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HomeMy WebLinkAboutOC1971-0887 - ESTATE OF KLINE..," " IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION ESTATE OF ), ) KATHERINE KLINE,) an alleged incompetent.) NO. PETITION FOR THE APPOINTMENT OF A GUARDIAN TO THE HONORABLE P.V.MARINO,JUDGE OF SAID COURT: , The petition of MARTHA JUROVCIK and JO ANN KLINE WARD respectfully represents: 1.Petitioners are two of the three children of Katherine Kline,a widow.The petitioner,Martha Jurovcik, resides at R.D.#1,Box 248,Bentleyville,Washington County, Pennsylvania.The petitioner,Jo Ann Kline Ward,lives at 1410 Difford Drive,Niles,Ohio. 2.The only other child of Katherine Kline is George Scott Kline,a son,who resides with his mother at Main Street, New Eagle,Washington County,Pennsylvania. 3.The said Katherine Kline is sixty-one (61)years of age,and she resides at Main Street,New Eagle,Washington County,Pennsylvania. 4.The said Katherine Kline because of mental infirmities and deficiencies is unable to manage her property and is liable to dissipate it or become the victim of designing persons. -1- ,I .' 5.The Estate of the said Katherine Kline as far as petitioners know,is as follows: 1.Real Estate: Large frame two story house and lots Numbers 19 and 20, Main Street,Borough of New Eagle,Washington County,Penn- sylvania,having a frontage of 100 feet on Main Street and a frontage on Howard Street of 170 feet,the estimated value of which is 2.Rentals from the above described property as follows: $10,000.00 a.Upstairs apartment,six rooms and bath,leased to Jonnie McDuffie et ux.$70.00 per mo. b.Shop,leased to Delores Hillman 40.00 per mo. c.Three room house,leased to Mary Munger 22.00 per mo. d.Garage space,leased to Jonnie McDuffie 10.00 per mo. e.Garage space,leased to James Rollison 10.00 per mo. f.Garage space,leased to Medio Eusepi et ux.10.00 per mo. TOTAL MONTHLY RENTAL 162.00 3.Household goods and furniture, estimate 4.Other income: Social Security monthly benefit 1,200.00 81.20 6.Pursuant to paragraph 5 the total annual income of Katherine Kline is Two Thousand Nine Hundred Eighteen and 40/100 ($2,918.40)Dollars. 7.Katherine Kline has no Guardian of her Estate,or her person~and it is proposed by your petitioners that Barrett G.Greenlee, a nephew of Katherine Kline,who lives at 619 Main Street,Bentleyville, Washington County,Pennsy~vania,be named as Guardian. --2-, 8.No other Court has ever assumed jurisdiction relative to the competency of Katherine Kline. WHEREFORE,your petitioners pray that a Citation issue directed'to Katherine Kline wi~h notice thereof to the next of kin to show cause why she should not be adjudged incompetent and a guardian of her Estate be appointed • .,.3- AFFIDAVIT COMMONWEALTH OF PENNSYLVANIA ) )SS: COUNTY OF WASHINGTON ) Before me,the undersigned authority,appeared Martha Jurovcik and Jo Ann Kline Ward,the within petitioners, who,being duly sworn according to law depose and say that the facts set forth in the within petition are true and correct to the best of their knowledge,belief and information. t'\.-~ Subscribed before me this J.J -day of B(}<>-4t , 1971. ,. ~,,..--:: Commission Expires: } 1 .- -4- JOHN P.IlEBAIlICK Justice of the Pe.ce 6th District.Bentleyville.P,.1&31• My Commission Expir.January Ie t976 .,... IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION ESTATE OF )NO. ) KATHERINE KL INE,) an alleged incompetent.) ACCEPTANCE BY PROPOSED GUARDIAN I,BARRETT G.GREENLEE,certify that my domicile is 619 Main Street,Bentleyville,Washington County,Penn- sylvania,that I am twenty-one (21)years of age,sui juris and a natural born citizen of the United States. I am not the fiduciary nor an officer or employee of any corporate fiduciary of an Estate in which Katherine Kline has an interest. I have no interest adverse to Katherine Kline and do not reside in the same household with her.The said Katherine Kline is my mothers'sister. I hereby agree to accept the appointment as Guardian of the Estate of Katherine Kline,should the Court appoint me as such. -5- "f'•;:-•. '.... l atitattnu ,"" lin wqt aInurt nf QInmmnn 'ltaa nf l'fIal1qingtnu QInunty~'JettttsyluaUitt - ••8~.'" ®rp~UUll'Qtnurt 1lltlltllinlt ( ) ( )NO.63-71-887 " ( ) nt HE:( \ESTATE OF ) KATHERIR~KLIN~( an alleged Incompetent. ) Qtnl1tmnullltultlr nf JtUU!iylllUttitt \!ill:ornuuty nf ifU!i11iuytnu To:KATRRRINE Kr.IN~ Sur Petition of:MARTHA JUROVCIK and JO ANN KLINE WARD lit 'Q1nmlUUtt~inu,__---'I~\.A~T~HE=<.:..;R'_='='IN"'_=E~KL"'_"I:.:.!.N==_E _ that,laying aside all business and excuses whatsoever,you do file III the office of the Clerk of our Orphans'Court of \'7ashillgton County,a full and com- plete answer,under oath,to each and every of the averments of the said. petition,on or before MODday·,the hth day of_----"O"-"c'--"t=o'-""b'-"'e=--r._ 19--11-,at ]0:00 o'clock-A.-.M.,and show cause why the said Katherine Kline should not be adjudged an incompetent and a guardian of her Estate be appointed;~ and further abide the order of our said Court in the premIses, If you fail hereof,the petition may be taken PRO CONFESSO and a decree made against you. WITNESS the Honorable P.Vincent Marino,Judge of our said Court,' at Washington,Penna.,the 30tbday of August ,19 71 ~.?7;~~~ .Clerk of the Orphans'Court Greenlee,R~~pman,Derrico&Posa,Esq. Attorneytfor Petitioner.Washington Trust Bldg., (Seal)~53gi~gton,Penna., &.". ,. ------------------ .." IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION ESTATE OF ) ) KATHERINE KLINE,) an alleged incompetent.) NO. AND NOW, PRELIMINARY DECREE -~rYuponconsiderationofthewithinpetition, 30 J ,1971, IT IS HEREBY ORDERED AND DECREED,that a Citation be issued,directed to Katherine Kline,to show cause why she should not be adjudged an incompetent and a guardian of her Estate be appointed. ~The Court fixes as a time for hearing the ~~y of ~,,-1971,at /OcZ><f!f?o'clock o/M. At least twenty (20)days notice of the hearing shall be given to Katherine Kline,the alleged incompetent,by personal service of a copy of the Petition and Citation,and by service of Notice upon the next of kin,personally or by certified mail. t!!atr of 'runsy[uanbt l 1111: <!tl1unty of Rlashingtnn ~.~~THE HONORABLE JUDGE WITHIN NAMED: I hereby certify and return that on S]pmmn:AY ".. the 4th day of SEPTEMBER II) 19--'Z! at8~15 A.M.,I served the within CITATION AND PETITION upon the within named defendant.~_.