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COMMONWEALTH OF PENNSYLVANIA
DEPARTMENT OF PUBLIC WELFARE
HARRISBURG, PENNSYLVANIA 17120
NORTHEAST REGIONAL COUNSEL
ALLENTOWN STATE HOSPITAL
1660 HANOVER AVENUE
ALLENTOWN, PA 18103
September 22, 1987
TELEPHONE NUM8ER
821-6323 or 821-6330
(AREA CODE 2151
ON THE NETWORK
378-6323 or 378 -6330
Mr. William R. Bollendorf
R.D.#3
Box 3676
Reading, PA 19606
Re: Estate of Richard Bollendorf
Dear Mr. Bollendorf:
Thank you for both letters. I appreciate all'
of your concern and interest in this matter. If you
have any questions please do not hesitate to contact
me. Again, thank you.
Sincerely,
,
!
;
Thomas Blazusiak
Northeastern Regional Counsel
TB:nn
8. This Court on
12/15
, 1911L-, adjudi cated
as incompetent and appointed
Richard Bo11endorf
S. Marie Piro
, as his/her guardian;
Connie B. Clark, Guardian Officer, at Laurelton Center currently serves
as successor guardian since the incompetent transferred to Laure1ton
Center on
5/26
, 19~.
9. The incompetent was discharged from Laurelton Center on
9/5 , 19~.
10. The incompetent now resides at Group Home, R. D. #1, Box 672
in Duncannon, PA 17020
11. To the best of Petitioner's knowledge no institution or
individual is willing to be appointed substitute guardian of the estate
of Richard Bo11endorf
12. The incompetent has income consisting of:
(a) Money due from
in the amount of $255.00
Social Security
per month
13. The incompetent has assets, real and personal, of which the
Petiti oner is aware, in the amount of $ 1301. 45
, consisting of:
(a) Cash held by the Guardian Officer
in the amount of $ 1301. 45
Laurelton Center
as of
9/4 '
(b)
, 19~.
( c)
;; PETITIONER'S
EXH IT
, !J
14. The incompetent has debts outstanding in the amount of
$ - 0 -
, as of
9/4
, 19~, consisting of:
owing to the Commonwealth of
(a) $
Pennsylvania as payment for care and maintenance.
(b) $
owing to
as payment for
15.
Connie B. Clark
, Guardian Officer at the
aforesaid institution, and h~ successors, having been appointed Guardian
of the Estate of
Richard Bollendorf
by this Court, can
no longer serve the incompetent because of the distance between
Duncannon, PA
and
Laurelton Center
WHEREFORE, the Petitioner prays this Court to confirm the First
and Final Account of
Connie B. Clark
, Guardi an of
Connie B. Clark
and to discharge
of all duties and
Richard Bollendorf
responsibilities as Guardian of the Estate of -Ri~n~rn Rnllpnnnrf
J -
BY: e77?//?.-LV ~ (1L~ b