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OC1969-0646 - ESTATE OF MOSER
~ 1 ..\,1 .~~ r,. ,. ~,'"l '.' j,.... ',j IN THE ORPHANS'COURT OF WASH- INGTON COUNTY,PENNSYLVANIA NO t ~or 10(30 ,~ frM!I T- IN RE: ~, ESTATE OF XAVIER MOSER AN INCOMPETENT ), .<.::'", PETITION FOR APPOINTMENT OF GUARDIAN LAW OFFICES OF MARTIN,ZEWE AND FERGUS ..~1enc..o ~ m=Z5!1 ~f"'~.j;':. ~1r.t!~·1 ~,'e ~ .....-# 'e ~ ~ ~w !I •C .f ..,\ ~,,! I,;'J" ,•.,'~. ;.'. 9 ~,": "/.,J'~ ,0 b/;fm~71J1 WenI\.:I ~=-t rT', \1:'/",1 C""""'"1·~F·('"~.-.,1~~,~~\)1 r ~~.}',~t:~,~:'.'~'i'~F !ii.. "~~~G~©~11 ro-:\'--~-OJ I~.. _a U ,1IF.. ';i (i ~) II~,\i.jIif',· I \ J, ,I ~t L--- I, I 1 ," I ~" ~J .:! 27 SOUTH COLLEGE STREET WASHINGTON,PENNSYLVANIA 15301 I j::<.:<-. ,.," ::.... IN THE ORPHANS'COURT OF WASHINGTON COUNTY,PE NNSYLVANIA ,IN'RE: ESTATE OF XAVIER MOSER AN INCOMPETENT ) ) ) ) ) ) NO,~ioOF 1969 ~--l MARTIN,ZEI'.£AND FEI'GUS ATTORNE'S AT LAY" 27 COL.l.e=iiE S7REE- WASH !N:;TON. PENNSYLV'NIA 1S30l1 PETITION FOR APPOINTMENT OF GUARDIAN The petition of Helem Moser respectfully repre991ts: I,That she is the mother of Xavier Moser. 2,That the said Xa'\.·ier Moser,resides at Torrance State Hospital,is me::ltally incompetent. 3.That in the interest of the safety and well-qeing of the ',said Xavier Moser the appointment of a gua,rdian of his estate is essential for the reason ,' tha:he has a cause of action in \Nashington County,Pennsylvania which must :::>e ;>rotected 0 40 That the following is a list of all persons residing within the ·:::;oomonwealth who are su i j:..Iris and would have any interest 'in the well-being of Xavier Moser: (1)Sa,ndra Davis,RoD 0 #3,Claysville;Pennsylvania; (2)Linda Ma.-tin,691 1/2 Cleveland Road,Washington, Pennsylve nia;, (3)Helen Moser,448 Hillside Avenue,Washington, ,Pennsylvania 0 50 That no person ha3 been appointed as guardian of either his person (or e3tate 0' .. ( .MARTIN.ZEWE AND FERGUS ATTORNEYS AT LAW 27 COLLEGE STREET WASHINGTON. PENNSYLVANIA 15301 6.:That he recommends to the Court the appointment of Marian Josephine Strawn. WHEREFORE,·Petitioner prays that the Court appoint a guardian of the estate for Xavier Moser. '...'. .-. COMMONWEALTH OF PENNSYLVANIA. COUNTY OF WASHINGTOK ) )SS: ) I"·,"",. .Before me,the undersic;;red authority in and for said County and State,. personally appeared HELENl MCSER,who,fitst having been duly sworn according I to law,deposes and says that ':he allegations of fact set forth in the foregoing Petition are true and correct to the best of her knowledge,information and belief. Helen Moser Sworn to and subscribed before me this /L t!J,day eff •.rtlriy ,1969. MARTIN.ZEWE AND FERGUS ATTORNEYS AT LAW 27 COLLEGE STREET WASHINGTON. PENNSYLVANIA 15301 (-'.;... i, i; 1 .... "" IN THE ORPHANS'COURT OF WASHINGTON COUNTY,PENNSYLVANIA ;.. IN RE: XAVIER MOSER, AN INCOMPETENT ) ) )NO. ) ) of 1969 O.C. CONSENT AND ACCEPTANCE I hereby consent to act as Guardian of the Estate of Xavier Moser;I am t..j.Lf years of age and reside in Pennsylvania at R,~tt:.(,&tf:e.e.t, MARTIN.ZEWE AriD FERGU= ATTORNEYS AT LAW 27 COl.l.EGE STREET WASHINGTON. PENNSYLVANIA 15301 "---J1t~(l/.)~~~~~.....l-t..;:,o...t::.Yl~'Pennsylvania.I have no interests adverse to the said Xavier Moser. HELEN MOSER In w11r (@rpI1Utts'monrt .of ilIusQingtnn aInun!y,Jrnn5ylunnitl . I~HE:((. ·ESr:'ATE t)F ).) . ~((NO.646 of i969 XA1JIER:O:::mpetent!QHtatin~ .,Q1;ommonmralt4 ~f Jr,nu5yluuttia }5D: ·<nOll-ntt!11f Ifun I1lngton '.. Te.:·XAVI.I!."R MO SER . ,3ur P€tition of:-------------- DIIr'(1!nmmanb iou,X=A:.:..:V-=I-=ER:..;..-:.M~O=..:SER:;;:.::.:._'_' that,laying aside all business and excuses whatsoever,you do file in the cffice of the Clerk of our Drphans"Court of Washington County,a full and: CoDpl€te an3wer~under oath,to each and every of the a"7erments of the said pet:.tioJ.,on or before Monday ,the 30th day of __J_un'---e _ 1;j 69,at 10.:00 o'clock..!