=.cKA::....::....:T::.:H=E=R::.::..::I:..::NE=-=..:K:::L:.:I:..:N:..:.:E=--_ by handing to HER SON,GEORGE SCOTT,AN ADULT MEMBER OF HER HOUSEHOLD,AT ' THEIR RESIDENCE,CORNER HOWARD STR:f;ET AND MAlIf.STREET,NEW EAGLE, Washington County,Pennsylvania,a true and attested copy of the within CITATION AND PETITION and making known to HIM the contents thereof. So answers COMPLAINT IN NO.,TERM,19 INVOICE NO. SHERIFF'S COSTS $ DOCKET NO.,PAGE (OVER) --Deputy Sheriff.nd ~9 '") l .) ~tatr of Jrnnl1g1uania (1111. ~untg of 1111l'al1!lington S . ·t " day of SEPTEMBER 19 71 TO THE HONORABLE JUDGE WITHIN NAMED: I hereby certify and return that on SATURDAY the 4th at 8:15 A.K,I~n~~d~_~C~I~T~AuT~I~OnN~A~~~_PLE~TAI~T~I~O~N~_ upon the within nam~defendant GEORGE SCOTT KLINE by handing to HIM personally at HIS RESIDENCE,CORNER HOWARD STREET AND MAIN:STREET~NEW EAGLE. Washington County,Pennsylvania,a true and attested copy of the wit~CITATION AND PET[TION and making known to HIM the contents thereof. TERM,19 COMPLAINT IN No. INVOICE NO. SHERIFF'S COSTS $ DOCKET NO.•PAGE So answers ~9 nd d· Qtitatinn Jht m~t C!!ourt of C!!ommon 'ltus of mus~in!lton mountg,'tnnsgluuniu (@rp4an.a'QIuurt mini.ainn ( ) ( )NO.63-71-887 ( ) IN RE: ESTATE OF ( ) KATHERINE KLINE,( an alleged Incompetent. ) QIummunntta1t4 uf 'tnn.ayluania \.a.a:QIuunty uf lIa.a4inglnn To:KATHERINE KLINE Sur Petition of:MARTHA JUROVCIK and JO ANN KLINE WARD ~rrrtiug: lit QIumman~luu,KA~T~HE~R~IN!!!:!:E~KL!:!.:!:I:£!.:NE!::!..-_ that,laying aside all business and excuses whatsoever,you do file In the office of the Clerk of our Orphans'Court of Washington County,a full and com- plete answer,under oath,to each and every of the averments of the said petition,on or before Mon day ,the 4th day of_~Q~cL!t.!.!.o,u"b1Se~r _ 19---11-,at ]0:00 o'c1ock~.M.,and show cause why the said Katherine Kline should not be adjudged an incompetent and a guardian of her Estate be appointed; and further abide the order of our said Court in the premIses, If you fail hereof,the petition may be taken PRO CONFESSO and a decree made against you. WITNESS the Honorable P.Vincent Marino,Judge of our said Court, at Washington,Penna.,the 30tbday of August ,19 71 ~/n~~~ Clerk of the Orphans'Court Greenlee;R~€-pman,Derrico&Posa,Esq.r Attorneylior Petitioner.Washington Trust Bldg., (Seal)~53gi~gton,Penna., I- .,..\ ",i_.- IN THE COURT OF COMMON PLEAS OF WASillNGTON COUNTY,PENNA. ORPHANS'COURT DIVISION IN RE: ES1i'~TE OF K:A'THERINE KLINE, an alleged incompetent. ) ) ) ) ) ) ) No.887 of 1971 DEC R E E AND NOW,October~-,1971,upon consideration of the annexed petition and after a hearing held following due notice,it is ORDERED AND DECREED that KATHERINE KLINE is adjudged an incompetent. Barrett G.Greenlee is appointed Guardian of the'Estate of KATHERINE KLINE,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. I' I IN THE COURT OF COMMON PLEAS OFWASlfir-{GTON COUNTY,"PENNA. ,:: A-:~' ORPHANSl COURT DIVISION .... •'"p IN RE: ESTATE OF KATHERINE KLINE,'. an alleged incoro petenL ) ) ) ) ) ) ) No.887 of 1971 .~ ~/oJ-'"• .,it'· DEC R E E ':, ]',f' ,~"-, '.AND NOW,October~1 1971,upon consideration of the annexed' ... petition andaftera hearing held foll~witig due notice,it is ORDEllE!;>AND h J!DECREED that KATHERINE KLINE tsadjudged an incompetent. aarrett G.GreeOleeisappointed Guardian of the Estate of.KATHERINE .,--, ..KLINE,an incompetent. The said Guardian is dire.cted to fJ'le an invento~y in accordance with·~;'" "the provisions of Section 402'of the IncompetentBtEstat~sAct of 1955,'as .". amended . .The said Guardian shall fUebond with sufficient surety in the Bum of Two.thousand ($?,OOO.OO)Dollars .. By the Court, P.V.1JT.ARINO, J. <:"-------------------'--------------~---==::---::::-----=:::::::::----------- .' IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF an incompetent. ) ) ) ) ) ) ) ) ) ) ) NO • 887 0 f 19 71 November' GUARDIAN'S BOND KNOW ALL MEN BY THESE PRESENTS,that we,Barrett G.Greenlee,of 619 Main Street,Bentleyville,Washington County,Pennsylvania,and Hartford Accident and Indemnity Company,of Hartford,Connecticut,Surety, are held and firmly bound unto the Commonwealth of Pennsyl- vania in the sum of Two Thousand and No/IOO ($2,000.00) Dollars,lawful money,to be paid to the said Commonwealth; to which payment,well and truly to be made,we bind our- selves,our heirs,executors,administrators,successors and assigns and everyone of them jointly and severally,firmly by these presents. Sealed with our seals,and dated this 2nd day of ,1971.-------------- THE CONDITION OF THIS OBLIGATION IS,that if the said guardian shall well and truly administer the estate of KATHERINE KLINE,an incompetent,according to law,this obligation shall be void as to the guardian,Barrett G. Greenlee,who shall so administer the estate;but .-.-!j ....l{~••.- ... otherwise it shall remain in force. WITNESS: .... .J~ n fjiLc~_. C0~)J} $tl1fdf;J)J~(SEAL) Barrett G.--Greenlee Hartford Accident and Indemnity Company .By· -in-Fact - 2 - I""~,..'".~.,... Hartford Accident and In,demnity Company HARTFORD,CONNECT'ICUT POWER OF ATTORNEY Know all men by these Presents,That the HARTFORD ACCIDENT AND INDEMNITY COMPANY,a corporation duly organized under the laws of the State of Connecticut,and having its principal office in the City of Hartford,County of Hartford,State of Connecticut,does hereby make,constitute and appoint PAUL J.CONNELLY,J.W.CUSHNER,ROBERT F.LLOYD,JOHN O.MITCHELL; M.E.MURPHY DONALD J.WELTON,C.F.SCHILLINGER,ALFRED C.ISHAM, RONALD R.ROSSI,and HAROLD J.COLEMAN,JR.,of PITTSBURGH ,PENNSYLVANIA, its true and lawful Attorney(s)-in-fact,with full power and authority to each of said Attorney(s)-in-fact,in their separate capacity if more than one is named above,to sign,execute and acknowledge any and all bonds and undertakings and other writings obligatory in the nature thereof on behalf of the company in its business of guaranteeing the fidelity of persons holding places of public or private trust;guaranteeing the performance of contracts other than insurance policies; guaranteeing the performance of insurance contracts where surety bonds are accepted by states and municipalities,and executing or guaranteeing bonds and undertakings required or permitted in all actions or proceedings or by law allowed. and to bind the HARTFORD ACCIDENT AND INDEMNITY COMPANY thereby as fully and to the same extent as if such bonds and undertakings and other writings obligatory in the nature thereof were signed by an Executive Officer of the HARTFORD ACCIDENT AND INDEMNITY COMPANY