ ~ W W O Z~ C C U W d W W Z 3 W p W A LL~. U Q 'Q E M O n H a a. v W s J F- V Q t/1 N F- 1-i W s OG C7 W Z M J U O s N J !- W J Q Q O Q C3Z~U W N O F- M ~~ ~~o J O 1~ J U ri M 3c°.~a W a O k] Z + ~ Q W W J .J V1 W H ~ V U 1 N Q oc O V W CG a } CG O W Z 0 M H OC O a oe W 3 O J ~. M Q H, W dL I 1' 1 W~ ZI NI JI i yl NI sl FI ~1 ZI OI JI QI F-1 ~1 VI IN RE: IN THE COURT OF COMMON PLEAS OF ESTATE OF RUTH V. JUMPER,: CUMBERLAND COUNTY, PENNSYLVANIA DECEASED . ORPHANS COURT DIVISION N0. 21-2001-0230 ORDER OF COURT AND NOW, this 13th day of March, 2008, the attachments having been stipulated to, and having heard argument thereon, Petitioners are awarded attorney fees from the estate in the amount of $11,000.00. By the Court, Edward E. Guido, J. Richard P. Mislitsky, Esquire For the Petitioner Christopher E. Rice, Esquire For the Respondents srs _ !I~. ~,i i ~. ~ i - - ,,, ~~ I i's~ 'i i U~y~~ tii!,a \N (I ORPHANS' COURT DIVISION COURT OF COMMON PLEAS OF In Re: EST OF RUTH V JUMPER, DECEASED CUMBERLAND COUNTY PENNSYLVANIA NO.21-2001-0230 CERTIFICATE OF SERVICE OF ORDER ORDER DATE: 03/13/08 JUDGE'S INITIALS: EEG TIME STAMP DATE: IN RE: ORDER OF COURT SERVICE TO: RICHARD MISLITSKY CHRISTOPHER RICE METHOD OF MAILING: ~ USPS ^ RRR [] HAND DELIVERED [] OTHER MAILED: 03I14I08 ENVELOPES PROVIDED BY: ^ PETITIONER ^ JUDGE ® CLERK OF ORPHANS COURT SERVICE TO: METHOD OF MAILING: ^ UsPs CI RRR ^ HAND DELIVERED ~! OTHER MAILED: ENVELOPES PROVIDED BY: ^ PETITIONER ^ JUDGE ^ CLERK OF ORPHANS COURT r ~'! ~ ,, r ~f. ~`trcYuty fr Clerk of Orphans' Court F:\FILES\CGents\I 1570 Jumper\I 1570.1.Petition for Adjudication.) DECEDENT'S ESTATE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA ORPHANS' COURT DNISION ESTATE OF RUTH V. JUMPER, DECEASED No. 21-01-0230 PETITION FOR ADJUDICATION / STATEMENT OF PROPOSED DISTRIBUTION PURSUANT TO Pa. O.C. Rule 6.9 This form may be used in all cases involving the Audit ofthe Account ofa Decedent's Estate. Ifspace is insufficient, riders may be attached. Attach the spouse's election, ifany; the papers required under items 8-19 inclusive; and any instrument pertinent to the adjudication. INCL UDE ATTACHMENTS AT THE BACK OF THIS FORM. Name of Counsel Supreme Court I.D. No Name of Law Firm: Address: N Telephone: ; c::_ t.~ ~ . - ~;;.~ Fax:~__ _ ~,-; i I =: i ~- ~ L, ~_ (_'i.. C'? 4~J Christopher E. Rice, Esquire 90916 MARTSON LAW OFFICES 10 East High Street, Carlisle, PA 17013 (717) 243-3341 (717) 243-1850 Fwm OC-01 rev. /0. 13.06 Page 1 of 11 Estate of Ruth V. Jumper, Deceased 1. Name(s) and address(es) of Petitioner(s): Name. Wilmont Jumper Debra Jumper John E. Killinger, Jr. Address: 1136 Rockledge Dr 945 E High St 41 Yorwick Road Carlisle, PA 17015 Carlisle, PA 17013 Carlisle, PA 17013 Identify any executors or administrators who have not joined in the Petition for Adjudication and Statement of Proposed Distribution and state reason: None Is this the first accounting by this fiduciary? .................................... ®Yes ^ No If not, identify prior accountings, the accounting periods covered, and the date of adjudication of the prior accounting. 2. Decedent died on February 19, 2001. ® Letters Testamentary or ^ Letters of Administration were granted to Petitioner(s) on February 27, 2001. Date of Will (if applicable): July 9, 1998 Date(s) of Codicil(s) (f applicable): Date of probate (if different from date Letters granted): Was a bond required? ^Yes ®No If yes, state amount: Are proofs of advertising of the grant of Letters attached? ..................... ®Yes a No [See Exhibit "A"] Dates of advertising ofthe grant ofLetters: Cumberland Law Journal: May 20, 27, June 3, 2005; The Sentinel: May 12, 19, 26, 2005 Form OC-Ol rev. /0. 13.06 Page 2 of 11 Estate of Ruth V. Jumper, Deceased 3. Was decedent survived by a spouse? ...................................... ^Yes ®No If yes, name of the surviving spouse: 4. Has the surviving spouse filed to take an elective share? ....................... ^Yes ^ No (See Seetion 2201 et sue. of the Probate, Estates and Fiduciaries Code) If yes, date of election: 5. In the case of an intestacy, state the names of the decedent's surviving children or surviving issue of deceased children (if none, so state): 6. Did decedent marry after execution of Will or Codicil(s)? ..................... ^Yes ®No Were any children born to decedent after execution of Will or Codicil(s)? ......... ^Yes ®No If yes, give names and dates of birth: Name: Date of Birth: 7. If required by the Medical Assistance Estate, Recovery Act, 62 P. S. § 1412, was a request for a statement of claim sent to the Department of Public Welfare? ........................................ ®Yes ^ No Form OC-01 rev. /0. 13.06 Page 3 of 11 Estate of Ruth V. Jumper, Deceased 8. Written notice of the Audit as required by Pa. O.C. Rules 6.3, 6.7 and 6.8 has been or will be given to all parties in interest listed in item 9 below, all unpaid creditors and all claimants listed in item 10 below. In addition, notice of any questions requiring Adjudication as discussed in item 14 below has been or will be given to all persons affected thereby. A. If Notice has been given, attach a copy of the Notice as well as a list of the names and addresses of the parties receiving such Notice. [Copy of Notice attached as Exhibit "B"] B. If Notice is yet to be given, a copy of the Notice as well as a list of the names and addresses of the parties receiving such Notice shall be submitted at the Audit together with a statement executed by a Petitioner or counsel certifying that such notice has been given. C. If any person entitled to Notice is not sui juris (e.g., minors or incapacitated persons), Notice of the Audit has been or will be given to the appropriate representative on such party's behalf as required by Pa. O.C. Rule 5.2. None known D. If any charitable interest is involved, Notice of the Audit has been or will also be given to the Attorney General as required under Pa. O.C. Rule 5.5. In addition, the Attorney General's clearance certificate (or proof of service of Notice and a copy of such Notice) must be submitted herewith. or at the Audit. None known. List all parties (charitable and non-charitable) of whom Petitioner(s) has/have notice or knowledge, having or claiming any interest in the estate as beneficiaries under the Will or Codicil(s) or as intestate heirs if there is a complete or partial intestacy: A. State each party's relationship to the decedent and the nature of each party's interest(s): Name and Address of Each Partv in Interest Relationship and Comments. ifanv Interest Debra Jumper Daughter One-eleventh 945 East High Street Carlisle, PA 17013 Twila Stacher Daughter One-eleventh 215 Hoffman Street Jackson, CA 95642 Wilmot Jumper Son One-eleventh 1136 Rockledge Drive Carlisle, PA 17015 Fwm OC-01 rev. /0. 13.06 Page 4 of 11 Estate of Ruth V. Jumper, Deceased Miley Jumper, Jr. Son One-eleventh 37 G Street Carlisle, PA 17013 Bonnie McKee Daughter One-eleventh 8 Kissme Road Newville, PA 17241 Gary Jumper Son One-eleventh 8 North High Street Newville, PA 17241 Duane Jumper Son One-eleventh 342 S. Washington St. Mechanicsburg, PA 17055 Galen Lee Jumper Son One-eleventh 230 Mulberry Avenue Carlisle, PA 17013 Estate of Barry Jumper Son One-eleventh c/o George F. Douglas III 26 West High Street Carlisle, PA 17013 Luther Dean Jumper Son One-eleventh 1120 Rockledge Drive Carlisle, PA 17015 Charlotte Killinger Daughter One-eleventh 945 Trindle Road Carlisle, PA 17015 B. Identify each party who is not sui juris (e.g., minors or incapacitated persons). For each such party, give date of birth, the name of each Guardian and how each Guardian was appointed. If no Guardian has been appointed, identify the next of kin of such party, giving the name, address and relationship of each. None known. C. State why a Petition for Guardian/Trustee Act Litem has or has not been filed for this Audit (see Pa. O. C. Rule 12.4). Not applicable. D. If distribution is to be made to the personal representative of a deceased party, state date of death, date and place of grant of Letters and type of Letters granted. Barry Jumper: Date of death: May 11, 2006 Letters Testamentary granted June 29, 2006 in Cumberland County, PA Form OC-01 rev. /0. 