Loading...
HomeMy WebLinkAbout10-05-78 ~ ~ MARK AND WEIGLE Attorneys at Law Shippensburg, Pa. ..It ','C, .... t r. . (.. ESTATE OF NAN W. SCHOCH IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA AN ALLEGED INCOMPETENT ORPHANS' COURT DIVISION NO. 6~~- ~I 1978 PRELIMINARY DECREE I i Ii I' I I, ! Ii I! r Ii !, Ii Ii I :1 1\ !I '1 I; H I'". I i I; II Ii II II II I I AND NOW, to wit, this day of October November 1 10:00 I , i I I I I I I I I ! i ! j i : 0' clock ~.M., EDST. i I I , ! i i I I I j 5th 1978, upon consideration of the annexed Petition, it is ordered and decreed that a citation issue returnable on November 1, 1978 directed to Nan W. Schoch, to show cause why she should not be adjudged an incompetent and a guardian of her estate appointed; hearing to be held in Courtroom 2 Number Cumberland County Court House, Carlisle, Pennsylvania, 19 78 at -' on At least 20 days notice of the hearing shall be given to Nan W. Schoch, the alleged incompetent, by personal service of a copy of said Petition and citation, and by service of notice upon the next of kin who are sui juris, personally or by certified mail. Notice shall also be given to all next of kin listed in para- qraph number 7 of the petition. ,I II 'I /~ BY THE COURT, ~~.~ I, J. . fl <t 61 o / ,0 tOOK 105 fACe- 11,-1 '!r'j , r' " ,\-o >'j ~; .., '4, I I MARKANOWEIGLE I ~ Attorneys at Law Shippensburg, Pa. If ~..,' I .. . r -'" ESTATE OF NAN W. SCHOCH IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA AN ALLEGED INCOMPETENT ORPHANS' COURT DIVISION NO. 1978 I I I: r Ii ji Ii ~ ~ FINAL DECREE AND NOW, to wit, this day of 1978, upon consideration of the annexed Petition and after a hearing held following due notice, it is ordered and decreed that. If !1 iI II " II II II 'I I ! I II II II I- II 'I II NAN W. SCHOCH is adjudged an incompetent. The First National Bank of Shippensburg, Shippensburg, Pennsylvania, is appointed guardian of the estate of Nan W. Schoch. The said guardian is directed to file an inventory in accordance with the provisions of Section 402 of the Incompetent's Estates Act of 1955. BY THE COURT: J. ... '., '.- " f ; _ ;.. ...... MARK AND WEIGLE Attorneys at Law Shlppensburg, Pa. If' .\ . . ESTATE OF NAN W. SCHOCH IN THE COURT OF C01~10N PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA AN ALLEGED INCOMPETENT ORPHANS' COURT DIVISION NO. 1978 PETITION FOR APPOINTMENT OF GUARDIAN OF ESTATE TO THE HONORABLE, THE JUDGES OF THE SAID COURT: The Petition of Nancy B. Seeds respectfully represents: 1. I. That your Peti tioner is Nancy B. Seeds, of 305 Berkeley Road, 11erion ! i Station, Pennsylvania, who is. a niece of Nan W. Schoch, an alleged Ii I incompe ten t . I' , 2. I I I: That the alleged incompetent, Nan W. Schoch, is eighty-seven (87) years of age, having been born on January 14, 1891. 3. That the said Nan W. Schoch is presently a resident of the Leader Nursing and Rehabilitation Center, of Chambersburg, Franklin County, Pennsylvania, having entered said nursing home facility on or about July 28, 1978. 4. That the siad Nan W. Schoch, because of mental infirmities of old age and because of mental infirmities due to medical illness, is unable to manage her property properly and effectively. 5. That the alleged incompetent's husband is not physically or mentally I I I I I I I I I 1- able to manage her property nor is there any innnediate family who is able and willing to do so. i.,V:'1/ 1A..-) '~vV" I.rt. ~ Ii..~ ..'V0 ~t~ (.j :- J. I :u' ~.) .1 t . \\/ . ..': r:h ..",. ., I MARK AND WEIGLE Attorneys at Law Shlppensburg, Pa. I I " I, I I: r If Ii !l l! ~I II II I, I II il II ! I I i ! I f i I I ! -~ . I ,... . 