and sealed and attested by one other of such officers, and hereby ratifies and confirms all that its said Attorney(s)-in-fact may do in pursuance hereof. This power of attorney is granted under and by authority of the following By-Law adopted by the Stockholders of the HARTFORD ACCIDENT AND INDEMNITY COMPANY at a meeting duly called and held on the 10th day of February,1943. ARTICLE IV SECTION 8"The President or any Vice-President,acting with any Secretary or Assistant Secretary,shall have power and authority to appoint,for purposes only of executing and attesting bonds and 'undertakings and other writings obligatory in the nature thereof,one or more Resident Vice-Presidents,Resident Assistant Secretaries and Attorneys-it:l-fact and at any time to remove any such Resident Vice-President, Resident Assistant Secretary,or Attorney-in-fact,and revoke the power and authority given to him. SECTION 11.Attorneys-in-fact shall have power and authority,subject to the terms and liinifiili6ns"of the power of attorney issued to them,to execute and deliver on behalf of the Company and to attach the seal of the Company thereto any and all bonds and undertakings, and other writings obligatory in the nature thereof,and any such instrument executed by any such AttorneY-in-fa<;t shall be as binding upon the Company as if signed by an Executive Officer and sealed and attested by one other of such Officers. This power of attorney is signed and sealed by facsimile under and by the authority of the following Resolution adopted by the Directors of the HARTFORD ACCIDENT AND INDEMNITY COMPANY at a meeting duly called and held on the 13th day of March,1956. RESOLVED,that,whereas the President orany Vice-President,actingwith any SecretaryorAssistant Secretary,has the power and authority to appoint bya power of attorney,for purposes only of executing and attesting bonds and undertakings and other writings obligatory in the nature thereof,one or more Resident Vice-Presidents,Assistant Secretaries and Attorneys-in-fad: Now therefore the signatures of such officers and the seal of the Company may be affixed to any such power of attorney or to anycertificate relating thereto by facsimile,and any such power of attorney or certificate bearing such facsimile signatures or facsimile seal shall be valid and binding upon the Company and any such power so executed and certified by facsimile signatures and facsimile seal shall be valid and binding upon the Company in the future with respect to any bond or undertaking to which it is attached. In Witness Whereof,the HARTFORD ACCIDENT AND INDEMNITY COMPANY has caused these presents to be signed by its Vice-President,and its corporate seal to be hereto affixed,duly attested by its Secretary,this 17th day of January,1968. Attest:HARTFORD ACCIDENT AND INDEMNITY COMPANY Secretary ~f~·-~~l~.Vice President 19 71 COUNTY OF HARTFORD, On this 17th day of January,A.0.1968,before me personally came John F.Beardsley,to me known,who being by me duly sworn,did depose and say:that he resides in the County of Hartford,State of Connecticut;that he is the Vice- President of the HARTFORD ACCIDENTAND INDEMNITY COMPANY,the corporation described in and which executed the above instrument;that heknows the seal of the said corporation;that the seal affixed to the said instrument is such corporate seal;that it was so affixed by order of the Board of Directors of said corporation and that he signed his name thereto by like order. STATE OF CONNECTICUT,) ss.Notary'PubticCOUNTYOFHARTFORD,CERTIFICATE My commission expires March 31,1972 I,the undersigned,Assistant Secretary of the HARTFORD ACCIDENT AND INDEMNITY COMPANY,a Connecticut Corporation,DO HEREBY CERTIFY that the foregoing and attached POWER OF ATTORNEY remains in full force and has not been revoked;and furthermore,that Article IV,Sections 8 and 11,of the By-Laws of the Com- pany,and the Resolution of the Board of Directors,set forth in the Power of Attorney,is now in force.. Signed and sealed at the City of Hartford.Dated the 2nd day of November STATE OF CONNECTICUT, Form 8-3507-6 Printed in U.S.A.2-'68 Assistant Secretary \'" IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF KATHE RINE KLINE, an incompetent. ) ) ) ) ) ) ) INVENTORY NO.887 of 1971 The following is an Inventory of the assets in the Estate of Katherine Kline,an incompetent,of the Borough of New Eagle,Washington County,Pennsylvania: I.REALTY A.Two-story frame house and Lot Nos.19 and 20 in the Town of Riverview,now Borough of New Eagle,Washington County,Pennsylvania, having frontage of 100 feet on Main Street and frontage of 170 feet on Howard Street, and as more fully described in the Deed of Home Owners'Loan Corporation to George J. Kline,Jr.and Katherine Kline,his wife, dated April 11,1941,and recorded in the Recorder's Office of Washington County, Pennsylvania in Deed Book 646,Page 222. I I.PE RSONALTY A.Household goods and furniture. III.ESTIMATED MONTHLY INCOME $10,000.00 1;200.00 ) A.Rentals from real estate.$182.00 '.\ B.Monthly contribution for support from son,Scott Kline. C.Social Security benefits TOTAL -2- $87.00 ·81.20 350.20 $11,550.00 .".-~ ,,. ,1971. COMMONWEALTH OF PENNSYLVANIA) )SS COUNTY OF WASHINGTON ) Before me,the undersigned authority,personally appeared Barrett G.Greenlee,who,being duly sworn according to law,deposes and says that he is the guardian of the Estate of Katherine Kline,an incompetent, that the aforegoing schedules constitute a complete Inventory of the Estate of Katherine Kline,an incompetent, together with a reasonable estimate of the value of said Inventory,to the best of his knowledge,information and belief. Barrett G.Greenlee,Guardian Sworn to and subscribed before me this ~-?dday of J!}~~ dL My com~ss.~ioonn ~E pires: 7)~/d//f/;23 ,/ - 3 - t. " ):-'~'~ ;... .. 1971 KATHERINE KLINE, .:z-".'"'>;-~~-r.."':>""i't;:,__~~_~o~·;:;::r--..~--u r-<::>c,.)>(.f)- WASHINGTO'I'f'TRUST:-BUILOING ~'il "!,'-,_;:;,-;._:i.:;~'l~lr~ir~2;~·~b-;~~;X~I.cl'r<~-'~~~~~~~~~~~.t~-,.:~-:~__~i't~:'~ .'-.'--,'_.,'.-..:'" -y>_.<:;.:"rl ,~;.(~!'Sl}j >,:;'.-:;,'·;.,:~i,:~',i;:;'----;;:;:,i;.S:,-ih~~-;~--t"-'"r,,_,;:~. .. \' IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE:) ) ESTATE OF ) )NO.887 of 1971 KATHERINE KLINE,) ) an Incompetent.) PETITION BY GUARDIAN FOR PERMISSION TO BORROW MONEY TO THE HONORABLE,P.V.MARINO,JUDGE OF SAID COURT: The petition of BARRETT G.GREENLEE,Guardian,respect- fully represents; 1.Your petitioner was appointed Guardian of the Estate of Katherine Kline,an incompetent,by Order of your Honorable Court dated October 1,1971. 