13.06 Page 5 of 11 Estate of Ruth V. Jumper, Deceased 10. Other than the claim for the family exemption, list the names of all known claimants and the amount of their claims and state whether each claim is admitted. Name and Address of Each Claimant Amount of Claim Claim Admitted? Will Claim Be Paid in Fuil? Mislitsky and associates ®Yes ®Yes P.O. Box 1290 ^ No ^ No Carlisle, PA 17013 $11,000.00 Brehm-Lebo Engineering, Inc. ®Yes ®Yes 17 State Avenue ^ No ^ No Carlisle, PA 17013 $1,446.70 Diversified Appraisal Services $450.00 ®Yes ®Yes 35 East High Street, Suite 101 ^ No ^ No Carlisle, PA 17013 Martson Law Offices $38,544.67 ®Yes ®Yes 10 East High Street ^ No ^ No Carlisle, PA 17013 Continued on attachment If the estate is insolvent, attach a schedule setting forth the order of preference under 20 Pa.C.S. § 3392 and the proposed payments. 11. Was family exemption claimed? .......................................... ^Yes ®No Was family exemption allowed? .......................................... ^Yes ®No Family exemption claimant's name and relationship: Name: Relationship: Form OC-01 rev. /0. 13.06 Page 6 of 11 Estate of Ruth V. Jumper, Deceased 10. Continued Wilmot Jumper $40,981.95 ®Yes ®Yes 1136 Rockledge Drive ^ No ^ No Carlisle, PA 17015 Gary Jumper $3,637.67 ®Yes ®Yes 8 North High Street ^ No ^ No Newville, PA 17241 Gary Jumper, Jr. $1,600.00 ®Yes ®Yes c/o Gary Jumper ^ No ^ No 8 North High Street Newville, PA 17241 Luther Dean Jumper $1,600.00 ®Yes ®Yes 1120 Rockledge Drive ^ No ^ No Carlisle, PA 17015 Miley Jumper, Jr. $3,180.00 ®Yes ®Yes 37 G Street ^ No ^ No Carlisle, PA 17013 Barry Jumper Estate $275.00 ®Yes ®Yes c/o George F. Douglas III, Esquire ^ No ^ No 26 West High Street Carlisle, PA 17013 Duane Jumper $600.00 ®Yes ®Yes 342 S. Washington St. ^ No ^ No Mechanicsburg, PA 17055 Charlotte Killinger $300.00 ®Yes ®Yes 945 Trindle Road ^ No ^ No Carlisle, PA 17015 Debra Jumper $373.00 ®Yes ®Yes 945 East High Street ^ No ^ No Carlisle, PA 17013 Wilmot Jumper, Debra Jumper and John $17,100.00 ®Yes ®Yes E. Killinger, Ji•., Executors ^ No ^ No Form OC-01 rev. /0. 13.06 Page 11 of 11 Estate of Ruth V. Jumper, Deceased 12. The amount of Pennsylvania Transfer Inheritance Tax and additional Pennsylvania Estate Tax paid, the date(s) of payment(s), and the interest(s) upon which paid, are as follows: Date Payment Interest 03/13/2008 $12,876.45 $ 4,822.68 13. On the date of death, was the decedent a fiduciary (personal representative, trustee, guardian, agent under power of attorney) or surety on the bond of a fiduciary? ............................ ^ Yes ®No If yes, provide the name of the estate, indicate whether an account has been filed and confirmed absolutely and all awards performed, or, in the alternative, how the decedent's estate will be discharged for the decedent's fiduciary administration of the estate. 14. A. Describe in detail any questions requiring adjudication and state the position of the Petitioner(s) as to each question: None known. B. Has notice of the question requiring adjudication been given to the parties identified in Paragraph 9 above? ........................ ^ Yes ^ No Not applicable. 15. IfPetitioner(s) has/have knowledge that a share has been assigned, renounced, disclaimed or attached, provide a copy of the assignment, renunciation, disclaimer or attachment, together with any relevant supporting documentation. None known. Form OC-01 rev. /0. 13.06 Page 7 of 11 Estate of Ruth V. Jumper, Deceased 16. Had the decedent been adjudicated an incapacitated person? ................... ^Yes ®No If yes, attach a copy of the Order if available; otherwise state the Court, term, number, date, and name of Hearing Judge. 17. A. List or attach a separate list of additional receipts and disbursements since the closing date of the Account. None at this time. B. Has notice of the additional receipts and disbursements been given to the parties identified in Paragraph 9 above? ................... ^Yes ®No Not applicable. 18. If a reserve is requested, state amount and purpose. Amount: $109, 503.99 Purpose: To pay outstanding bills after confirmation by the Court of First and Final Account filed herewith. If a reserve is requested for counsel fees, has notice of the amount of fees to be paid from the reserve been given to the parties in interest? ..................................................... ®Yes ^ No If so, attach a copy of the notice. [See attached Notice of Audit, which encloses a copy of First and Final Account which includes the reserve for counsel fees.] 19. Is the Court being asked to direct the filing of a Schedule of Distribution? ........ ^Yes ®No As to real estate only? .................................................. ^Yes ®No Form OC-Ol rev. /0. 13.06 Page 8 of 11 Estate of Ruth V. Jumper, Deceased Wherefore, your Petitioner(s) ask(s) that distribution be awarded to the parties entitled and suggest(s) that the distributive shares of income and principal (residuary shares being stated in proportions, not amounts) are as follows: A. Income: Proposed Distributee(s) Debra Jumper Twila Stacher Wilmot Jumper Miley Jumper, Jr. Bonnie McKee Gary Jumper Duane Jumper Galen Lee Jumper Estate of Barry Jumper Luther Dean Jumper Charlotte Killinger B. Principal: Proposed Distributee(s) Debra Jumper Twila Stacher Wilmot Jumper Miley Jumper, Jr. Bonnie McKee Gary Jumper Duane Jumper Galen Lee Jumper Estate of Barry Jumper Luther Dean Jumper Charlotte Killinger Amount/Proportian 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 Amount/Proportion 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 Submitted By: (All petitioners must sign. Add additional lines if necessary): I' Name of Petitio er: lmot Jumper Name of Petitioner: Debra Jumper Name of Petitioner: John E. Killinger, Jr. Form OC-01 rev. /0. 13.06 Page 9 of 11 Estate of Ruth V. Jumper, Deceased Wherefore, your Petitioner(s) ask(s) that distribution be awarded to the parties entitled and suggest(s) that the distributive shares of income and principal (residuary shares being stated in proportions, not amounts) are as follows: A. Income: Proposed Distributee(s) Debra Jumper Twila Stacher Wilmot Jumper Miley Jumper, Jr. Bonnie McKee Gary Jumper Duane Jumper Galen Lee Jumper Estate of Barry Jumper Luther Dean Jumper Charlotte Killinger B. Principal: Proposed Distributee(s) Debra Jumper Twila Stacher Wilmot Jumper Miley Jumper, Jr. Bonnie McKee Gary Jumper Duane Jumper Galen Lee Jumper Estate of Barry Jumper Luther Dean Jumper Charlotte Killinger Amount/Proportion 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 Amount/Proportion 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 Submitted By: (All petitioners must sign. Add additional lines if necessary): Name of Petitioner: Wilmot Jumper Name o etitioner: ra mper Name of Petitioner: John E. Killinger, Jr. Form OC-01 rev. /o. 13.06 Page 9 of 11 Estate of Ruth V. Jumper, Deceased Wherefore, your Petitioner(s) ask(s) that distribution be awarded to the parties entitled and suggest(s) that the distributive shares of income and principal (residuary shares being stated in proportions, not amounts) are as follows: A. Income: Proposed Distributee(s) Debra Jumper Twila Stacher Wilmot Jumper Miley Jumper, Jr. Bonnie McKee Gary Jumper Duane Jumper Galen Lee Jumper Estate of Barry Jumper Luther Dean Jumper Charlotte Killinger B. Principal: Proposed Distributee(s) Debra Jumper Twila Stacher Wilmot Jumper Miley Jumper, Jr. Bonnie McKee Gary Jumper Duane Jumper Galen Lee Jumper Estate of Barry Jumper Luther Dean Jumper Charlotte Killinger AmountlProportion 1/11 1/11 1/11 1/11 l/11 1/11 1/11 1/11 1/11 1/11 1/11 Amount/Proportion 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 1/11 Submitted By: (All petitioners must sign. Add additional lines if necessary): Name of Petitioner: Wilmot Jumper Name of Petitioner: Debra Jumper me of Petition ohn E. Killinger, Jr. Form OC-01 rev. /0. 