-.M.,and show cause why the ,said -Xavi er .. Noser should not be ad,judg'ed an incompetent an d a Guardian of ~is e3ta~anpointedr and further c.bide the order of our said Court in)he premises, If'you fail hereof,the petition may be taken PRO CONFESSO and a -dEcree·made against you. WITNESS the Honorable ~.Vincent Marino,President Judge of our .~ said CO':lrt,at Washington,Penna.,thet2:;~19~. Clerk of the Orphans'Court M,4R'In·-,Z3WE &;FERGUS,Esq. ,Attorney for Petitioner. 27 S.Co11ege st.,Washington,Pa., Gear'15301. f':._..... ."..., •....,} ,.~... IN THE ORPHANS'COURT OF WASHINGTON COUNTY,PENNSYLVANIA IN RE: XAVIER MOSER, AN INCO MPETE NT ) ) )NO. ) ) ORDER of19690.C. ~- AND NOW,this ..{G day of.,1969,upo.nn,.,ccoonnssiiddee".y.p'In...o..".__flf"""l- «.-~:~""-,.-;....~ the foregoing petiti0'1-"0::f1 .'~3V,1969 at ',/c:'," 4-m.at -CL/'~~,Pennsylvania the time and place for hearing on said peti:::-ZPe:ioner is hereby directed to serve a copy of . the Petition and notice of the hear~.a~odays prior to the date of thE hearing,upon~~pers nally and upon.. -by·Registered Mail~.~.::f~ "'ARTlN,ZEWE P.ND FERGLS ATTORNEYS AT LAW 27 COLLEGE STREET WASHINGTON, PENNSYLVAN[A 15301 BY ~!I" .', :;j 1;.' IN THE ORPHANS COURT OF WASffiNGTON COUNTY, PEl\T l\T~VT ,vAJ\JI ~ N'().b4 b at 1!:J b!:J U •C • ."__"...i....._- IN RE: '\E::atate of Xavier Moser ) /. ". .' AFFIDAVIT OF SERVICE .- ~~L C; i...(~./~. ..:, .~~). \,I:" '1/ ./~. ,~.r \.. "-..,"~(""',.; f "\"..' I~I·il \, , tI(' I r ·l ~,.", .''';;~ -.• ~....~~·~i ~~::11J:P.o!=Tl2:(n C)--. I ..".;(f~...,.;.:(/')CD ~·-1 mn(71 1= ......,j ;V r~o;~~:r:: ~'IC'-':t,-",· ~:~:;:~.r ~ ='Q·r G~-cn . 1 '"...~ II enc..o ~ c- ~~ l=:r II·=<::rr co ''.~ 0 '""Cl ..., :::r.: " ~II fi· ~IJ."":. of ii LAW OFFICES OF MARTIN,ZEWE AND FERGUS 27 SOUTH COLLEGE .STREET WASHINGTON,PENNSYLVANIA 15301 \ -{I -:>..-~;-8 /R ·v'" l·l /'~ '....::,...• AFFIDlKVIT OF SERVICE COMMONWEALTH OF PENNSYLVANIA ) ),ss. COUNTY OF WASHINGTON ) Personally appeared before me,the undersigned authority _.l:Au.N:lL.Nl.ll4lA~Tyu..T"".",,!=S,L.U~MAu.Q.I...lN!..-,who,being duly SV."'0fn according to law,deposes and says that she is a Registered Nurse at the Torrence State Hospital MARTiN.ZEWE AND FERC US ATTORNEY;AT LAW 27 COLLEGE STREET WASHlr GTON. PENNSYLV~~IA 15301 and has personally served the Petition for Ap'pointment of Guardian,Notice and Citation returnable to June 30,1969 at 10:00 o'clock a.m.upon Xavier Moser,who is there confined,on the 1St day of June,1969 aj:J"2,:o.~(i)",.0,'clock L·m .'and made known to him the contents thereof 3~prn tp and subscribed I 'jefore me this .Lfi:=day ofdune,1969 a~~::.-NOtarY p i '::HARLOTTE L.YOUNG,Notary Public ~ashington.Washington Co.,Pa. LAy "Commission Expires August 3,1970 t' \,\'~ ~ A•II' \. "~ In the Court of Common Pleas of Washington County.Pennsylvania Orphans'Court !)ivision No,646 of 1969 IN RE: ESTATE OF XAVIER MOSER. an alleged incompetent. DEC R E E AJ /(Marino,P.J.)rt/ " c.......,''.l ~ "v ~ ~...~.." ~..:o0::>1''1)'~,.......<0 -<..J...:..~.......c::.. .;:::..G')G') C')'I C') ''I ~>,"1<::J ':<'7 ,....• ..:::::-(J i'" CJ 7 "<;:);': ..:''''''-'.'-.-...1>'"..),t~"3~:'.,.Go)<;:).... c:::.)'.. (<:;,i';' ~"'"".~I', ¥~J' ,"f::::;; ,.'" '.', ''';<''' ORPHAN'S COURT WASHINGTON,PA.; /?--j..-31{T / ~2 ~,.,., IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY~PENNA. ORPHANS'COUR T DIVISION IN RE: ESTATE OF XA VIER MOSER~ an alleged incompetent. ) ) ) ) ) ) ) No.646 of 1969 FINAL DECREE AND NOW~June 30 ,1969~upon consideration of the annexed petition and after a hearing held following due notice,it is ORDERED and DECREED that XA VIER MOSER is adjudged an incompetent. Marian Josephine Strawn is appointed Guardian of the Estate of XA VIER MOSER~an incompetent. The said Guardian is directed to file an inventory in accordance with the provisions of Section 402 of the Incompetents'Estates Act of 1955 ~ as amended. The said Guardian shall file bond wUh,.sufficien,t surety in the s urn of .,00 0 0 O.~ BY..the C.~ori".Jt.t ..,'I !!