2.Pursuant to said Order,your petitioner has filed a' Guardian's Bond and an inventory of the assets of the estate. 3.Your petitioner has determined that the incompetent is obligated for a number of debts,as follows: (1)Frye Lumber Company,for materials $316.92 (2)Myers and Myers,for materials 296.49 (3)Montgomery Ward,for materials 260.71 (4)Sun Wallpaper,for materials 262.00 (5)Palmer Fragello,Labor 30.00 (6)Paul Jurovick,for reimburse- ment for furnace (7)Paul Jurovick,for labor to install furnace 202.19 200.00 ~. (8)Western Pennsylvania National Bank,for loan made to Paul Jurovick and Martha Jurovick (incompetent's daughter)for improvements to incompetent's real estate,balance due Total Debts of Incompetent 1,959.65 $3,527.96 4.In the best interest of the incompetent's estate and of the incompetent's creditors,your petitioner believes that he should borrow a sufficient amount of money to pay these debts, and to consolidate all of said obligations into a single obliga- tion of the estate. 5.Your petitioner proposes,with the permission of your Honorable Court,to borrow the sum of Three Thousand Five Hundred and 00/100 ($3,500.00)Dollars on a short term note,at six (6%) percent discount,from The First National Bank of Washington, Fredericktown Office,Fredericktown,Washington County,Pennsyl- vania. WHEREFORE,your petitioner requests your Honorable Court's approval and permission to borrow on behalf of the Estate of Katherine Kline,an incompetent,the sum of Three Thousand Five Hundred and 00/100 ($3,500.00)Dollars on a short term note,at six (6%)percent discount,from The First National Bank of Wash- ington,Fredericktown Office,Fredericktown,Washington County, Pennsylvania. Barrett G.Greenlee,Guardian GREENLEE, - 2 - DERRICO &POSA COMMONWEALTH OF PENNSYLVANIA SS: COUNTY OF WASHINGTON Before me,the undersigned authority,personally appeared BARRETT G.GREENLEE,who,being duly sworn accord- ing to law,deposes and says that he is the Guardian of the Estate of Katherine Kline,an incompetetent,and that the facts set forth in the within petition are true and correct to the best of his knowledge,information,and belief. I Barrett G.Greenlee Sworn to and subscribed before me thisJ.;?DEL day~of February,1972. My Commission Expires·.~/~·~/_~~t~~~7~~~·_ ". IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE:) ) ESTATE OF ) )NO.887 of 1971 KATHERINE KLINE ) an Incompetent.~ OR D E R Greenlee, ,1972,upon--~-r-""""-b-C~.........z;.:::J4+--~-=----AND NOW, consideration of the Guardian of the Estate of Katherine Kline,an incompetent,to borrow money,and upon motion of Greenlee,Richman,Derrico & Posa,Counsel for the Guardian of the Estate of Katherine Kline, an incompetent,IT IS HEREBY ORDERED AND DECREED that approval and permission is granted to Barrett G.Greenlee,Guardian,to borrow the sum of Three Thousand Five Hundred and 00/100 ($3,500.00)Dollars on a short term note,at six (6%)discount, from The First National Bank of Washington,Fredericktown Office, for the purpose of paying the outstanding debts of the incompetent, as set forth in the petition. (~~~~~~~ C; '/:-. ~::'-.L_~;__"__~_ WASHINGrON TRUST BUILDING ~ WASHING:rON;PA.15301 _:" ".._',:.,":;,.i,.~,.::,-:'._-:~(f,'_';,i-';;".'_"~,:'-:".,,",:,_,~-r~"'h'-~>i~;,t.k>",;~~",,:C'·""~ ESTATE OF RE: "<"'Y'--:"""""'''':'',,,",'IIS/:'.~-....t',;;~:,;,.,~'. I r.,l, '-,.'.......,~ry;.r·~"-' 1 .<---",. ~-'. ~ /",i:"'.,.l?:'c~\L-"'-,-,;c."~><~' ..*.;...~.;,~,\\'\-'.•,4'-'_ :~. IN THE COURT OF COMMON PLEAS OF WASHINGTON COllliTY,PENNSYLVANIA IN RE: ESTATE OF KATHERINE KLINE, AN INCOMPETENT ORPHANS'COURT DIVISION No.887-1971 Issue No. Code PETITION TO REMOVE BARRETT G.GREENLEE AS GUARDIAN OF THE ESTATE OF KATHERINE KLINE,AN INCOMPETENT. Filed on behalf of Martha L.Jurovcik, Petitioner. MARK F.GEARY,ESQUIRE 220 Grant Street 6th Floor Pittsburgh,PA 15219 PA.I.D.#589 (412)281-6879 IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF KATHERINE KLINE, AN INCOMPETENT ) ) ) ) ) No.887-1971 PETITION TO REMOVE BARRETT G.GREENLEE AS GUARDIAN OF THE ESTATE OF KATHERINE KLINE,AN INCOMPETENT AND NOW comes MARK F.GEARY,ESQUIRE,Attorney for Petitioner, MARTHA L.JUROVCIK,pursuant to Section 5515 of the Probate Estates and Fiduciary Code and respectfully petitions this Court to remove BARRETT G.GREENLEE as Guardian of the Estate of KATHERINE KLINE,An Incompetent. 1.That the Petitioner,MARTHA L.JUROVCIK,is the daughter of KATHERINE KLINE,sui juris,who resides at RD #1, Bentleyville,Pennsylvania,15314. 2.That Hrs.Kline was decreed to be incompetent and BARRETT G.GREENLEE was appointed Guardian of her estate by Decree o.fJudge P.V.Marino dated October 19,1971 at the above number and term. 3.That Mr.Greenlee has failed to perform his fiduciary duty;is neglecting Mrs.Kline and therefore jeopardizing the interests of her estate. 4.That Mr.Greenlee should be removed for reasons stated but not limited to the following: a.Failing to provide the necessary funds for the purchase of Mrs.Kline's food.Mrs.Kline is a diabetic. b.Permitting Mrs.Kline's house to fall into a serious state of disrepair by ignoring basic maintenance,re- sulting in water leaks,water damage to ceiling and holes in walls. c.Refusing to apply for the Commonwealth of Pennsylvania real estate tax rebate. d.Failing to timely pay bills. e.Refusing to pay Mrs.Kline's life insurance premium resulting in a lapse notice until paid by the Petitioner. f.Failing to visit Mrs.Kline and to determine her needs;the Guardian has been to Hrs.Kline's propepty approximately two (2)times in ten (10)years. g.Failing to repair the house resulting in the insurance company giving notice of refusal to renew the home- owners policy. h.Failing to provide the Petitioner with an accounting upon request since 1976. i.Failing to provide normal maintenance such as graBs cutting,which has been done by Petitioner and her husband. Payment of these services has been ignored by Mr.Greenlee. j.Failing to file income tax returns. k.Failing to contract for the necessary repairs to storeroom roof,bathroom floor,walls,ceiling,and kitchen floor. ------------------------------_.._-------------, 1.Requesting real estate agent to find a buyer for Mrs.Kline's house. m.In otherwise breaching his fiduciary obliga- tions. 