13.06 Page 9 of 11 Estate of Ruth V. Jumper, Deceased Verification of Petitioner (Verification must be by at: least one petitioner.) The undersigned hereby verifies * [that heishe is tide of the above-named name of corporation and] that the facts set forth in the foregoing Petition for Adjudication/ Statement of Proposed Distribution which are within the personal knowledge of the Petitioner are true, and as to facts based on the information of others, the Petitioner, after diligent inquiry, believes them to be true; and that any false statements herein are made subj ect to the penalties of 18 Pa. C.S. ~ 4904 (relating to unsworn falsification to authorities). L~ ~ ~ ~- Signature of Petitioner ilm t Jumper Signature of Petitioner, Debra Jumper Signature of Petitioner, John E. Killinger, Jr. *Corparate petitioners must complete bracketed information. Certification of Counsel The undersigned counsel hereby certifies that the foregoing Petition for Adjudication/ Statement of Proposed Distribution is a true and accurate reproduction of the form Petition authorized by the Supreme Court, and that no changes to the form have been made beyond the responses herein. ~~ Signature of Counsel for Petitioner Christopher E. Rice, Esquire Martson Law Offices 10 East High Street Carlisle, PA 17013 (717) 243-3341 Form OC-01 rev. /0. 13.06 Page 10 of 11 Estate of Ruth V. Jumper, Deceased Verification of Petitioner (Verification must be by at: least one petitioner.) The undersigned hereby verifies * [that heishe is title of the above-named name ofcorporation and] that the facts set forth in the foregoing Petition for Adjudication/ Statement of Proposed Distribution which are within the personal knowledge of the Petitioner are true, and as to facts based on the information of others, the Petitioner, after diligent inquiry, believes them to be true; and that any false statements herein are made subj ect to the penalties of 18 Pa. C.S. § 4904 (relating to unsworn falsification to authorities). Si ature of Petitioner, Wilmot Jumper Signature of Petitioner, a Ju per Signature of Petitioner, John E. Killinger, Jr. *Corporate petitioners must complete bracketed information. Certification of Counsel The undersigned counsel hereby certifies that the foregoing Petition for Adjudication/ Statement of Proposed Distribution is a true and accurate reproduction of the form Petition authorized by the Supreme Court, and that no changes to the form have been made beyond the responses herein. Signature of Counsel for Petitioner Christopher E. Rice, Esquire Martson Law Offices 10 East High Street Carlisle, PA 17013 (717)243-3341 Form oc-o~ ray. io. ~s.os Page 10 of 11 Estate of Ruth V. Jumper, Deceased Verification of Petitioner (Verification must be by at: least one petitioner.) The undersigned hereby verifies * [that he/she is rule the above-named name ofcorporatton of and] that the facts set forth in the foregoing Petition for Adjudication/ Statement of Proposed Distribution which are within the personal knowledge of the Petitioner are true, and as to facts based on the information of others, the Petitioner, after diligent inquiry, believes them to be true; and that any false statements herein are made subj ect to the penalties of 18 Pa. C.S. § 4904 (relating to unsworn falsification to authorities). Signature of Petitioner, Wilmot Jumper Signature of Petitioner, Debra Jumper Si ature of Petitio e Jo E. Killinger, Jr. *Corporate petitioners must complete bracketed information. Certification of Counsel The undersigned counsel hereby certifies that the foregoing Petition for Adjudication/ Statement of Proposed Distribution is a true and accurate reproduction of the form Petition authorized by the Supreme Court, and that no changes to the form have been made beyond the responses herein. Signature of Counsel for Petitioner Christopher E. Rice; Esquire Martson Law Offices 10 East High Street Carlisle, PA 17013 (717) 243-3341 Form OC-Ol rev. /0. 13.06 Page 10 of 11 PROOF OF PUBLICATION OF NOTICE IN CUMBERLAND LAW JOURNAL (Under Act No. 587, approved May 16, 1929), P. L.1784 COMMONWEALTH OF PENNSYLVANIA COUNTY OF CUMBERLAND ss. Lisa Marie Coyne, Esquire, Editor of the Cumberland Law Journal, of the County and State aforesaid, being duly sworn, according to law, deposes and says that the Cumberland Law Journal, a legal periodical published in the Borough of Carlisle in the County and State aforesaid, was established January 2, 1952, and designated by the local courts as the official legal periodical for 'the publication of all legal notices, and has, since January 2, 1952, been regularly issued weekly in the said County, and that the printed notice or publication attached hereto is exactly the same as was printed in the regular editions and issues of the said Cumberland Law Journal on the following dates, viz: May 20, 27, June 3, 2005 Affiant further deposes that he is authorized to verify this statement by the Cumberland Law Journal, a legal periodical of general circulation, and that he is not interested in the subject matter of the aforesaid notice or advertisement, and that all allegations in the foregoing statements as to time, place and character of publication are true. Jumped Ruth V., a/k/a Ruth Jump- er, decd. Late of South. Middleton Town- ship. Executors: Wilmot Jumper, Deb- ra Jumper and John E. Killinger, Jr., c/o Martson Deardorff Wil- liams & Otta, Ten East High Street, Carlisle, PA 17013. Attorneys: Carl C. Risch, Esquire, Martson Deardorff Williams & Otto. N Marie Coyne, itor TO AND SUBSCRIBED before me this 3 day of June NOTARIAL SEAL ~ LOIS E. SNYDER, Notary Public CarNsle 6oro, Cumberland County 1~1y Commissian E.x~ires March 5, 2409 Exhibit `A" PROOF OF PUBLICATION State of Pennsylvania, County of Cumberland T'anund• Shoemaker, Classified AdvertisuZg ~1~'Ianal;er , of The Sentinel, of the County and State aforesaid, being duly sworn, deposes and says that THE SENTINEL, a newspaper of general circulation in the Borough of Carlisle, County and State aforesaid, was established December 13,1881, since which date THE SENTINEL has been regularly issued in said County, and that the printed notice or publication attached hereto is exactly the same as was printed and published in the regular editions and issues o.f THE SENTINEL on the following day(s): COPY OF NOTICE OF PUBLICATION NOTICE Letters Testamentary on the Estate of RUTH V. JUMPER, a!k/a RUTH JUMPER, of South Middleton Township, Cumberland County, Pennsylvania, deceased, have been granted to the undersigned. All persons knowing themselves to be indebted to said Estate will make payment immediately, and those having claims will present them for settlement to: Wilmot Jumper, Debra Jumper and John E. Killinger, Jr., Executors ' c/o Martson Deardorff Williams & Otto Ten East High Street Carlisle, PA 17013 Carl C. Risch, Esquire MARTSON DEARDORFF WILLIAMS & OTTO Attorneys Affiant further deposes that he/she is not interested in the subject matter of the aforesaid notice or advertisement, and that all allegations in the foregoing statement as to time, place and character of publication are true. Sworn to and subscribed before me this 01st day of June, 2005. )n ~~~'~ ~~~ ~~ c ~,< Notary Pit is My commission expires: `l~~~U " C;OPv1MOtvWEh1L 1 rz yr PENNSYLVANIA i '`~Otatlal Seal i :;hnstina L. Wolfe, (Votary public Carlisle 8oro, CumbeAarxt County My Commission Expires Sept 1, 2008 Member. P~~nnsyla2ni? As~cciation Of Notaries Exhibit `A" IN RE: ESTATE OF RUTH V. JUMPER IN THE COURT OF COMMON PLEAS OF DECEASED, LATE OF SOUTH :CUMBERLAND COUNTY, PENNSYLVANIA MIDDLETON TOWNSHIP CUMBERLAND COUNTY, :ORPHANS' COURT DNISION PENNSYLVANIA N0.21-01-0230 NOTICE OF FILING FIlZST AND FINAL ACCOUNT AND PETITION FOR ADJUDICATION/STATEMENT OF PROPOSED DISTRIBUTION AND CALL FOR AUDIT OR CONFIRMATION NOTICE IS HEREBY GNEN that Wilmot Jumper, Debra Jumper and John E. Killinger, Jr., Executors of the Estate of Ruth V. Jumper, deceased, have this date filed the First and Final Account and Petition for Adjudication/Statement of Proposed Distribution in the above-captioned Estate in the Office of the Clerk of the Orphans' Court