\J=!lrlC~ .P.J.r. II'I! STA7E OF PENNSYLVANIA COUI.JTY OF WESTMORELAND William J.Schilling,M.D.,being duly affirmed according to law deposes and says: 1.That he is a practicing physician:re sident at the Torrance State Hospital,Torrance,Pennsylvania,and is connected with the Torra.nce State Hospital as Superintendent. 2.That Xavier Moser,a resident oj the County of Washington, State of Pennsylvania,was admitted to the 'Iorrance State Hospital at Torrance,Pennsylvania,on July 25,1968,in accordance with the Mentc..l Health Act of 1966. 3.That upon admission of the said Xavier Moser on July 25, 1968,to the said hospital,his mental condit:'on was such as to requi:"e detention and treatment in a hospital for mental troubles. 4.That the said Xavier Moser is so mentally ill that he is unc:ble to take care of his property and in consequence thereof is liable to dissipate or lose the same and become the victim of de signing persons. 5.That the general condition of the said Xavier Moser is such that his welfare would not be prC?moted Jy his presence in County Court. 6.Prognosis for the ultimate recovery from his schizophrenia is gocxi,however,in all likelihood,he will be incompetent to handle hiw o\Jn affairs for a period of.2 to 3 years especially in money affairs or in aiding in his defense. Further deponent saith not. J M.D. Sworn to and subscribed before:me this 11th day ::>f June 1969. ~tt-~ MARY A..~ANN"YI NOTARY P: TORRPNCE,WESTMORELAND CO. ".Y CCMMISSION EXPIRES SEPT.15.1969 IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF XA VIER MO SER , an alleged incompetent. ) ) ) ) ) ~ No.646 of 1969 HEARING ON PETITION FOR APPOINTMENT OF GUARDIAN BEFORE : APPEARANCES: TIME: THE COURT: MR.ZEWE: THE HONORABLE P.VINCENT MARINO,Pres~dent Judge of the said Court. LAWRENCE ZEWE,ESQ.,of Washington,Pa., representing the Petitioner. Monday,June 30,1969,at 10:00 o'clock. A.M.,EDST. Mr.Zewe,you may proceed. If it please the Court,this is the petition of Helen Moser in the matter of the estate of Xavier Moser,an incompetent,which is the sUbject of thi hearing today,which is an incompetency hearing and which Mrs.Moser is also petitioning the Coutt at the same time to appoint a guardian for the estate of Xavier Moser. The guardian who we are asking to be appointed for Xavier Moser is Marian Josephine Strawn,who is also present her in Court today. Before going into the testimony,I would like to present to the Court at this time the certificate 2 I of receipt of certified mail of Mrs.Linda Martin,Showi1g l delivery to her on June 2,1969,and Mrs.Sandra Davis,May 31,1969,and Mrs.Helen Moser on June 5,1969.These certif.icates from the Post Office are representative of their receipt of the Petition for Appointment of Guardian ad the notice of hearing which is set for today.If the ,! Court please,I will hand these up at this time and I did file with the Court the Affidavit of Service by a registered nurse at Torrance State Hospital of the service of this petition and notice upop him. THE COURT:It appearing to the Court that proper service has been made in accordance with statutory requir ments and rules of this Court,the Affidavit of Service nd other papers are ordered filed and made a part of the record.You may call your witnesses. MARIAN STRAWN I S CALLED AND SWORN. EXAMINATION BY MR.ZEWE: Q What is your full name? A Marian Jos~hine Strawn. Q Mrs.Strawn,are you familiar with the SUbject of this hearing today which bears upon the incompetency of Xavier Moser? A Yes,sir. Q Mrs.Strawn,I am asking you now,how long you have known Xavier Moser. Since the day he was born,to be exact. Which was approximately how many years ago? About 22 years ago in March,the 31st of March. Will you tell the Court how well you have known Xavier? Well,I feel I have known him almost as well as my own children.I have been around him continuously,you know,ct periods during his 22 years. An9-during these years,did you,in fact,help raise XaviEr? Yes,I did. Will you tell the Court in what way you have done this? We'll,when his mother was in the hospital for his younger sister and all,I had him for some time then.And I have babysitted,took