5.That Mr.Greenlee ignored the directive of this Court,where upon examination by Judge Marino,(page 34 and 35 of the hearing transcript)he was asked by the Court. Question:And will you consult with her (Martha Jurovcik)and the others if necessary,in determining what might be adequate and"proper in the way of expenditures for Mrs.Kline? Answer:Yes,I will. 6.That Mr.Greenlee has ignored and will continue to ignore his obligations to the Petitioner,Mrs.Kline,and this Court. WHEREFORE,for the above stated reasons,it is respectfully requested this Court to award a citation directed to BARRETT G.GREENLEE to show cause why he should not be removed as Guardian of the Estate of Katherine Kline. Marth:l L. AFFIDAVIT COl1MONWEALTH OF PENNSYLVANIA } }SS: COUNTY OF WASHINGTON ) Before me,the undersigned authority,a Notary Public, in and for said County and State,personally appeared lflARTHA L.JUROVCIK who,known to me,and being dUly sworn,according to law,deposes and says that she is the Petitioner in the foregoing action, and that the facts contained in the foregoing Petition are true and correct,to the best of her information,knowledge, and belief. SWORN TO AND SUBSCRIBED BEFORE ME THIS 1/'iJ,DAY OF 0un e.... 19 81 :Wotaf'yPublic • My Commission Expires: KARfN S.HILL,NOTARY PUBLIC SOMERSET TWP.,WASHINGTON COUNTY MY COMMISSION EXPIRES JUNE 30.1984 Member.Pennsylvania.Association of Notaries Ju ID4r atourt of atommnulUr!s'or lmus4iugtouaroumy.l~tuusyluuuiu IN REa (@rpquun'.Qruurt IJilliniutt QIitattnnESfAmOF KATHERINE KLINE. Art Xritompetent.'. QInmmnuttttalt4 nf 'tuuliylttauia (ltnunty nf lIunqingtnn To:BARREft L.GREENIJ?B Sur Petition of:14a$a L.JUrovc1k ~rtttiU9: ,, 1ft Q!nututau~Inu,B_...:a:'r_"_'e_t_t_,L.-c-'_G_r_een1---'.-ee_'_ that,laying aside all business and excuses whatsoever,you do file in the office of the Clerk of our Orphans'Court,of Washington County,a full and com- plete answer,under oath,to 'each and every of the averments of the said petition,on or before 1'Uesaay ,the eth.day of Sept_bel' 19_8_.1,at_2=--__o'clock~.M.,and show cause why you shOUld ,not be removed as the Guard1an of the Estate 01 Katber1ne 1..111101 and further abide the order of our said Court in the premIses, If you fail hereof,the petition :may be taken'PRO CONFESSO and a decree'made against you. WITNESS the Honorable ThomasJ•TerpUtaqudge of our said Court, at Washington,Penna.,the 10tb.uay of_-"--'-:'-""-,19_81 . )1atk ,.QeatY E_______-"-sq. Attorney for Petitioner. (Seal) .'.-,.. IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF KATHERINE KLINE, AN INCOMPETENT ) ) ). ) ) ) No .887 -1971 DECREE AND NOW,to wit,this IOday of July,1981,upon consideration of the annexed Petition,it is ORDERED and DECREED that a cita- tion be awarded,directed to BARRETT L.GREENLEE,to show cause why he should not be removed as the Guardian of the Estate of Ka therine Kl ine;hearing to be held in Courtroom "t on the g day of S yP1 L~IJJJf"1.,1981 ,at ----II:2~______,~.M. o'clock. BY THE COURT J. "... ..."t T "'"I """""'"....,.......~__...._....."....._,4 ·._·...__ L'-.:'::: 'C:"(...:. t:,':';r: ~:~(-:! "~.=..~..:;:~~ IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA IN RE: ESTATE OF KATHERINE KLINE, AN INCOMPETENT ORPHANS'COURT DIVISION No.63-71-887 Issue No. Code AFFIDAVIT OF SERVICE Filed on behalf of Martha L. Jurovcik,Petitioner Counsel of Record for this Party Mark F.Geary,Esquire 220 Grant Street 6th Floor Pittsburgh,PA 15219 Pa.LD.#589 (412)·'·281-6879. ... IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION ) IN RE:) ) ESTATE OF )Wy'.887-1971 ) KATHERINE KLINE,) ) AN INCOMPETENT ) .AFFIDAVIT OF SERVICE COMMONWEALTH OF PENNSYLVANIA COUNTY OF WASHINGTON ) ) ) SS: AND NOW,to wit,this31stday of __J_u_l"-y _ 1981,comes the Affiant,a duly e~ected constable of Washington . County,Pennsylvania,and swears that he served BARRETT L.GREENLEE, of Katherine Kline,An Incompetent GUARDIAN,·Of the Estate/·,in the above captioned matter,with .~.. a certified true and correct copy of the Petition to Remove Barrett L .Greenlee as Guardian of the Estate of Katherine Kline, An Incompetent and Citation,personally on Friday,July 31,1981 3:45 P ~M..'Greenlee Funeral·Home,Bentleyville,PAat-------------------------------- Sworn to and s.ubscribed before me this3Jscday of tffL1_,1981-. No t;ar:$fpu;'f MAX J.EVANS,DTARY PUBLIC ELLSWORTH BORD,WASHINGTON COUNTY My·caMMISSION EXPIRES DEC.5,1931 Member,PennsylvaniaAssoclatlllnofHotarlll GUY THOJv<¥ ...' ,"- ,'-,.,':l I,~..-.J IN THE COURT OF COM~10N PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF KATHERINE KLINE, NO.887-1971 AN INCOMPETENT. ANSWER BY GUARDIAN TO PETITION TO REMOVE BARRETT G.GREENLEE AS GUARDIAN BARRETT G.GREENLEE,Guardian of the Estate of Katherine Kline,an Incompetent,makes his Answer to the Petition to remove him as Guardian of said estate,as follo~rs: 1.Admitted. 2.Admitted. 3.The averments of Paragraph 3 of the Petition are denied for the reason that they are conclusions of law and require no answer.In further answer thereto Barrett G.Greenlee,as Guardian of the Estate of Katherine Kline,has never neglected his duties of guardian of the estate as prescribed by law,and has not jeopardized the interests of the estate at any time.Furthermore,it is averred that Barrett G.Greenlee,Guardian,has at all times performed be- yone the requirements of his office and has always acted in the best interests of Katherine Kline,since he has,and always has had,a particular concern for her welfare and the protection of her estate by reason of his relationship to the incoll'petent,who is his Mother's sister. 4.It is denied that Barrett G.Greenlee,Guardian, should be removed as Guardian of the estate for any reason.More specifically,it is denied as follows: a.It is denied that Barrett G.Greenlee,Guardian, failed to provide necessary funds for the purchase of food for Katherine Kline.It is averred that he has at all times furnished funds for purchase of food in advance,since the Petitioner would not advance her own funds to purchase food for her mother.It is averred that Barrett G.Greenlee,Guardian,would furnish a check to the Petitioner,made out to Foodland where the food was to be purchased,in a blank amount,which amount was entered on the check by Petitioner at the time of purchase of the food.Barrett G. Greenlee,Guardian,put no restriction on the amount to be spent on food,or on the kind of food petitionor might purchase. b.It is denied that Barrett G.Greenlee,Guardian, permitted Katherine Kline's house to fall into disrepair or that he ignored basic maintenance,causing leaks,water,or any 'damage.,On