in and for Cumberland County, Pennsylvania, where the same is filed as public record and maybe inspected. A copy of said Account and Petition as filed is enclosed. YOU ARE FURTHER NOTIFIED that any exceptions or obj ections to said Account or Petition must be filed in writing at the office of the Clerk of the Orphans' Court, Cumberland County Courthouse, Carlisle, PA 17013, aforesaid prior to the confirmation of said Account and Statement of Proposed Distribution scheduled as set forth below. UNLESS written exceptions or objections are filed prior thereto, said Account will be presented to the above-captioned Court in Court Room No. 1 of the Cumberland County Courthouse, Carlisle, Pennsylvania, at 9:30 a.m. prevailing time, on Tuesday, June 17, 2008, at which time said Account will be confirmed and distribution ordered in accordance with the Petition for Adjudication/Statement ofProposed Distribution. MARTSON LAW OFFICES Christopher E. Rice, Esquire Ten East High Street Carlisle, PA 17013 (717) 243-3341 Date of Notice: May /~, 2008 NOTICES TO: Beneficiaries: Debra Jumper 945 East High Street Carlisle, PA 17013 Twila Stacher 215 Hoffman Street Jackson, CA 95642 Wilmot Jumper 1136 Rockledge Drive Carlisle, PA 17015 Miley Jumper, Jr. 37 G Street Carlisle, PA 17013 Attorney for Estate of Ruth V. Jumper Bonnie McKee 8 Kissme Road Newville, PA 17241 Gary Jumper 8 North High Street Newville, PA 17241 Duane Jumper 342 S. Washington St. Mechanicsburg, PA 17055 Galen Lee Jumper 230 Mulberry Avenue Carlisle, PA 17013 Exhibit `B" Estate of Barry Jumper George F. Douglas, III, Esquire 26 West High Street Carlisle, PA 17013 Luther Dean Jumper 1 120 Rockledge Drive Carlisle, PA 17015 Charlotte Killinger 945 Trindle Road Carlisle, PA 17015 Creditors: Richard P. Mislitsky, Esq and associates P.O. Box 1290 Carlisle, PA 17013 Brehm-Lebo Engineering, Inc. 17 State Avenue Carlisle, PA 17013 Diversified Apprraisal Services 35 East High Street, Suite 101 Carlisle, PA 17013 Martson Law Offices 10 East High Street Carlisle, PA 17013 Wilmot Jumper 1136 Rockledge Drive Carlisle, PA 17015 Gary Jumper 8 North High Street Newville, PA 17241 Gary Jumper, Jr. c/o Gary Jumper 8 North High Street Newville, PA 17241 Luther Dean Jumper 1120 Rockledge Drive Carlisle, PA 17015 Miley Jumper, Jr. 37 G Street Carlisle, PA 17013 Barry Jumper Estate George F. Douglas III, Esq. 26 West High Street Carlisle, PA 17013 Duane Jumper 342 S. Washington St. Mechanicsburg, PA 17055 Charlotte Killinger 945 Trindle Road Carlisle, PA 17015 Debra Jumper 945 East High Street Carlisle, PA 17013 John E. Killinger, Jr. 41 Yorwick Road Carlisle, PA 17013 F:\FlLE3\CGents\ 11570 JumperU 1570. Laccount IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PA ORPHANS' COURT DIVISION FILE NO. 21-01-0230 FIRST AND FINAL ACCOUNT OF WILMOT JUMPER, DEBRA JUMPER and JOHN E. KILLINGER, JR., EXECUTORS OF THE ESTATE OF RUTH V. JUMPER, LATE OF SOUTH MIDDLETON TOWNSHIP CUMBERLAND COUNTY, PENNSYLVANIA Social Security Number: 177-30-8709 Tax ID Number: 26-6273927 Date of Death: 02/19/2001 Date of Incapacity, if any None Date of Executor's Appointment: 02/27/2001 Letters Advertised: Sentinel - 05/12/19/26/05 Cumberland Law Journal - 05/20/27;06/03/05 Accounting for the period: 02/19/01-03/31/08 Purpose of the Account: Wilmot Jumper, Debra Jumper and John E. Killinger, Jr., Executors, offers this account to acquaint interested parties with the transactions that have occurred during the administration. It is important that the Account be carefully examined. Requests for additional information or questions or objections can be discussed with: Christopher E. Rice, Esquire MARTSON LAW OFFICES N 10 East High Street . ~ _ - ° ~~ Carlisle, PA 17013 `=~-' = =~ ~" ~_ ~ . ; (717) 243-3341 ,= ; Q- < ~- ~ ~'~~ . t ~ r....., ~ T 1 _..: -- ~`~ ~--~ ,,,~ c>r. f .. _ . ~:-5 ~, r-, SUMMARY OF ACCOUNT Page No. PRINCIPAL Receipts Net Gains on Disposition Less Disbursements Debts, Funeral and Administration Expenses Family Exemption Federal, State & Local Taxes Fees and Commissions Balance Before Distributions Distributions to Beneficiaries Principal Balance on Hand For Information: Investments Made Changes in Holdings INCOME Receipts Less Disbursements Balance Before Distributions Distributions to Beneficiaries Income Balance on Hand COMBINED BALANCE ON HAND 3 3 3-4 $ 58,214.73 4 $ 0.00 4-5 $ 23,478.31 5 ~ 82,100.00 5 5 5 5 6 6 6 6 6 Fiduciary Acquisition Value $ 348,019.92 205,860.00 553,879.92 163.793.04 390,086.88 0.00 390,086.88 1,018.54 0.00 1,018.54 0.00 1,018.54 $ 391.105.42 -2- PRINCIPAL RECEIPTS Assets Listed on Inheritance Tax Return (Value on Date of Death) Real Estate: Residence at 1120 Rockledge Drive, Carlisle, PA Adjustments to Carrying Values: Subsequent Receipts: Woodstork Watch LLC, real estate tax proration Debra Jumper, Account Receivable for Beneficial loan payoff TOTAL PRINCIPAL RECEIPTS TRANSFERRED TO SUMMARY: 344,140.00 574.18 3,305.74 $ 348,019.92 PRINCIPAL GAINS AND LOSSES ON SALES OR OTHER DISPOSITIONS GAIN LOSS 03/12/08 Sale of 1120 Rockledge Drive Net Proceeds 550,000.00 Acquisition Value 344,140.00 205,860.00 TOTALS 205,860.00 NET GAIN TRANSFERRED TO SUMMARY: PRINCIPAL DISBURSEMENTS DEBTS OF DECEDENT, FUNERAL AND ADMINISTRATION EXPENSES: 03/12/08 Tax Certification fee [see Exhibit "F"] 5.00 03/19/08 Beneficial Finance, release of lien against real 3,305.74 estate [deducted from Debra Jumper's share] Reserved Wilmot Jumper [see list attached as Exhibit "A"] 40,981.95 Reserved Debra Jumper, reimbursement for payment to Dept. of Public Welfare 373.00 Reserved Miley Jumper, Jr., reimbursement for funeral expenses 300.00 Reserved Gary Jumper, reimbursement for funeral expenses 275.00 Reserved Barry Jumper Estate, reimbursement for funeral expenses 275.00 $ 205,860.00 -3- Reserved Charlotte Killinger, reimbursement for funeral expenses 300.00 Reserved Gary Jumper, reimbursement for property cleanup [see list attached as Exhibit "B"] 3,362.67 Reserved Gary Jumper, Jr., reimbursement for property cleanup [see statement attached as Exhibit "C"] 1,600.00 Reserved Luther Dean Jumper, reimbursement for property cleanup [see statement attached as Exhibit "D"] 1,600.00 Reserved Miley Jumper, Jr., reimbursement for property cleanup [see statement attached as Exhibit "E"] 2,880.00 Reserved Brehm-Lebo Engineering, Inc., consultation and subdivision/development research 1,446.70 Reserved Diversified Appraisal Services, appraisal of real estate prepared in 2005 450.00 Reserved Martson Law Offices, disbursements: Filing fee, Petition 15.00 Copies of probate documents 1.50 Advertising Letters 226.55 Filing fee, Inheritance Tax 15.00 Real estate tax certification 20.00 Copies-lien search 19.00 Search service 3.25 Additional Probate fee 225.00 Copies-tax maps 8.37 UPS 7.00 Short certificate 4.00 Postage 15.00 Filing fee, Account 500.00 1,059.67 Total, Debts, Funeral and Administration Expenses FAMILY EXEMPTION None claimed FEDERAL, STATE & LOCAL TAXES 03/12/08 County of Cumberland, 1 % realty transfer tax on sale of real estate [see Exhibit "F") 5,500.00 03/12/08 South Middleton Tax Collector, 2008 county and township real estate taxes [see Exhibit "F"] 279.18 58,214.73 $ 0.00 -4- 03/12/08 Register of Wills, Agent for Commonwealth of PA, Inheritance tax, interest [see Exhibit "F"] 17,699.13 Total, Federal, State & Local Taxes 23,478.31 FEES AND COMMISSIONS 03/12/08 Wolfe & Shearer, real estate commission [see 27,500.00 Exhibit "F"] Reserved Martson Law Offices, attorney fees 37,500.00 Reserved Wilmot Jumper, Executor's Commission 5,700.00 Reserved Debra Jumper, Executor's Commission 5,700.00 Reserved John E. Killinger, Jr., Executor's Commission 5,700.00 Total, Fees and Commissions 82,100.00 TOTAL PRINCIPAL DISBURSEMENTS TRANSFERRED TO SUMMARY 163,793.04 DISTRIBUTIONS OF PRINCIPAL TO BENEFICIARIES None $ 0.00 TOTAL PRINCIPAL DISTRIBUTIONS TO BENEFICIARIES $ 0.00 PRINCIPAL BALANCE ON HAND Value at Fiduciary [Date) Acquisition Value M&T Bank, savings account, $ 386,781.14 $ 386,781.14 Debra Jumper, account receivable 3,305.74 3.305.74 TOTAL PRINCIPAL BALANCE ON HAND $ 390,086.88 $ 390,086.88 PRINCIPAL INVESTMENTS MADE None CHANGES IN PRINCIPAL HOLDINGS None -5- RECEIPTS OF INCOME M&T Bank, Savines 03/31/08 Interest $ 1,018.54 TOTAL RECEIPTS OF INCOME $ 1,018.54 DISBURSEMENTS OF INCOME None $ 0.00 TOTAL DISBURSEMENTS OF INCOME $ 0.00 DISTRIBUTIONS OF INCOME TO BENEFICIARIES None $ 0.00 TOTAL DISBURSEMENTS OF INCOME $ 0.00 INCOME BALANCE ON HAND Value at Fiduciary [Date) Acquisition Value M&T Bank, savings account, 3/31/08 interest $ 1,018.54 $ 1,018.54 TOTAL INCOME BALANCE ON HAND $ 1,018.54 $ 1,018.54 Wilmot Jumper, xecut of the Will of Ruth V. Jumper Debra Jumper, Executor of the Will of Ruth V. Jumper John E. Killinger, Jr., Executor of the Will of Ruth V. Jumper -6- RECEIPTS OF INCOME M&T Bank, Savings 03/31/08 Interest $ 1,018.54 TOTAL RECEIPTS OF INCOME $ 1,018.54 DISBURSEMENTS OF INCOME None $ 0.00 TOTAL DISBURSEMENTS OF INCOME $ 0.00 DISTRIBUTIONS OF INCOME TO BENEFICIARIES None $ 0.00 TOTAL DISBURSEMENTS OF INCOME $ 0.00 INCOME BALANCE ON HAND Value at Fiduciary ~DateJ Acquisition Value M&T Bank, savings account, 3/31/08 interest $ .1,018.54 $ 1,018.54 TOTAL INCOME BALANCE ON HAND $ 1,018.54 $ 1,018.54 Wilmot Jumper, Executor of the Will of Ruth V. Jumper Debra Jumper, Ex for of he Will of Ruth V. Jumper ~. ~ ~ ~(C.-~- hn E. Killing~r, Jr., Executor of the fill of Ruth V. Jumper -6- SCHEDULE OF PROPOSED DISTRIBUTION Wilmot Jumper, Debra Jumper and John E. Killinger, Jr., Executors of the Will of Ruth V. Jumper, deceased, propose to distribute the balance in their hands, to wit: $391,105.42, in accordance with Item 4 of the said Will as heretofore filed in the Office of the Register of Wills of Cumberland County, Pennsylvania, as follows: TO: Debra Jumper, Cash [$32,249.30 + $3,305.74 credit for $35,555.04 payment to Beneficial Finance] Twila Stacher, Cash $35,555.04 Wilmot Jumper, Cash $35,555.04 Miley Jumper, Jr., Cash $35,555.04 Bonnie McKee, Cash $35,555.04 Gary Jumper, Cash $35,555.04 Duane Jumper, Cash $35,555.04 Galen Lee Jumper, Cash $35,555.04 Estate of Barry Jumper, Cash $35,555.04 Luther Dean Jumper, Cash $35,555.03 Charlotte Killinger, Cash $35,555.03 TOTAL BALANCE FOR DISTRIBUTION $ 391,105.42 -7- STATEMENT OF THE REASONS FOR THE PROPOSED DISTRIBUTION The above distribution is proposed in accordance with t/he Will of Ruth V. Jumper. Gt;'.,i, ~s C~ t ~r Wilmot Jumper, xecut Debra Jumper, Executor John E. Killinger, Jr., Executor -8- STATEMENT OF THE REASONS FOR THE PROPOSED DISTRIBUTION The above distribution is proposed in accordance with the Will of Ruth V. Jumper. Wilmot Jumper, Executor v ~~~ Debra Jumper, xecuor ~.~1 E. Killing , Jr., Executor -8- VERIFICATION Wilmot Jumper, Debra Jumper and John E. Killinger, Jr., Executors of the Will of Ruth V. Jumper, deceased, hereby declare under oath that they have fully and faithfully discharged the duties of their office; that the foregoing First and Final Account and Schedule of Proposed Distribution is true and correct and fully discloses all significant transactions occurring during the accounting period; that all known claims against the Estate have been paid in full or will be paid in full on the confirmation of said Account; that all taxes presently due from the Estate have been paid; and that the grant of Letters Testamentary and the first complete advertisement thereof occurred more than four months before the filing of the foregoing First and Final Account. This statement is made subject to penalties of 18 Pa. C.S.A. Section 4904 relating to unsworn falsification to authorities. Wilmot Jumpe Debra Jumper John E. Killinger, Jr. Dated: j ~ ~ ~ D -9- VERIFICATION Wilmot Jumper, Debra Jumper and John E. Killinger, Jr., Executors of the Will of Ruth V. Jumper, deceased, hereby declare under oath that they have fully and faithfully discharged the duties of their office; that the foregoing First and Final Account and Schedule of Proposed Distribution is true and correct and fully discloses all significant transactions occurring during the accounting period; that all known claims against the Estate have been paid in full or will be paid in full on the confirmation of said Account; that all taxes presently due from the Estate have been paid; and that the grant of Letters Testamentary and the first complete advertisement thereof occurred more than four months before the filing of the foregoing First and Final Account. This statement is made subject to penalties of 18 Pa. C.S.A. Section 4904 relating to unsworn falsification to authorities. Wilmot Jumper Debra Jumper G J hn E. Killinger, r. Dated: ~.~7~`/ / U -9- Estate of Ruth V. Jumper Cumberland County File No. 2001-0230 Wilmot Jumper, 1136 Rockledge Drive, Carlisle, PA, requests reimbursement from the Estate of Ruth V. Jumper for the following payments made by him: 04/28/94 09/29/94 Robert C. Cairns, Tax Collector 1994 Personal taxes 24.50 08/18/97 Cumberland County Tax Claim 1995-1996 real estate taxes 3,531.15 03/30/98 Robert C. Cairns, Tax Collector 1998 real estate taxes 290.10 02/01/99 Robert C. Cairns, Tax Collector 1998-99 school and personal taxes 1,548.50 02/05/99 Cumberland County Tax Claim 1997 real estate taxes 338.75 04/20/99 Robert C. Cairns, Tax Collector 1999 real estate and personal taxes 309.65 08/16/99 Claremont Nursing Care 2,389.00 09/29/99 Robert C. Cairns, Tax Collector 1999-2000 school and personal taxes 1,438.35 10/09/99 Claremont Nursing Care 300.00 11/22/99 Claremont Nursing Care 331.00 04/26/00 Robert C. Cairns, Tax Collector 2000 real estate and personal tax 297.46 08/14/00 Robert C. Cairns, Tax Collector 2000-01 school and personal taxes 1,448.10 02/20/01 Ewing Brothers Funeral Home Funeral expense 500.00 02/20/01 Westminster Cemetery Burial expense 815.00 02/27/01 Cumberland County Probate 91.00 02/27/01 Cumberland County Clean and Green 47.00 03/02/01 Dale F. Shughart, Jr. Attorney fees 200.00 04/30/01 Robert C. Cairns, Tax Collector 201 real estate taxes 215.68 06/14/01 Ewing Brothers Funeral Home Funeral expense 1,100.00 06/25/01 Dale F. Shughart, Jr. Attorney fees 1,070.50 12/11/01 Robert C. Cairns, Tax Collector 2001-02 school tax 1,313.96 08/30/02 Judy A. Campbell, Tax Collector 2002-03 school tax 1,170.62 Exhibit `A" Claim of Wilmot Jumper, continued 11/01/02 Diversified Appraisal Services Appraisal of real estate 350.00 04/24/03 Judy A. Campbell, Tax Collector 2003 real estate tax 237.15 08/27/03 Judy A. Campbell, Tax Collector 2003-04 school tax 1,224.97 04/26/04 Judy A. Campbell, Tax Collector 2004 real estate tax 259.56 07/02/04 Cumberland County Tax Claim 2002 real estate tax 329.00 08/23/04 Judy A. Campbell, Tax Collector 2004-OS school 1,313.26 05/02/05 Judy A. Campbell, Tax Collector 2005 real estate tax 206.65 08/29.05 Judy A. Campbell, Tax Collector 2005-06 school tax 1,054.02 04/26/06 Judy A. Campbell, Tax Collector 2006 real estate tax 248.66 06/20/06 South Middleton Township Rezoning fee 3,500.00 10/27/06 South Middleton Township Refund of rezoning fee -2,500.00 `04-`06 Dept. of Public Welfare Reimbursement for public assistance under Estate Recovery Program 15,988.36 TOTAL $40,981.95 Exhibit `A" GARY JUMPER SR RECEIPTS TOTAL January 1, 2007 $13.50 March 12, 2007 $25.96 March 19, 2007 $75.00 March 28, 2007 $26.48 March 30, 2007 $ 6.15 April 3, 2007 $18.27 April 1?_, 2007 $16.15 April 18, 2007 $ 5.93 April 20, 2007 $16.51 April 23, 2007 $ 4.93 May 1, 2007 $89.64 May 1, 2007 $30.98 May 7, 2007 $42.60 May 9, 2007 $85.00 May 21, 2007 $19.84 May 22, 2007 $ 3.87 May 22, 2007 $20.00 May 22, 2007 $10.58 May 22, 2007 $26.65 May 23„ 2007 $35.28 May 24, 2007 $39.12 May 25, 2007 $ 9.12 May 25, 2007 $ 1.48 May 26, 2007 $36.00 June 6, 2007 $12.21 June 20, 2007 $369.21 June 20, 2007 $ g.pg June 22, 2007 $14.08 June 30, 2007 $55.85 July 6, 2007 $149.21 July 7, 2007 $116.71 September 4, 2007 $13.50 September 28, 2007 $15.86 October 3, 2007 $10.00 October 4, 2007 $ 2.37 October 8, 2007 $13.80 October 10, 2007 $69.35 October 26, 2007 $15.30 October 26, 2007 $ 5.95 October 30. 