HomeMy WebLinkAboutOC1968-1257 - ESTATE OF BANAHASKY·'·
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IN THE ORPHANS' COURT OF
WASHINGTON COUNTY, PENNSYL-
VANIA (/" /),~57 11 i? /.)
IN RE:
ESTATE OF:
ELAINE BANAHASKY,
A minor.
PETITION FOR
SPECIAL ALLOTMENT
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'--iJ K LAW OFFICES
BLOOM, BLOOM, ROSENBERG & BLOOM
WASHINGTON TRUST BUILDING
WASHINGTON, PENNSYLVANIA (YQ ~
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IN THE ORPHANS 1 COURT OF WASHINGTON COUNTY, PENNSYLVANIA
IN RE:
ESTATE OF:
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ELAINE BANAHASKY I
A minor.
PETITION FOR SPECIAL ALLOTMEN~
To: Honorable P. v. Marino, President Judge
And now comes your petitioner, ELEA.MOR BANAHASKY,
and petitions your Honorable Court as foliliows:
1. Your petitioner is an adult individual who resides
at R. D. #2, Finleyville, Union Township, Washington County,
Pennsylvania.
2. Your petitioner is the mother and natural
guardian of ELAINE BANAHASKY, a minor, eighteen (18) years of
age, born October 3, 1949, and the said minor resides with
your petitioner at the above address in this county.
3. That your petitioner is the parent of five
children who are supported in part·by their father, who is
divorced from your petitioner, at the rate of $95.00 every two
weeks and in part by the Department of Public A.ssistance.
4. That Anna Deharski, now deceased, mother of your
petitioner and grandmother of Elaine Banahasky, the minor,
sometime be fore her death which occurred on A·.1gust 2 3, 196 7,
established a savings account in the 14th Str=et Branch (South
Side Pittsburgh) Mellon National Bank and Trust Company entitled
as follows: 11 Anna Deharski in trust for Elaine Banahasky ...
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5. The above account is numbered 32496 and as of
October 6, 1966 contained the balance of $5,000.00. No deposits,
withdrawals or entries of interest are shown on the passbook
since that date.
6. That the minor, Elaine Banahasky is enrolled in
a school for ·exceptional children in North Charleroi, this
county, and her enrollment there will continue unt~l she is
twenty-one (21) years of age.
7. That the minor is required to expend certain
daily sums for her lunches while in attendance at ~he said
s=hool, and in addition is in need of certain furniture for
her bedroom.
8. That because of your petitioner's financial
status, it is not possible for her to provide the minor with
the funds that are required, and your petitioner celieves some
of the savings account referred to above should be used for the
benefit of the minor.
WHEREFORE, your petitioner prays your Honorable
court to cause an Order to issue,allowing your petitioner to
withdraw the sum of $500.00 from said account -in whole or in
part -to be used for the purposes hereinabove set forth.
AND she will ever pray.
BLOOM, BLOOM, ROSENBE~G & BLOOM
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COMMONWEALTH OF PENNSYLVANIA
SS:
COUNTY OF WASHINGTON
Before me, the undersigned authority, personally
appeared ELEANOR BANAHASKY, who, being duly sworn, according
to law, deposes and says that the facts set forth in the
foregoing Petition are true and correct·,·:to the bes-:: of her
knowledge, information and belief.
Sworn to and subscribed
r-d._ before me this ~ day
of·~, 1968.
. ROWENE EBEllriG NOTARY PUBLIC
MY COMMISSION EXPIRES FEB. 8, 1969
WASHINGTON, WASHINGTON COUNTY
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IN THE ORPHANS 1 COURT OF WASHINGTON p COUNTY, PENKSYLVANIA.
IN RE:
ESTATE OF:
ELA.INE BANA.HASKY I
A minor.