the contrary,it is averred that he has made all necessary repairs that any prudent home owner would.make under the circumstances, having,inter alia,authorized a new roof on a part thereof,approxi- mately eight years ago,which Petitioner's husband installed and was paid for.Leaks which occurred in recent years in a storage house attached to the main dwelling,not over living quarters,and in the bathroom,have also been repaired and paid for. - 2 - c.It is denied that Barr~tt G.Greenlee,Guardian, refused to apply for the Commonwealth of Pennsylvania real estate tax rebate.On the contrary he avers that he made such application a few years ago and was informed that Katherine Kline was ineligible for the refund because the property was a rental property. d.It is denied that Barrett G.Greenlee,Guardian, did not make timely payment of bills.On the contrary,it is averred that he paid all proper bills and those authorized by him as such bills became due. e.It is denied that Barrett G.Greenlee,Guardian, refused to pay Mrs.Kline's life insurance premium,or that a lapse notice was received.Furthermore,he has no knowledge of payment of a life insurance premium by Petitioner,arid if such becomes relevant at the hearing of this matter,proof thereof is demanded. f.It is denied that Barrett G.Greenlee,Guardian, failed to visit Katherine Kline or to determine her needs.In further answer,Barrett G.Greenlee,Guardian,avers that as guardian of the Estate of Katherine Kline,he has at all times performed such duties as are required of guardians of the estates of incompetents as provided by Chapter 55 of the Probates,Estates and Fiduciaries Code. Furthermore,he avers that he has kept in constant touch with Mrs. Kline and has always been aware of her economic needs and has as Guardian of the Estate,fulfilled those needs as they arose. - 3 - g.It is denied that Barrett Greenlee,Guardian, failed to repair Mrs.Kline's property.It is also denied that the insurance company gave notice to Barrp-tt G.Greenlee,Guardian, of refusal to renew the home owner's policy.In further answer it is averred that the insurance company issued an inspection notice only and had asked that the house be painted or sided,but the Guardian determined that there were insufficient income and assets in the estate to provide for costly repairs and/or remodelling of said property,or to pay for the high cost of borrowing funds therefor. h.It is denied that Barrett G.Greenlee,Guardian, failed to provide an accounting to Petitioner since 1976 for the reason that the Guardian has always kept the Petitioner informed as to the administration of the estate.In further answer thereto the Guardian avers that he is unaware of any legal obligation to account to Petitioner at any time or for any reason and that such obligation is only to this Honorable Court pursuant to its Order and direction.Furthermore,the Guardian avers that he has been and is presently ready and able to furnish a full and complete accounting of all funds received and all disbursements made during the tenure of his office from October 19,1971 to date,if this Honorable Court shall so order and direct. i.It is denied that the Guardian failed to provide normal maintenance such as grass cutting.It is admitted that Petitioner and members of her family have cut the grass in the past, - 4 - but it is averred that they were at all times paid for their services.In further answer thereto it is averred that Petitioner refused in the spring of 1981 to cut the grass and that the Guardian hired someone to do so. j.It is denied that the Guardian failed to file any required income tax return. k.It is denied that the Guardian failed to contract for nece~sary repairs to th~storeroom roof,bathroom floor,walls, ceiling,and kitchen floor.It is averred,however,that the Guardian,in his judgment,decided not to proceed with the repairs at this time for th~reason that the estimates for repairs nearly equalled the amount of money which was in the estate bank account and he determined that it was unwise to proceed at this time with repairs because ~f the cost theieof.In further answer,the Guardian avers that Mrs.Kline had indicated a desire to move from the property into the highrise apartments for the elderly at New Eagle,Washington County,Pennsylvania,and that the Guardian had made application for her there.In addition,in his judgment he bel~eved that it would be best to sell the real estate and provide a fund for th.~maintenanceofMrs.Kline. 1.It is admitted that the Guardian has requested a real estate agent to find a buyer for Mrs.Kline's property. Althou.ghth~;L·e is income from this property,the cost of maintenance is inGreasing to the point that it is becoming impractical to main- tain the property as an investment for the estate.In further answer the Guardian avers that in his judgment it.is best to sell the real - 5 - estate and provide a horne for Mrs.Kline elsewhere and use the income from the investment of the proceeds from the sale of the house for her maintenance. m.It is denied that Barrett G.Greenlee,Guardian, breached his fiduciary obligations to the Estate of Katherine Kline,an incompetent,in any manner whatsoever. 5.It is denied that Barrett G.Greenlee,Guardian, ignored the directive of this court in any respect.In further answer,it is averred that he at all times was in touch with Martha Jurovcik and such others as he determined were necessary in regard to his administration of the estate of Mrs.Kline. 6.It is denied that Barrett G.Greenlee,Guardian,has ignored or that he will continue to ignore his obligations to the Petitioner,Mrs.Kline,and to this Court.In further answer,he avers that at all times he has met his obligations as a Guardian for the Estate in accordance with existing law and the Order of this Court. NEW }ffiTTER 7.Barrett G.Greenlee consented to be Guardian of the Estate of Katherine Kline at the request of Mrs.Kline and members of her family for the reason that the Petitioner,Martha Jurovcik, and her sister,Jo Ann Kline Ward,were unwilling to do so. - 6 - --~-~~~-----~---- 8.At all times Barrett G.Greenlee has acted as a volunteer in an effort to help his Aunt,Katherine Kline,and at no time has he received any compensation during the period of his administration from October 19,1971 to Jate. 9.At all times Katherine Kline,the incompetent,has expressed a desire that Barrett G.Greenlee continue to act as her guardian stating that she was satisfied with the way he had handled her estate and did not wish anyone else to act as her guardian.Because of the needs and the requests made by Mrs.Kline, Barrett G.Greenlee has continued to act as guardian,even though it has placed great demands on his personal time,the time of his family,and time from his business.Although he would like to have turned the estate over to another guardian,he has continued to administer the estate because of the wishes of Katherine Kline. 