2007 $14.51 November 2, 2007 $15.01 November 2, 2007 $88.00 November 5, 2007 $ 42 November 5, 2007 $ 21 November 17, 2007 X14.00 51.667.67 Exhibit `B" GARY JUMPER SR TOTAL Labor 414Hrs x $ B.OOhr = $ 3,312.00 Skid Loader Usage 264Hrs x $40.OOhr = $10,560.00 Tractor Usage 30Hrs x $35.OOhr = $ 1,050.00 Truck Usage 33Days x $30.OOhr = $ 990.00 Trailer Usage 90Hrs x $25.OOhr = $ 2,250.00 Torch Usage 70Hrs x $15.OOhr = 1 050.00 $1 ~ ~ :'F. Exhibit "B" GARY JUMPER JR Labor 200Hrs x $8.00 = $1,600.00 Exhibit "C' LUTHUR DEAN JUMPER Labor 200Hrs x $8.OOhr = $1,600.00 Exhibit "D" MILEY JUMPER JR Labor 160hrs x $8.00 = $ 1,280.00 Tractor Usage 40hrs x $40.00 = $1,600.00 TOTAL $2, 880.00 Exhibit `E"' A. OMB NO. 2502-026 B TYPE OF LOAN: U.S. DEPARTMENT OF HOUSYNG 8 URBAN DEVELOPMENT 1.QFHA 2.QFmHA 3. ^CONV, UNINS. • 4. QVA 5 [~CONV INS 6. FILE NUMBER: 7. LOAN NUMBER: SETTLEMENT STATEMENT 1 1 8. MORTGAGE INS CASE NUMBER: C NOTE: This form is furnished to give you a statement of actual settlement costs. Amounts paid to and by the settlement agent are shown. Items marked '[POC]" were paid outside the c/os~ng they are shown here for informational purposes and are not included in the totals. C. NAME AND ADDRESS OF HORROWER E NAME AND ADDRESS OF SELLER: ~ ~~~~ ,i2e<e ~ ~~.s~^ae~s ~ E~:~s,ao; F. NAME AND ADDRESS OF LENDER: 'Noodstork'Natch LLC Estate of Ruth V. Jumper 117 Stonehedge Drive Carlisle. PA 17015 G PROPERTY LOCATION: H. SETTLEMENT,4GENT: 1120 Rockledge Dnve Martson Deardorff Williams Otto Gilroy & Faller Carlisle. PA 17013 Cumberland County, Pennsylvania PLACE OF SETTLEMENT 10 East High Street Carlisle, PA 17013 101. 102. 103. Contract Sales Price Personal Pro ert Settlement Char es to 104. 105. 106. Count /Tw .Taxes 107. School Taxes 108. Assessments 109. 110. 111. 112. 120. 200. GROSS AMOUNT DUE AMOUNTS PAID BY O Line 1 03/13/08 to 01/01109 03/13/08 to 07/01/08 to 201. De osit or earnest mone 202. Princi al Amount of New Loa 203. Existin loans taken sub ecl 204. 205. 206. 207. 208. 209 Ad ustments orltems ~ 210. Count /Tw .Taxes 211. School Taxes 212. Assessments 213. 214. 215. 2'6 to to to ci, ,~ ~: y -- 300. CASH AT SETTLEMENT FROM/TO BORR01 ~J1 Gross Amount Cue From Borr;;~nrer ~ ur.e 121 s;t. ~ess.amcunt Paid By,For 9orrower;L,ne 220; 550,000.00 401. Contract Sales Price 402. Personal Pro erty 8,589.75 _ 403. 404. 405. 224.26 406. Count /Tw .Taxes 349.92 407. School Taxes 408. Assessments 409. 410. 411. 412. 559.163.93 420. GROSS AMOUNT DUE TO SELLER 500. REDUCTIONS IN AMOUNT DUE TO SELLE 25,000.00 501. Excess De osit See Instructions 502. Settlement Char es to Seller (Line 1400 503. Existin loans taken sub ect to 504. Payoff of first Mortgage 505. Pa off of second Marta e 506. 507. De osit disb. as roceeds 508. 509. d ustments or /terns n aid e e 510. Count /Tw Taxes . to 511. School Taxes to 512. Assessments to 513. 514. 515. 51 G. _ 51 J1o 519 25 JOC C 5<: -•1~ RE~~C~ C,'V .4,L'C~N' Ji;E SE~~ER 600. CASH AT SETTLEMENT TOIFROM SELLER• 559 td3 93 601 Gross Amount Due Tc Seller ~ Line 420) 25 COC CC! ~C2 Less Reductions Cue Seller ~,Llne 520; 534.163.9,3 BG3 CASH ~ X 'O ! ~ FRS ~4A : cFi co I SETTLEMENT DATE March 12 2008 550 03/13/08 to 01/01/09 03/13/08 to 07/01/08 to 349 4.18 50,983.31 5C 933 ~ ' .8 550 574 ~ 5C 983 31. 499.590 8' Exhibit `F"' Division of Commission (line 700) as Follaws 701. $ 27,500.00 to Wolfe & Shearer Realtors 02 $ to 703. Commission Paid at Settlement 04. to 800. ITEMS PAYABLE IN CONNECTION WITH LOAN 801. Loan On nation Fee % to 802. Loan Discount % to 303. Appraisal Fee to 304. Credit Report to 905. gender's Inspection Fee to 306. Mortgage Ins. App Fee to 307. Assumption Fee to 810. 811. T I B I 901. Interest From to ~ $ 902. Mort a e Insurance Premiurn for months to 903. Hazard Insurance Premium f_or 1 0 years to 904. 905. 10 . RE RV DEP IT I H L ND R 1001. Hazardlnsurance 1002. Mort a elnsurance 1003. Coun /Tw .Taxes 1004. School Taxes 1005. Assessments 1006. 1007. 1008. 11 .TITLE HAR E 1101. Settlement or Closin Fee to 1102. Abstract or Title Search to 1103. Title Examination to 1104. Title Insurance Binder to 1105. Document Pre aration to 1106. Nota Fees to 1107. Attorney's Fees to includes above item numbers: 1108. Title Insurance includes above item numbers: to Lawye .'day $ per $ per $ per $ per $ per $ per $ per days ~/~) r,-„C rRGM ~~iD ~ RCM ~CRRO'f;ER'S SE~~ERS FLNDS h? F~NLS:-.T sEr-~Ern~r~T sE-~_EroiEn,- 1109. Lender's Coverage $ 1110. Owner's Coverage $ 550 000 00 , . 1111. 3, 046.25 1112. 1113. 120. OVE NM NT REC RDI AND TRAN FER CHAR E 1201. Recording Fees: Deed $ 43.50; Mortgage $ Releases $ 1202. Cit ,Count TawStam s Deed 5.500.00 Mort a e 43.50 1203. State TawStam s Deed 5.500.00; Mort a e 5.500.00 1204. 1205. 1300. ADDITI NAL SETTLEMENT CHARGE 130' Surrey tc - ' :2 Pest ~nspecticn to ~ __ 1~'3 2;,C3 To.~nsf ~p .3 :our,ty ._axe_ ~c s S~~uth tihddletcn Tax C~_I,ector -- l-- ----• -- _ __;4 fax ~crti5,~atcr Fee 'o Rcue~7 C Cairns. Scuth ^.tuldletc^ -~,~nsh. _-- __~ ' : ~ -~ ~ p .:~ ~ r~ cr tame 'axes ;c r*.eg;s!er of ',L,;~s. ,agent -_ 1400. TOTAL SETTLEMENT CHARGES (Enter on Lines 103 Section J and 502 S i T , , ect on K S, s~gn~ng gage 1 cf !his statement. the s,g^ator,es acKr,;~,~iedge rece,pt of a ca~~pieted coc of 2 3..39 ~ y gage 0` this twc gage staten,,ent ~er f.ed to t:e a tree ccFy ',lartson Ceardorff'^„Ir;ams ~Sttu v~lroy ;~ Fader Settiement Ager•~t Exhibit "F" 5.500 00~ _ , ~.,5 , 50 933 3' LAST WILL Ar'4D TESTA)1~[ENT OF R IJTH JI1,~IPER 1, Ruth Jumper, widow, of South htiddlcton Township, Cumberland County, Prnnsylv,utitt. being of snund and ~ispc~sing mind,-m,-mnr7,..~y~.su~~g, do htrrby m;tkc, publish, and declare this as and for my Last Will and Tcstamrnt, hereby revoking and makrnb void any and all Wills by me at any timt heretofort made. I. 1 dirccl my hereinafter named Executors to pay all of rnydebts to which I am !x>und anti funeral the expenses of my funeral, last illnrss, and of the adrninis~atlon of my~statr as soar aftr.r my dtnth as may tx foun~ convcnicnt to do so. 1 declare that I am curcndy a widow, and that I have eleven (l l) children who arc Uchra lumpcr, Twila Stacher, Wilmot Jumper, Miley Jumper, lr., lionnic McKee, Gary Jumper, [)uanc Jumper, Galen Lee Jurnpcr, Ilarry Jumper, Luther.Dcan Iurnper, and Charlotte Killinger. 1 funhcr drelate that I have no other childrrn_ 3. 1 hereby ducct my Exccuwrs to make arrr~tgcmcnts for the subdivision of the farm w•hicli ! uwn in South Middleton Township, C~rmbCrland County, !'ennsylvania, having a mailing ar!ctress of 1120 Rockledge Drivt, Came; )knssylyaPjA Frr ,tip ~.___:__r. ~ ~ -•---G~r"a•~.~-u;-Ldr?yinv. n~~r ri.~ ~~.~~~~~onrrsiuieu' txqurais. i give, devise and bequcatht a, to my dau tern, Debra Jumprr and Twila Stacher, my house at 1120 Rocklcdgr Drive toEether wi alJ the tangible personal property located therein and together also with an amount of land the house dettrmincd t?y_my Lzrcutors.to 6e a ^-A-s^-^"hl~atnount of land for the use of the house as a single family residence. br to7rty son,-Miley Jumper, Jr., the land surrounding his mobile Itomc consisting of approximately one (I) acre. c. to my son, Duane Jumper, a lot at the northeast comer of the farm, which lot shall be eipproximately one (]) acrt•. d. to each of my sons, atilcn Lee Jumper, Barry lumpcr, and Luther Dcan Jumper, end rr1Y dauyhtcr, Charlotte Killingtr, a lnt of graund, each ofsaid Juts w be approximately one (I) acre. to my son, Wilmot Jurrpcr, all the remainder of the farm. i'rovidcei, hauee_ver,-that-no such$bovt-mentioned child shall be tntitled-to the bequest alx~vt utilcss and until they indicate in writing that they desire to receive such bequest and aL*rcc in writing to paY in advance their share of the costs of obtaining subdivision approval from all rcquii-cd municipal authorities, which costs shall be determined on a per capita and not on a pro- rata basis. 11' any of my above-mcn[ioncd children, with the exception oC my son, Wilmot Jumper, shalt predecease mc, fail ro survive nit by a. period of ninety (40) days, or not indicate in writing their e!csire to receive their bcgucst and their wil!ine-ness to pay in advance their per captor share of ~ ~c costs of obtaining subdiviston approval, then their bequest shall lapse and shall be added to ihr Sham of my son; Wilmot lumpcr. 