6. That the estate of the said Nan W. Schoch so far as your Petitioner has been able to determine is as follows: A. Approximately seven (7) acres of real estate with a two story log cabin dwelling home erected thereon and situate in Upper Mifflin Township, Cumberland County, Pennsylvania, owned jointly with husband and having an approximate fair market value of $8,000.00. B. Checking account, The First National Bank of Shippensburg, Shippensburg, Pennsylvania, Account No. 574-752-0, $1,141.88 as of September 14, 1978, held jointly with husband. C. Savings account, The First National Bank of Shippensburg, Shippensburg, Pennsy1vania,Account No. 1-09499-2, $14,628.11 as of September 14, 1978, held jointly with husband. D. One hundred forty shares of Bethlehem Steel Company, common stock having an approximate fair market value of $3,535.00, held jointly with husband. E. One hundred shares of Texaco Company, common stock having an approximate fair market value of $2,512.50 held jointly with husband. F. One hundred eighty-one shares of Sun Company, common stock having an approximate fair market value of $7,737.75, held jointly with husband. G. One hundred fourteen shares of American Telephone and Tele- graph Company, common stock having an approximate fair market value of $6,982.50, held jointly with husband. H. Two hundred thirty-nine shares of Pennsylvania Power and Light Company, common stock having an approximate fair market value of $5,138.50, held jointly with husband. I. One hundred two shares of RCA, common stock having an approximate fair market value of $3,085.50, held jointly with husband. J. One debenture account of RCA having a face value of $300.00, held jointly with her husband. K. Savings account, Williamsburg Savings Bank of Brooklyn, New York account #A 508549, $21,837.46 as of September 14, 1978, held jointly with husband. L. Savings account, Philadelphia Savings Fund Society of Philadelphia, Pennsylvania, account #E 631287, $2,229.77 held jointly with husband. M. One hundred shares of common stock of American Brands Cor- poration, account #52763648, having an approximate fair market value of $5,125.00 held jointly with husband. -2- DNP l' A'- rarr 4,"'~C ',/l)IJf, 1.1'0 i",.. . llQ 1 ; ,., \ () ~ . , , 'j ':.. ( -1 ) .~ V'... CL _ Of. ~, .:t. . t f; ); l' '. (' .. .. ~:- " 4 . , ~ R "..'~, -., ',~, " ' ," '",,' ",t '" "." ' , . I: i! r H l1 . . . . N. Two lady's diamond rings (three stones each) having an approximate fair market value of $3,500.00. O. Social security benefits of $33.70 per month. P. Miscellaneous household furnishings owned jointly with husband having an approximate fair market value of $2,000.00. Q. American Tel. & Tel., 8 3/4% debenture bond having an approximate fair market value of $300.00 and held jointly with husband. I j I I I I I I I j I I i I I I I I I I , I I I I i I I ] I I 7. alleged incompetent are: That the names, addresses and relationship of the next of kin of the j I I I ! I I i ,I II Ii I I I I I j I ! I ! Shippensburg, Pennsylvania, which has no interest whatsoever in the personal or I ! II I i r i Ii .I I j I I A. Louis T. Schoch (husband) South Mountain Restoration Center South Mountain, PA 17261 B. Nancy B. Seeds (niece) 305 Berkeley Road Merion Station, PA 19066 C. Pauline Young (sister) Brynwood Apartments Wynnewood, PA 19096 D. Gustav Saling (brother) 700 Bayshore Drive Fort Lauderdale, Florida 33304 E. Albert Saling (brother) c/o Gustav Saling 700 Bayshore Drive Fort Lauderdale, Florida 33304 F. Samuel W. Saling (nephew) Palmers Mill Road Media, Pennsylvania 19603 G. Robert L. Saling (nephew) 3806 Berry Avenue Drexel Hill, Pennsylvania 19026 8. That the proposed guardian is The First National Bank of Shippensburg, financial affairs of the alleged incompetent. 9. determine the competency of the said Nan W. Schoch. That no other court has ever assumed jurisdiction in any proceeding to MARK AND WEIGLE Attorneys at Law Shlppensburg, Pa. ,., i10-" r:: Aft? BI.,ICK ~_ \) tit.:.. 