care of him at several intervals.How mcillY? I couldn't tell you.I mean I just couldn't begin to tel you how many. During some of the$e periods'has Xavier actually lived wi~ you? Yes. Mrs.Strawn,have you noticed over the past several years any particular change in Xavier's characteristics or personality which would have any bearing upon his com- petency? A The last few years,more so than any other time.I mean back in childhood,everything seemed to be fairly good, I thought. Q I know this is a difficult question for you to answer,bu~ I am going to ask you to tell the Judge very candidly exa-tly wpat changes you did notice in Xavier in the last few year~. A Well,he seemed to,I don't know,be dominating or some- thing.He just didn't act like a normal child should or like my own in comparison or what have you.I don't know, really,how you would explain it.And then whenever he'd broken his leg the last time is when he really,this is when it really develo~d the strongest I feel and all.He was going back to the times of Christ and all in his mind. This is how he would refer to and he talked as they did, Thee,Thy and so on. Q Would you say this was somewhat of a regression of what you had noticed over the past years? A That's what it seemed to me.I'm no-doctor or anything. This is what it seemed to be getting stronger. Q You have been visiting Xavier while he was in Torrance Hospital,have you not? A Definitely,yes. Q What have you observed strictly as a lay person of his personality at the present time? A Well,you can tell just by talking to him and seeing him that he's not well.At times he carries on fairly good conversation.But repeating quite often.And then he will get sidetracked too.But I can understand it.Of course,I've been around him,as I say again. Q Mrs.strawn,I understand you have told me this,that you ~ve 5 offered to act as guardian of Xavier's estate. A Yes. Q Is this true? A That's right. Q ::A~>~Q I:i Co A :0:c·tot:;;; ] II•31 t Qii:~ C.. l: C iiill:... .~A 0-... II:" t-o:::lo U -I< ~Q ""o A Q Could you tell us what there would be by way of assets in this estate,approximately? What do you mean there? I'm going to lead you just a little bit. I don't quite understand what you mean;as to what estate he has now you mean or what?Nothing now as far as I kno , if that's what you mean • That's what I wanted.More specifically,in addition to t proceeds from the law suits which he has filed in the Cou of Common Pleas of Washington County against Chartiers Cleaners,do you know of any assets which Xavier has what'soever? Nothing,only he would have Social Security coming in whi € he's in the state hospital.This I have beennotified. That's all I know. Have you bean contacted relative to Xavier's Social Secur ~y? Yes. Will you tell us what the nature of the contact was? A You mean when they sent me as to what he would get? Q Yes. A I got that last week and he will draw $59.90 a month. Q And is this while he is in Torrance? A This is while he's in the State Hospital,yes.Should he be discharged from there or anything,I'm to notify them i¢mediately. Why did the Social Security Administration notify you? I was the one to apply for the Social Security for him and all,rather than the state hospital,because I felt it better that somebody else handle it than the state hospit Now I understand that I am to give them a percentage. I have not checked out completely yet.I want to check into it before I do anything. So as far as applying for Social Security,did you do thi voluntarily? A Yes,definitely. Q Have you been therefore appointed by the Social Security as Xavier's guardian for that purpose? A Yes,I have the papers with me. Q Mrs.Strawn,you have indicated that you did volunteer to be Xavier's guardian.Will you tell us why you did so volunteer? A Well,I wanted to see him get everything that's coming to him.I feel even should the day come whenever he's discharged from there,he's going to need every cent he c ~ get because it's going to be hard for him to go and get a job.I have