1f my son, Wilmot Jurrtper,~hall predeecase me, ftcil to survive me by a period of ninety (90) days, or nor indicate in writing his desire to receive his bequest and his willingness to pay to advance his per capita share of the costs of obtaining subdivision ~,appmval, then his lxqucst shall lapse and shall be added to L'te rernaindcr of my estate. If for any'" reason, any part of the subdivision of my farm as set forth herein shall not be possible, then in j much event such of the hcquesus aet forth in-this-Paragraph 3 shall..lapbe.and-be added to the remainder of my estate. ~~ 4. All the rest, residue, and remainder of my estate, real, personal, or mixed, ands e wheresoever the same may bt sln,atc, I give, devise, ^nd bequeath to such of my chiictrrn as shall zurvivc me by a period of ninety (90) days, u`tc share any deceased child would have received to \ pass to his or her issue per stirpes, and if there be no issue such share shall lapse and be added to CZ-, the remaining share or shares per stirpes. At the present time I have cloven (I 1) children as ~' aforementioned. -.I-~~~ ~" ~~. _Pagc l.of 3 pages ~ _ ~~ ~' ;'.' . 5. Should any person less Shan 18 years of age be entitled to distribution from my estate, in such evtnt the sh?re that person would otherwise have received shall be paid to my Executors, in wst, to receive and invest !hc same, and to pay the income arising therefrom, [ogcther with so much of the principal thereof as in her opinion is necessary or desirable to be expended for rite propcr.maintrnartce,_supJsor., atul rrt~ira•;nn pl'_Srrch_ rt]GfSO71, m.or for the bcltclit raf_suc~t per-son, and upon such person attaining 18 yeah of age to pay to him or her the then remaining principal togc~licr with ar,y undistrihurcd income. 6. [hereby nominate, constitute, and appoint my dwghter, Dehra Jumper, my son Wilnutt J urger, and my grandson, John E. Killinger, Jr., or any of them, as Exceuton of this my 1.1S1 1t,'ill and "feuantrnt and 1 funhcr direct that none of them shall tx rcduirul to post any'twnd to secure the (aith(ul perfotrrtance of his or her duties in the Comrnonwenlth of Pcnnsylv;tnia nr in any ofhcf~uri i~{liC UOn. 7. [n addition to die powers eonfer~rd by low, my herein named Hxecutors and Tnt•.tces are cm;,owen:d: a. 'I'o invest any part of the trust corpus in such sccuritics, investments, or other property as may be deemed advisable and proper, irrespective of whether the same arc authorized for the investmen! of trust funds under the laws of any governing jurisdiction. b. `Kith rLSpcct to.ar,yrnrparatirur,_tJtrstncks, bnncis,.nrntitcr s{curitics of which entry Bc held, to vote in person or by proxy on any shares of stock; to consent to the merger, consolidation or reorganization of such corporations; to consent to the leasing, ntor;;:aging, ar sulz of the nrooerty o` any such cnrpnn,ioric; ?o make any _,,....ndr, exchange or stthsdrutton of such stocks, bonds, or other secttritles as an Incident to the. merger, consolidation or reorganization of such corporations; to pay all assessments, subscriptions and other sums of money which may he dccmui w(se and expedient roe the. prniecnon end maintenance of the proponionatr interest of the investmrnr In such cnrlw;ations: to excrLise any option or.priuiltge whicf~ntay be t:ortferred.upor;site ttt3ldrt~ or .uch ste:cks, bonds, or onc~r securities o! such crnporations tither (or the conveniun or Utc sunte into onc~r sccuritics or fur dte purchase of additional sccuritics, and to nt:dce any ,r,d all accessary pnyntcnts which may be rr_yuircd in connection therewith; and gcncnlly to have and exercise as to sll such stocks, bonds, and otter sccuritics, the powers of an individual owner who [s under vusr obligation. c. To hold the trust carpus in one or more consolidated funds in which separate shares shall trout undivided i,-trcrests. d. To self a[ public or private sale For cash or upon credit, er partly for cash and purely on crctlit, and upon such tetras and Conditions as shall be deemed pmjter, any pan nr paf?s yf the wst estate, and no purchaser et any such sale shall be twund to Inquire into the expediency or propriety of any such sale Or to sec to the application of the purchase nxrncy arising thcrr(rom. e. To keep on hand and uninvested such moneys as may be deemed proper and fur such pc rind as~ta y Jx Snttnd Ltcpcdicnt. f. To compromise, settle, or tutiitratc any claim or dennand in favor of or against the trust e5[91 e. g. And authorized in the discharge of fiduciary duties, to cmptoy counsel and to E.'.... drtcrntinc end to pay such counsel reasonable compensarion which shall be charged egainst the principal orirtetxne of the tnrst ft.~trd,3rtd-shall~urther beznti?Ied to charge against the ~trincipal nr incntnc zuch other rrxsortable expenses and charges as may be accessary and proper ro incur for the proper discharge of fiduciary ducks and for the proper management ~ and administration of the trust estate. _ , h. in making any division of prt~crty into shares for the purpose n( any ~:I distrlhution thereof directed by the provlstons of the wst, to make such divlston or distribution, either in cash or in kind, or partly in cash and partly in kind, as shall tx a deemed nxtst expedient, and in making any divtston or distribution in kind may olio any -?~. sp,xifir. security or property or any urtdlvidcd interest therein to any one or more of such t-' eft:ires;..arul to that end may~ppralst.Bnynr.allof the prnperlyso to.1x aJLOtted artd the ~ ~udgmcnt as to the propriety of such allotment and as to the relativo valet for purposes of ~~ disrrihution of the securities or property so allotted shall be final and conclusive upon all persons inicresred in the trust or to the division or distribution thereof. Page 2 of 3 pages t ~~0-1996 1`_~ [ ~'G ~~ / / /L•L~ l- -j i .i,-1.. IN WITNESS WF~REOF, I have hs~unto set my hand and seal on this Pagc 3 of 3 Pages of this my Last Wiil and Testament written this ldt3i day of November, 1991, 2 ~Y (SEAL) Ruth Jumper 1n our prc'crnrr, R~~rk~mpu_signtci~his~nd_deetarr:d.lt to be her.1NI11, and now st }per request, in her presence, and in the presence of each other, we si6rt es witnesses. ~- t \ - ~~ . / ;' -~ ~, ~; 1 J -(_ w.v~~w ~^,V ~z~ w1 ~ `P ~~ V'l.p J~~ ~ 1i~-~ ~ ~-~ ~'' t? C ~'~ Wl () f w C 1 ~ ~ ~ l/U t l ~ w /-' rJ ri (~ ~ (2Q~wc (V~ `~ -w y , ( w ww ~/ w~w> >2_~ ~ w~<~ ' ~w ~ti~l ~ ~ ~(w rti~l ~~~ % ~'w~ I/w~~.~,w w1 f ~ -w p,P w 6 < ;w n w w w > w~ y ~~, w~2r~~, -~dw, ww w ~ w~./ d-~ww~y l~~~ww w~~~ rwe,~wr~r~ ~ c~~ ~~~~ ~, (~; l ~ ~ ~t ~~. ~/~ ~w~ i ~ d) w ~ I ww,w~w ~ y d- ~ w ~ w ~-, ~~~~~ ww w w ~ G~w ~~ ~ ~ w ~ ~ ~ ~w ~ ~~ w ~ ~ ~~,~,~.~,w~. /_ ~ ,l f %~ L~ l -C,,,~~~(~w ,c~~l-'1 ~S ~w (J 2~, c-~ , wti w ~ ~ ~, `w~ ~- l ~ . ~ ~ww w,~rw w ~ w C~ ~w ~ ~z~<<-r c ,~ ~~ w~.-~-,-~cr2w~ ~ w ~ 2w P caw. P d - ww ~w ~~w (w~ S ( ~ ~ ~ ~ ~u ~ ~, r cam,-~ f v ~ ~yT~ ,.~ Pagc 3 of 3 pages ,~, , , COMMONWEALTH OF PENNSYLVANIA DEPARTMENT OF REVENUE BUREAU OF INDIVIDUAL TAXES ~'~~~' ~ ~`~ ~~~,,,{'-t~ERITANCE TAX INHERITANCE TAX DIVISION ~ ., S~T`A~'E M E N T O F AC C O U N T PO BOX 280601 ' HARRISBURG PA 17128-0601 - -`i - ~- ~' - _. REV-1607 EX AFP C03-05) ~~~~ ~~p ~$ ~~ ~: ! 3 i~ DATE 04-21-2008 ESTATE OF JUMPER RUTH V DATE OF DEATH 02-19-2001 . r ,~ 'u~~--EI~~'~~-%~ FILE NUMBER 21 01-0230 G,~~-~'';P`~~' ~~ ~ C; ;, , _ ~;J~=s COUNTY CUMBERLAND CARL C RISCH ESq ~~~ ' ~ ~~ ACN 101 MARTSON ETAL Amount Remitted 10 E HIGH ST CARLISLE PA 17013 MAKE CHECK PA YABLE AND REMIT PAYMENT T0: REGISTER OF WILLS CUMBERLAND CO COURT HOUSE CARLISLE, PA 17013 NOTE: To insure proper credit to your account, submit the upper portion of this form with your tax payment. CUT ALONG THIS LINE ~-- RETAIN LOWER PORTION FOR YOUR RECORDS 4- --------------------------------------------------------------------------- REV-1607 EX AFP C03-05) *** INHERITANCE TAX STATEMENT OF ACCOUNT **~ ESTATE OF JUMPER RUTH V FILE N0. 