'it~. ' '_~~ --l J .! ,. .'''. ;~, ;: ~ r~ f , r _I \,' j j ') ,:-,,; .. I MARK AND WEIGLE I Attorneys at Law Shippensburg, Pa. ~ . " 1! ~. . q ,'. ~ \---~ 10. That the alleged incompetent has no guardian of her estate or person. WHEREFORE, your Petitioner prays that a citation issue directed to the alleged incompetent with notice thereof to the next of kin to show cause why she should not be adjudged an incompetent and a guardian of her estate be ,r ........---\ , i ! appointed. / .....~ ....,,-~..- -4- ftOO~ 105 fA{E 4,(18 1..1 ; t t. :~ 'Jp( .._.-.",,,,,"-,,-~--.^....<.._~_......-.".....,.,,",,,~.,~, _.._.".,...""",~..,_#..~- I'; '.~ '" .. (, I ~ It H it i! II Ii II II j' I ~ II " I I i II /1 "I II II II II MARK AND WEIGLE II f Attorneys at Law Shippensburg, Pa. 1 ! i I j ! 111' :' l'~, 'T ',I " '1'-, " J f.." ,'.- ." COMMONWEALTH OF PENNSYLVANIA SS COUNTY OF CUMBERLAND I " I " i I. " I, I I t. I I, I' ~ ~ Before me a Notary Public in and for said County and State, personally appeared NANCY B. SEED$ who being duly sworn according to law, deposes and I states that the facts set forth in the foregoing Petition for Appointment of Guardian of Estate are true and correct to the best of her knowledge, information and belief. V' ~(.L'YIC1 [) .S-uck Nancy . Seed4" Sworn to and subscribed ./ r before me this ~:-<;".) - /..j. if. / f (,.-.{,M-!.A..A ' I-{ -..--"'4/ 0, day , 1978. --I .. f /J4 .I,,i/ /;.: 'Z::://l' ?.-0/,,-,. /)/i. "'/~~"/lll!/:..cc) , . .,'" / it " r I H "'....-.~.:..-'~ . K'ATHRY.N M. CAMPBEtC Notary Public, Wyrmewood, M()ntgome~ Co', My Comm;ulon ExpirslJ MaS' 14, 197i h 'I H Ii I' " Ii it . ~. , '\0 \ , ~ , l I f" I ~ 1 f f J , , "".., '~'i\'$~;~~-i' It r./.t~~"J" \, () ':....~ ._""'. '. ~\ ~....:-J '~:~1}~(~~i;~-\. ~!< \'-:,~' \ " C.: ~ .A ......- .~~::~:(lj !f.~} 1'{~:')~.""~".iI....t ..,4b .,.:.:..... '., t '.q i '". "'\' ~-,;", , lOt' r' I i ~'.,', '0-' . . \ ,,- ,..\ "'f H". ,&t'" a~OK 105 fACE 409 .~ ",: .. \. " . . .~ ~;~~: ~. .. . . ,..~ J ~ . t- MARK AND WEIGLE Attorneys at Law Shlppensburg, Pa. n I'!}:>' , 1 . . . 1. .,: ESTATE OF NAN W. SCHOCH IN THE COURT OF COMMON PLEAS OF CUMBERLAND COUNTY, PENNSYLVANIA AN ALLEGED INCOMPETENT ORPHANS' COURT DIVISION NO. 1978 ACCEPTANCE BY PROPOSED GUARDIAN Ii It I, ROBERT E. GRAHAM, certify that I am the President of The First II II National Bank of Shippensburg, Shippensburg, Pennsylvania, and am authorized 'I to execute this acceptance of guardianship on behalf of said Bank. Neither I, 'II The First National Bank of Shippensburg nor myself is a fiduciary or an i officer or an employee of any corporate fiduciary of an estate in which the alleged incompetent has an interest, nor a surety or an officer or employee of any surety of such fiduciary. Neither The First National Bank of Shippensburg nor myself have any interest adverse to the alleged incompetent. The First National Bank of Shippensburg hereby agrees to accept the appoint- ment as Guardian of the Estate of Nan W. Schoch, an alleged incompetent. ~bt, Robert E. Grafiam, President The First National Bank of Shippens- burg (SEAL) '~DOK 105 f,Ae~: 410 I I L I I I II II ! I" \ L; j : ~ Z~ ~<r: OH Z UJ<r: <r::> ~....:I ....:1:>-1 p.,CJ1 ZZ ZZO O~H ~P-<;:; o ~:> U:>-IH E-<A ~Z 00 o E-<U P::< o o U co r-. 0"\ r-l H P::< o o AU ~.. ....:IUJ ~~~ HI'!:liI:J ~p.., ZO-lP::<O HUOZ ::J:1 U o ::J:1 U (/) H Z ~ E-< ~ ~ o U Z H A ~ o ~ ....:I ~ ~ ~ 14 ::s: ~ Z ~ o ~ H <r: H (/) ~ ~ Q) C>Q r:--. is-- -.. ''') ~ o H Z ~ ~~ ZH H<r: OH p.,UJ p.,~ <r: ~ p::<0 o ~~ ZH S~ H<r: HO H0 ~ p., " IJl W ~ ~ ~ t <i W .J ~ z ~ ~ ~ Q ~ D. iD Ul Z z t ~ c5 <( Z I- 0: 0: Ul J ~ 0 ~ ffi ~ ~ ~ Q ~ <( ~ & :r (J) -> .,; " .1l ;; ,,: .. h ~ ..c: Jl .Q " Q. oS .~ Q. ~ .:J ~ ;; J-o