one son myself and I know how I would feel a a mother.and all,and I wanted him to have everything he can possibly have to come home to;should he ever come 7 home,I feel this would give him something to look forwar to and give him a start,should he ever be able to come home. Q Assuming that the funds in Xavier's estate would be approxi- mately two to three thousand dollars,do you feel that yo~ would be able to_personally handle this sum for him? I think so. How would you,as a fiduciary,invest this money for Xavier? Well,that would have to be considered quite strongly. As I think I have told you,I have had some dealings with investments before.So I would be very cautious as to what I invested it in. What dealings have you had before with investments? I had a daughter that I had turned the money over to a trust fund.My first husband was killed in the service and I didn't want to touch her money in no way,shape or form.I wanted this tobuild up so that when she became of age she would really have something.And I even had figured up what she would have and I was quite shocked _en I found out all she had,compared with what she should have had.So therefore,I would be quite cautious as to what I invested it in because they invested it and I kno they lost a great deal. Q In your opinion,could you have made a more prudent inve ment? A If nothing else,I ~uld have left it in just to collect interest.She would have been far better off than the way it turned out because we had figured up that she would get thirteen thousand something and she didn't get quite six thousand when they got done.And she has a stack of papers this high showing where they invested this and lost this. And you know,they'd-say what they invested and how much they got return and there's quite a difference there. Mrs.Strawn,did you indicate to me at one time that it i~ your intention to require no fiduciar~s commission for handling Xavier's account? I don't want anything to handle it.I've got a husband making my living for me and if I need more I'll go out ane work too.I want nothing for handling his money,no. Do you realize if you are appointed guardian by the Court you would be perfectly entitled to a commission? I realize that but I don't want it.That's his. Therefore,it's the protection of Xavier's estate that is paramount in your mind. That's uppermost in my mind,yes. I have no further questions of this witness.Does Your Honor have any questions of Mrs.strawn?If the Court :glease,there was one thing I left out.Mrs.Strawn, where·is Xavier residing at the present time? A At Torrance state Hospital. Q How long has he been there? A It will be a year this August.Yes,because it was two years that he had had the wreck,so it would be two years 8 Or it will be a year.maybe this August,1 1m not sure. 'Q How did he come to be committed to Torrance? A They had him in 3-A up here in-Washington Hospital and thEy said they were not qualified and equipped to give him the treatment that he needed and all,so Dr.Badiali and the social worker and Berman,I believe,11m not certain now to go further with him. Thank you. THE COURT:Mr.Zewe,is the incompetent l s mental I think Mrs.Strawn could answer that better,Your Honor,and I could give my opinion later. Mrs.Strawn,in your opinion,is Xavier l s mental conditior. owing to an automobile accident? condition due to an accident? I donl t feel that that l s the whole thing.No,I feel this brought that to a head from knowing him back;it more or less brought it out sooner or whatever you would call it. ZEWE : I don l t WlOW the terms you would use.But I think it has urged it along to where it got to the poit where he couldr l t be handled. .:uitI-III MR.•0 .J<0 0:l.., :t..,.. N !Iia:IIII-Aa:00.. IIIa: I-a: :l 00 .J<uii: I&. 0 Q Did you observe any change in Xavier l s personality prior to the accident? t.Along over the years,yes.And then more so after the accident. Q If the Court please,I will mention at this time that in Ie any reports that we have had concerning Xavier Moser's accident,there have been no indications whatsoever that the accident itself had anything to do with his mental cor.