21 01-0230 ACN 101 DATE 04-21-2008 THIS STATEMENT IS PROVIDED TO ADVISE OF THE CURRENT STATUS OF THE STATED ACN IN THE NAMED ESTATE. SHOWN BELOW IS A SUMMARY OF THE PRINCIPAL TAX DUE, APPLICATION OF ALL PAYMENTS, THE CURRENT BALANCE, AND, IF APPLICABLE, A PROJECTED INTEREST FIGURE. DATE OF LAST ASSESSMENT OR RECORD ADJUSTMENT: 10-28-2005 PRINCIPAL TAX DUE: 12,876.45 PAYMENTS CTAX CREDITS): PAYMENT DATE RECEIPT NUMBER DISCOUNT (+) INTEREST/PEN PAID (-) AMOUNT PAID 03-13-2008 CD009405 4,822.68- 17,699.13 TOTAL TAX CREDIT BALANCE OF TAX DUE INTEREST AND PEN. * IF PAID AFTER THIS DATE, SEE REVERSE SIDE FOR CALCULATION OF ADDITIONAL INTEREST. TOTAL DUE C IF TOTAL DUE IS LESS THAN S1, NO PAYMENT IS REgUIRED. IF TOTAL DUE IS REFLECTED AS A "CREDIT" (CR), YOU MAY BE DUE A REFUND. SEE REVERSE SIDE OF THIS FORM FOR INSTRUCTIONS. ) 12,876.45 .00 .00 .00 '-a cu~~~ ~ l~ `co' 3t~Y ~ ~~r riz~,~ ~n ~/f~ ~ ~o ~~~ ~~~~ ~-- ~.;. -~ ,r ~~ /~~.~ .. f// ( l ["r"i "Z w~ IN RE: ESTATE OF RUTH V. JUMPER, DECEASED, LATE C-F SOUTH MIDDLETON TOWNSHIP, CUMBERLAND COUNTY, PENNSYLVANIA IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA ORPHANS' COURT DIVISION NO. 21-01-0230 PRAECIPE TO THE REGISTER OF WILLS OF CUMBERLAND COUNTY: I, Galen L. Jumper, hereby withdraw my Objection to the First and Final Account and Schedule of Proposed Distribution filed on June 3, 2008, on the understanding that the claim for reimbursement of Wilmot Jumper in the original amount of $40,981.95 (as set forth in Exhibit "A" to said Account) is reduced to the amount of $32,266.54. Date: ~~Z~O Galen L. Ju er .i~(f(j..i ~.1~~~~d~0 ~~ ~~~~~ 6a ~z ad z ~ ~nr $~~~ t f:g. Ih ' _ . r ) ~ 1r ' ~ COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNYSLVANIA ORPHANS' COURT DIVISION Docket No: 21-2001-0230 IN RE: FIRST AND FINAL ACCOUNT OF WILMOT JUMPER, DEBRA JUMPER, AND JOHN E. KILLINGER, JR., EXECUTORS FOR THE ESTATE OF RUTH V. JUMPER, LATE OF SOUTH MIDDLETON TOWNSHIP, CUMBERLAND COUNTY, PENNSYLVANIA, DECEASED. AND PETITION FOR ADJUDICATION/STATEMENT OF PROPOSED DISTRIBUTION ORDER OF COURT AN NOW, this 17th day of June, 2008, the herein account is confirmed absolutely and distribution is decreed in accordance with the proposed schedule of distribution herewith. ~- ~_._ ~r_ . ~.,_ - - - ;.._. - ' _= -- _; -- ~_;=- ; r,. _ = ` _, r_; V , CO =-- ~=== ;~_; ~~ ~~ Cumberland County - Register Of Wills One Courthouse Square Carlisle, PA 17013 Phone:(717) 240-6345 Date: 1/29/2009 f.= ~_~ _-, L _ ,-~ .. r~ _..~_. -~:-~ RISCH CARL C ESQUIRE '~-` ~'~~ ~' ~' .:-~ =~ 10 EAST HIGH STREET r ~ r.~ ~ ~_; _~. ~ CARLISLE, PA 17013 -~~""~ ~, k ,~ .. L.~ 1 ..... _ `1 C_'l ' ~. RE: Estate of JUMPER RUTH V File Number: 2001-00230 Dear Sir/Madam: This notice is to serve as a reminder that the Status Report by Personal Representative under Rule 6.12 is due on the below listed date. As per the AMENDMENTS TO SUPREME COURT ORPHANS' COURT RULES, NO. 103 SUPREME COURT RULES DOCKET NO. 1, for decedents dying on or after July 1, 1992, the personal representative or his counsel, within two (2) years of the decedent's death, shall file with the Register of Wills a Status Report of completed or uncompleted administration. This filing is due by: 2/19/2009 Please feel free to contact this office with any questions you may have. If you have already filed your Status Report, please disregard this notice. Sincerely, Glenda Farner Strasbaugh Clerk of the Orphans' Court cc: File Personal Representative(s) Cumberland County - Register Of Wills One Ccurthouse Square Carlisle, PA 17013 Phone:(717) 240-6345 Date: 1/29/2009 DEBRA JUMPER 1120 ROCKLEDGE DRIVE CARLISLE, PA 17013 RE: Estate of JUMPER RUTH V File Number: 2001-00230 Dear Sir/Madam: na ~ _ <,-:x ~ - l. _ ^^~ L.. i.J - ~ t«.... ~ l V 7W~ ~ ,. ~•y i --- , w _: - : , -. _" ~ °- r ~~ c;~ This notice is to serve as a reminder that the Status Report by Personal Representative under Rule 6.12 is due on the below listed date. As per the AMENDMENTS TO SUPREME COURT ORPHANS' COURT RULES, NO. 103 SUPREME COURT RULES DOCKET NO. 1, for decedents dying on or after ,7uly 1, 1992, the personal representative or his counsel, within two (2) years of the decedent's death, shall file with the Register of Wills a Status Report of completed or uncompleted administration. This filing is due by: 2/19/2009 Please feel free to contact this office with any questions you may have. If you have already filed your Status Report, please disregard this notice. Sincerely, ~~~~~~ Glenda Farner Strasbaugh Clerk of the Orphans' Court cc: File Counsel Cumberland County - Register Of Wills One Courthouse Square Carlisle, PA 17013 Phone:(717) 240-6345 Date: 1/29/2009 WILMONT JUMPER 1136 ROCKLEDGE DRIVE CARLISLE, PA 17013 RE: Estate of JUMPER RUTH V File Number: 2001-00230 Dear Sir/Madam: 4`.3 a.'r {,. - l~ ~~ 4~ _ ~,~, ~, r.> ~~ _=- .-~ ._.~ __ ., . . __- ~ , ~ --i ~ ~ . w u~t This notice is to serve as a reminder that the Status Report byr Personal Representative under Rule 6.12 is due on the below listed date. As per the AMENDMENTS TO SUPREME COURT ORPHANS' COURT RULES, N0. 103 SUPREME COURT RULES DOCKET NO. 1, for decedents dying on or after July 1, 1992, the personal representative or his counsel, within two (2) years of the decedent's death, shall file with the Register of Wills a Status Report of completed or uncompleted administration. This filing is due by: 2/19/2009 Please feel free to contact this office with any questions you may have. If you have already filed your Status Report, please disregard this notice. Sincerely, l.~z~,~c./,~~ Glenda Farner Strasbaugh Clerk of the Orphans' Court cc: File Counsel Cumberland County - Register Of Wills One Courthouse Square Carlisle, PA 17013 Phone: (717) 240-6345 Date: 1/29/2009 JOHN E KILLINGER JR 41 YORWICK RD CARLISLE, PA 17013 RE: Estate of JUMPER RUTH V File Number: 2001-00230 Dear Sir/Madam: ,-~ t _a .~ ...J ..,..7 c.._ r ~ 'r ..C'~n .. '..~ r 't _ ~ ,,.~ ~ ..; ,.: ; ~ i~~ :~:~ --. r~ `~ = _. , t_ ; This notice is to serve as a reminder that the Status Report by Personal Representative under Rule 6.12 is due on the below listed date. As per the AMENDMENTS TO SUPREME COURT ORPHANS' COURT RULES, N0. 103 SUPREME COURT RULES DOCKET NO. 1, for decedents dying on or after July 1, 1992, the personal representative or his counsel, within two (2) years of the decedent's death, shall file with the Register of Wills a Status Report of completed or uncompleted administration. This filing is due by: 2/19/2009 Please feel free to contact this office with any questions you may have. If you have already filed your Status Report, please disregard this notice. Sincerely, ~ ~ Glenda Farner Strasbaugh Clerk of the Orphans' Court cc: File Counsel Pa. O.C. RULE 6.12 STATUS REPORT REGISTER OF WILLS OF CUMBERLAND COUNTY, PENNSYLVANIA Name of Decedent: RUTH V. JUMPER Date of Death: 02/19/2001 File No.: 2001-00230 Pursuant to Pa. O.C. Rule 6.12, I report the following with respect to completion of the administration of the above-captioned estate: 1. State whether administration of the estate is complete: ®Yes ^ No 2. If the answer is No, state when the personal representative reasonably believes that the administration will be complete: Approximately six to nine months 3. If the answer to No. 1 is YES, state the following: a. Did the personal representative file a final account with the Court? ®Yes - No b. The separate Orphans' Court No. (if any) for the personal representative's account is: c. Did the personal representative state an account informally to the parties in interest? ~~ Yes ®No d. Copies of receipts, releases, joinders and approvals of formal or informal accounts may be filed with the Clerk of the Orphans' Court a'nd~m~ay ~be attached to this report. Date: February 3 , 2009 ~~ ' ""` ~~ ~ ~..`.° Signature of Person Filing this Form Capacity: :~ Personal Representative ®Counsel ~ `~a~ ~3~ , ~~awn~ l~f k~ S,NdHd~O ~v x~~ F:\FILES\Clients`11570 Jumper\11570.1.SF~R~ ~O' ~~ ~.. 93~ ~YV~ Christopher E. Rice ,Esquire Name of Person Filing this Form Martson Deardorff Williams Otto Gilroy & Faller Address 10 East High Street Carlisle, PA 17013 (717) 243-3341 Telephone ,-, ~ ~~ , ..l ~ ~ - r- L..3~.,'... _. ..~vl ..