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0 R D E R -----
AND NOW to wit this .{(,.day of~~968,
upon consideration 6£ the within petition and'upon motion of
Bloom, Bloom, Rosenberg & Bloom, Esquires, A.ttorneys for the
p=titioner, it is hereby ORDERED, ADJUDGED and DEC~EED that
ELEANOR BANAHASKY, mother and natural guardian of ELAINE
B~NAHASKY, a minor, be and is hereby authorized to· withdraw
from the account established in Mellon National Bank and Trust
Company, entitled "Anna Deharski in trust for Elaine Banahasky"
and numbered 32496 in the 14th Street Branch, South Side
Fittsburgh for and on behalf of the said minor foL the purposes
stated herein -the sum of $500.00 in whole or in part. It
appears that the said Anna Deharski is deceased, ~nd the account
is now made up of funds which belong to the minor Elaine
Banahasky.
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COURT OF COMMON PLEAS OF
WASHINGTON COUNTY, ORPHANS'
COURT DIVISION
No. 1257 of 1968
IN RE:
ESTATE OF:
ELAINE BANAHASKY,
A minor.
0 R D E R
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fJ LAW OFFICES
BLOOM, BLOOM, RoSENBERG & BLOOM
WASHINGTON TRUST BUILDING
WASHINGTON, PENNSYLVANIA
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IN RE:
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COURT OF COMMON PLEAS OF WASHINGTON COCNTY
ORPHANS' COURT DIVISION
ESTATE OF:
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No. 1257 of 1968
ELAINE BANAHASKY I
A minor.
0 R D E R
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AND NOW, this /f' -alay of August, 1969, the Court
having been informed by Bloom, Bloom, Rosenberg & Bloom, attorney
for the estate of the above named minor, that a request has
jeen received from Mrs. Eleanor Banahasky, mother of the above
::1amed minor for school clothing for the ensuing s·:=hool year;
and it further appearing that the minor is 18 yea£s of age and
=esides with her mother; and it further appearing that Mrs.
Eleanor Banahasky is unable to fully support her children as
she is on public assistance and is divorced from her husband;
and it further appearing that Elaine Banahasky has a bank
account in Mellon National Bank and Trust Company. registeli.ed
in her name in the amount of $4,912.16.
AND NOW therefore upon motion of Bloom, Bloom, Rosenber
& Bloom, it is hereby ORDERED, ADJUDGED and DECREED that Mrs.
Eleanor Banahasky, mother and natural guardian of Elaine Banahask ,
a minor, be, and is hereby authorized to draw from the account
established in Mellon National Bank and Trust Company entitled
"Anna Deharski in trust for Elaine Banahasky," at ~o. 32496 in
the 14th Street Branch, South Side Pittsburgh, anc. on behalf of
the said minor for the purpose of purchasing clothing and other
r:.ecessities the sum of $25Q:l.OO.
UNITED STATES FIDELITY AND GUARANTY COMPANY
PITTSBURGH OFFICE
CENTRE CITY TOWER, 650 SMITHFIELD ST.
Register of W~ll~
Orphans •, Court
Washington County
Washington, Pa~ 15301
Attn: Clerk tn c~arge
PITTSBURGH, PA. 15222
R. F. ROMIG. MANAGER
July 13, 1981
Re:: Obed R. lewt~-61-0160-1178-75
(Guardtan for Elatne Banahasky Estate)
Dear Sir:
TELEPHONE:
412/261·2550
After ~avtng made several attempts to collect the outstanding
premium of $25.00 for the premium period 7-18-80 to 7-18-81 in
~dditton ~o the current outstanding and owing premi~m ~f $25.00
for the current pertod of 7-18-81 to 7-18-82, we have been unable
to recetve tte satd premtum from either Mr. lewis or the attorney
W. Bryan Ptz,zf·, !'f.
As you are aware, a responstbility of the guardian for such
an estate ts to ~attsfy all outstanding bills for the administra-
tion of the estate of the incompetent, of which the prewium for
the supporttng Surety Bond t~ certainly crinstdered as an ~utstanding
in responsible obltg~tton of the guardian.
Therefore, we a~k that you make a notation that the United
States Ftdeltty & Guaranty Company does not wish to honor .any
request fo~ addtttonal bond penalty in connection with this
particular guardi'anship without prior satt·sfactton of the out-
standing premtum from etther the attorney or the guardian.
Your cooperatton regarding this matter will be very much appreciated.
RCO/clh
Sincerely yours,
·R~c-~
Ronald C. Opferman, Supt.
Bond Department
cc: Ruscello Ins. Agency, lou Ruscello