- dition. THE COURT:How old is this incompetent? ~MR.ZEWE:I believe he is 22,Your Honor. z~~THE COURT:And the persons interested in his estate >-IIIZ~according to paragraph four of your petition would be Sancra a. DAVis,Who is a sister. THE COURT: iol-ClZ J:MR.ZEWE:III~~ ..=,u~MR.ZEWE: IIICi...THE COURT:<C u g MR.ZEWE:... %E THE COURT: That's right,Your Honor. Linda Martin is also a sister • That's right,Your Honor. And Helen Moser is the mother. That is correct,Your Honor • Is there any relationship between Mrs. lfiffi Strawn and this incompetent? I-0:g MR.ZEWE:There is none,Your Honor. 0: §THE COURT:Has the alleged incompetent,Xavier ou~Moser,ever been a member of the Armed Forces of the Unitl d u~States of America?o MR.ZEWE: THE COURT: He has not,Your Honor. Has a guardian ever been appointed for t~s individual at any other time? MR.ZEWE:No other guardian has ever been appointe~ for Xavier Moser. I THE COURT:Mr.Zewe,are you in receipt of an Affid~vit 11 from Dr.Schilling concerning this individual's mental condition? MR.ZEWE:I am,Your HOnor,and I will pass the same up to the Court.If the Court please,I will introduce into evidence an Affidavit from Dr.William Schilling, Superintendent of Torrance State Hospital,in which he de~crites mo~ey affairs or in aiding 4is defense. indicates that he will be incompetent to handle his own affairs for a period of two or three years,especially in Xavier Moser's present condition and his prognosis,which The Affidavit of Dr.Schilling is receivEd c( z«~>enzz1&1Q. io~ClZ 1:~THE COURT::= EXAMINATION OF MRS.STRAWN BY THE COURT: promo ted by his pre sence in County·Court." in evidence and made part of this record • Mrs.Strawn,what is your present occupation? My husband keeps the family. We note t~at to be correct. I also wdsh to pOint out that the Affida\it I'm not employed,sir. the said Xavier Moser is such that his welfare would not 1e includes,in paragarph five,IIThat the general condition cf THE COURT: iiiII:1&1 ~II:oQ. 1&1 II: ~II: ::lo U ..J~Q ~... o A .,:u it...B MR.ZEWE: oJ~Uo::l., :tl-t-N Q And what is your husband's occupation? A He's mold polisher at Metro Glass. been He's/there almost ~/ as long as the factory itself. Q What has been the extent of your formal education? A First year of high. Q Do you understand fUlly that if you are appointed guardiro in this case that you will have to keep specific accounts of all your receipts and all your expenditures? A Definitely. Q Are you willing to do that? 12 MR.ZEWE: A Q <z<~>-III Z Z1&1II. Z AoI-~ Z QxIII<~ ..=!:!a:t-III C A ..J< U Qo:::l.., ~A"N ui Qa:1&1I-a:oII.1&1a: I-a::::loU ..J< u iL...o Yes. And those accounts must be kept in such form as they can 1:e at any time on request,submitted to the Court for examina- tion.Do you undeEstand that? Yes. And you understand,I am sure,that you cannot comingle your funds,your own private funds with the funds that you would receive for this incompetent. I know that. You have to keep separate accounts. Ye s,sir. I don't think we have any other questions. I do want the record to note,Your Honor that Mrs.Helen Moser is present in Court today and has indicated her willingness and desire for Marian Josephine Strawn to be appointed guardian of the estate of Xavier Mosier,both verbally in this Court as she so indicated ard also by her signature in the petition filed in this case. (Proceedings Closed). I hereby certify that the proceedings and evidence are The foregoing record of the proceedings upon the hearing J. transcript of the same. hearing of the above cause,and that this copy is a correct ~u~~c ~<uc of the above cause is hereby approved and directed to be filed. ~~ x~~" contained fully and accurately in the notes taken by me on the ~z<~>ozz~~ io~~z xo<~ _..,..~~,~."\~'-""l f!:l_t-..~~ 769 dUG {fr PH 3-50 ,.• .!..:-,. ""t ......, .-~....'.,',- .-r -'"'\>"",•.J....... .r,r'<.,~....'. ,....,~.".~if '. .'. J ...,'",• '. I'