10.At no time has Barrett G.Greenlee made any profit or personal gain by reason of acting as guardian of this estate. Although Barrett G.Greenlee was guardian of the estate only,on many occasions he was called upon to act in the best interests of the person of Katherine Kline and performed services for her which would ordinarily be expected from her children and close members of her family. 11.Upon undertaking the office of guardian,Barrett G. Greenlee,found a number of outstanding obligations incurred by the Petitioner and her husband in behalf of Katherine Kline for materials and labor for repairs to her property,for which the guardian petitioned this Court for the approval of a loan,the - 7 - proceeds of which were used to pay for said obligations.In order to secure this loan Barrett G.Greenlee had to personally sign the Note and be personally liable thereunder. 12.The present value of the real estate is approximately Twenty-five thousand ($25,000.00)Dollars and there is approximately Two Thousand ($2,000.00)Dollars in the estate bank account.No debts are presently owed except for current bills.The income from the real estate is approximately Three Thousand Twenty ($3,020.00) Dollars per year,from which costs of maintenance of the property must be paid.The Guardian firmly believes that it is in the best interests of the estate to sell the real estate and to invest the net proceeds therefrom in an interest bearing fund which could produce over Three Thousand Five hundred ($3,500.00)Dollars net per year toward the maintenance of Mrs.Kline and would eliminate all problems with respect to repairs and remodeling uf her v~ry old and depreciated real estate. 13.Barrett G.Greenlee,Guardian,has expended his own funds for telephone calls,postage,and other such costs,without seeking or being paid any reimbursement therefor. WHEREFQRE,Barrett G.Greenlee,Guardian of the Estate 'of Kathe~ineKline,an incompetent,respectfully reque~ts th~t the - 8 - Petition of Martha L.Jurovcik be dismissed and that she be ordered to pay the costs of these procee~ings. Barreft G.Greenlee,Guardian RRICO &POSA - 9 - COW10NWEALTH OF PENNSYLVANIA SS: COUNTY OF WASHINGTON Before me,the undersigned authority,personally appeared BARRETT G.GREENLEE,who,being duly sworn according to law, deposes and says that the facts set forth in the ~oregoing Answer are true and correct upon his personal knowledge,information,and belief . .M~~.Barrett G.Greenlee,Guardian Sworn to apd sUbsc~ed befor~,this ~30000<-_ My Commission Expires SHERRI H.8OARDLEY,NOTARY PUBLIC WASHINGTON,WASHINGTON COUNTY MY COMMISSION EXPIRES APR.20.1985 Member,Pennsylvania Assoc;,tion of Not!!!!!- fr{$$:/H k#-~;; IN THE COURT OF COM.JIlON PLEAS OF WASHINGTON COUNTY,PENNA. ORPHANS'COURT DIVISION NO.887-1971 IN RE: ESTATE OF KATHERINE KLINE,AN INCOMPETENT ~ cr-~'J . ;. I".~... "i'-l --' r~NSl'JER BY GUARDIAN-c;;-_.- ,&.""!J .i:'..\.,<J' ~~-~, t'·~ I.,.~:.;::2:~-. ~=r ........ ~~ ....II (;,u.~7:;.:b (X){"~ -; GREENLEE.RICHMAN. DERRICO Be POSA ATTORNEYS AT LAW WASHINGTON TRUST BUILDING ~J _.;~t-/fJ~S-;:'.TON.PA.'5301 -, -----------,----c--------------------------------- f ,.,.' IN ~HE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA IN RE: ESTATE OF KATHERINE KLINE, AN INCOMPETENT ORPHANS'COURT DIVISION No.887-1971 Issue No. Code Petition for Removal of Guardian of Estate and,Substitution of Successor Guardian,and the Appointment of the Guardian of the Person .. Filed on behalf of Martha L. Jurovcik,Petitioner. Counsel of Record for this Party: Mark F.Geary,Esquire 220 Grant Street 6th Floor Pittsburgh,PA 15219 Pa.I.D.11589 (412)281-6879 f \. IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF KATHERINE KLINE, AN INCOMPETENT ) ) ) ) ) No.887-1971 PETITION FOR REMOVAL AND SUBSTITUTION OF SUCCESSOR GUARDIAN OF THE ESTATE OF KATHERINE KLINE,AN INCOMPETENT,AND- APPOINTMENT OF THE GUARDIAN OF THE PERSON. And now comes the Petitioner,Martha L.Jurovcik,by her Attorney,Mark F.Geary,Esquire,pursuant to Section 5515 of the Probate,Estates,and Fiduciaries Code and respectfully petitions this Court to remove Barrett G.Greenlee as Guardian of the Estate of Katherine Kline,An Incompetent;to appoint the First National Bank and Trust Company of Washington,Pennsylvania.as Successor Guardian of the Estate;and to appoint,MarthaL.Jurovcik,Guardian of the person of Katherine Kline.An Incompetent. 1.That a Petition to remove 'Barrett G.Greenlee as Guardian of the Estate of Katherine Kline,An Incompetent,resulted in a hearing which was held on the 8th day of September,1981. 2.That by Order of Court dated September 8,1981,the Rule was continued by Judge Thomas J.Terputac and a further hearing is scheduled for October 19,1981 at 3:00 P.M. 3.That as a result of the hearing Barrett G.Greenlee has voluntarily resigned as Guardian of the Estate of Katherine Kline, ,l •.. An Incompetent. 4.That Mr.Greenlee's withdrawal is attached hereto,and made a part hereof is marked Exhibit "A". 5.That the First National Bank and Trust Company of Washington Pennsylvania,hereby consents to act as Successor Guardian of the Estate of Katherine Kline,An Incompetent,and its consent is attached hereto,and made a part hereof is marked Exhibit "B". 6.'That Martha L.Jurovcik ,Petitioner,hereby consents to become the Guardian of the person o.f her mother,Katherine Kline, An Incompetent,and her consent is attached hereto,and made a part hereof is marked Exhibit"C". WHEREFORE,it is respectfully reque.sted that this Honorable Court remove Barrett G.Greenlee,Guardian of the Estate of Katherine Kline,An Incompetent;approve the appoint of the First National Bank and Trust Company,Successor Guardian of the Estate of Katherine Kline,An Incompetent,upon confirmation of the First and Final Accoufit as filed by Barrett G.Greenlee;and approve the appointment of Martha L.Jurovtik as Guardian of the person of Katherin.e Kline,An Incompetent. Martha L.Jurovcik ..;1.• IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF KATHERINE KLINE, AN INCOMPETENT ) ) ) ) ) No.887-1971 WITHDRAWAL I,BARRETT G.GREENLEE,do hereby withdraw as Guardian of the Estate of Katherine Kline,An Incompetent,and further state that I have no objection to the appointment of the First National Bank and Trust Company as Successor Guardian. Exhibit "A" ,,, IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF KATHERINE KLINE AN INCOMPETENT ) ) ) ) ) No.887-1971 CON SEN T I,G.A.HOOP,Jr.,Vice President &Senior Trust Officer hereby state that the First National Bank &Trust Co., Washington,Pa.,consents to act as Successor Guardian of the Estate of Katherine Kline,an incompetent. Vice President DAT~m Exhibit "B" Trust Officer No.887-1971 .~ r "," .'. IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE:) ) ESTATE OF KATHERINE KLINE,) ) AN INCOMPETENT ) CON S K'N T I,MARTHA L.JUROVCIK,do hereby consent to be appointed Guardian of the person of my mother,Katherine Kline,An Incompetent. DATE 9-J,~-t/ Exhibit "c" ..."I .,'.~ AFFIDAVIT '....,... COMMONWEALTH OF PENNSYLVANIA WASHINGTONCOUNTYOF~~ ) )SS: ) Before me,the undersigned authority,a Notary Public, in and for said County and State,personally appeared MARTHA L.JUROVCIK who,known to me,and being duly sworn,according to law,deposes and says that she is the Petitioner in the foregoing action, and that the facts contained in the foregoing Petition for Removal and Substitution of Successor Guardian of the Estat.e of Kat1lerine Kline,An Incompetent,and Appointment of the Guardian of the Person. are true and correct,to the best of her and belief. information,knowledge, SWORN TO AND SUBSCRIBED BEFORE ME THIS ~DAY OF ~r< ______,19 81 My Commission Expires: KAREN S.HILL,NOTARY PUBliC SOMERSET TWP"WASHINGTON COUNTY MY COMMISSION EXPIRES JUNE 3D,1984 Member,Pennsylvania Association 01 Notaries ~t •,. .. IN THE COURT OF COMMON PLEAS OF ALLEGHENY COUNTY,PENNSYLVANIA ORBHANS'COURT DIVISION IN RE: ESTATE OF KATHERINE KLINE, AN INCOMPETENT ) ) ) ) ) No.887-1971 ORDER-OF COURT AND"NOW,to wit,this ·-1...1day of October,1981,upon motion of Mark F.Geary,Esquire,Attorney for Petitioner,and upon consideration of the foregoing Petition,it is hereby Ordered,Adjndged and Decreed that Barrett G.Greenlee file his First and Final Account as Guardian of the Estate of Katherine Kline,An Incompetent ,within twllrtr;(SO)days and further that his resignation as Guardian of the Estate of Katherine Kline, An Incompetent,be accepted;and that the First National Bank and Trust Company of Washington,Pennsylvania,be appointed as Successor Guardian and that Barrett G.Greenlee surrender and transfer to the First National Bank and Trust Company any assets as may be determined by the Court.MiA bidE LIaf aM L.JurovciK'* 1:5e dpIft'lnLcs tS'wllljiar !£tlrCFCE8.9if of ICa:thcEiIiE!!..KlifiC,An Ia- .s_upi LErR . BY THE COUF.T. J. -j ..~!"..'"~l.'i .,.,..'11' .",;;1 t-'t.'\..".>t'..~-~\:"~=1,i ~4 '\!.<c:11:. <...'.a,J -t't'.....-rr- rl1'C:P "i-t ',' ,1 {I .1 -'j.,~)\. .\ h' IN THE COURT'OF COMMON PLEAS OF HASHINGTON COUNTY,PENNSYLV]I.NIA ORPHANS'COURT DlVISION IN RE: ESTATE OF KATHERINE KLINE} NO.887-1971 an Incompetent ' FIRST AND FINAL ACCOUNT OF BARRETTG":-GFEEl\iLEE;-GUAR,DIAN SUMHARY 1,200.00 49,475.58_.._._..__.- 3,500.00 $14,700.00 $64,175.58 49,471.65_ $14,703.93 1,200.00 _3,503.9~ $14,703.93 $10,000.00 $10,000.00 Realty BALANCE FOR DIS~RIBUTION Personalty Cash in Bank Total Assets and Income Balance Consists of: C.Loan Receipts B.Personalty A.Realty I.ASSETS,per Inventory II.INCOME ACCOUNT -RECEIPTS III.DISBURSEMENTS , ,~' ~.A$S~'l'$-,-.,-,.-..- "A .,REA,LTY : ," I'!I (, Per Inventory filed December 3,1971 B.PERSONALTY: Per Inventory filed December 3,1971 C.LOAN received from First National Bank of Washington,per Order of Court dated February 25,1972 TOTAL II.INCOHE ]I~CCOUNT -RECEIPTS I A.RENTS: 1.Garage No.1 -Jonnie McDuffie $890.00 (1/12/72 -5/8/79) 2~Garage No.2 -Jim Rollison (1/8/72 -5/8/73)160.00 3.Garage No.2 -John Pershing (5/8/73 -8/31/73)40.00 4.Garage No.2 -William Byers (10/2/73 -8/29/79)470.00 5.Garage No.2 -William Rollison (10/16/77 -3/9/81)370.00 6.Garage No.3 -Media Eusepi (1/1/72 ~5/4/74)280.00 7.Garage No.3 -Joseph Jurovcik (1/21/75 -10/27/76)200.00 ·8.Garage No.3 -Rachel Kuzio 1/29/77 -4/29/79)280.00 "9.Upstairs Apartment -Jonnie McDuffie (1/12/72 -10/8/81)9,470.00 10.Kline House (Rear)-Candy Wyandt (1/12/72 -3/15/73)350.00 11.Beauty Shop -Dorine Panseri (1/9/73 -11/3/81 8,630.00 $10,000.00 1,200.00 3,500.00 $14,700.00 •'..•"I ~I I'I B. 12.Trailer Pad -Rachel Kuzio (11/27/76 -10/25/81) (Security Deposit) Scotty Kline,Board (12/26/71 3,350.00 ?I_.._._~~o.gl''$24 ,580 .00 .,j ~I 0/t1 1:;.1'. -4/21/73}1,431.32 C.Katheiine Kline -Social Security (1/3/72 ~11/3/81) D.Uti1itie~redeived from Tenants, Storage,and other income E.Scott Kline Estate -Distribution F.Medicare payments received TOTAL III.DISBURSEMENTS (See Attached Itemized Statement) 16,846.00 3,782~81 1,834.33 1:OOl~12 -~_. $49,,475.58 $49,471.65 pATE '1972' PAYEE ~I 'PURPOSE AMOUNT'"" Jan.6 Western Pennsylvania National Bank Payoff CAC Account of Paul and Martha Jurovcik, Expenses of Katherine Kline 1,959.65 Jan.6 Jan.6 Jan.6 Jan.6 Jan.6 Jan.6 Jan.6 Jan.6. Jan.7 Jan.7 Jan.7 Jan.10 Jan.10 West Penn Power Co. Equitable Gas Co. Mon.City Water Co. Mon tgomery ~~,ard Frye Lumber Co.,Inc. American General Life Insurance Co. Prudential Ins.Co." J.P.Rebarick In- surance Agency Paul Jurovcik Foodland Myers &Myers Robert Glasser Western Pennsylvania National Bank Electric;.'12)28/.71 ~•, Gas,11/12/71 to 12/14/71 Water,9/8/71 to 12/7/71 Expenses of K.Kline Repair Kline Property January Insurance payment on 2 Policies at $1.00 per wk. Hospitalization for Jan.1972 Guardianship Bond with Hartford Insurance Co. Advance for Gas Furnace Groceries Repair of Kline Shop Beef for Freezer Final Interest on CAC Account 29.89 63.82 28.66 264.22 387.70 4.00 14.15 20.00 202.~ 23.35 296.49 87.00 19.92 Jan.13 Sun Paint,Tile & ,Carpet Centers 347.67 Jan.17 Jan.17 Jan.17 Jan.25 Jan.25 Jan.25 Jan.29 Feb.6 Feb.6 Feb.6 Feb.6 Feb.11 Paul Jurovcik Dierken's Drug Stor~ Dr.Fred S.Klein Borough of New Eagle Equitable Gas Co. Myers &Myers Foodland Prudential Ins.Co. American General West Penn Power Co. Kierken's Drug Store First National Bank &Trust Company Wrapping of Beef 13.10 Medication for K.Kline 11.70 Medical Services 5.00 New Eagle Sewage Fund 32.40 Service,12/14/71 to 1/12/72 62.00 Beauty Shop Repair 292.17 Groceries 29.40 Hospitalization for Feb.14.15 Feb.Insurance payment$5,QQ Service to 1/27/72 27.35 Medica.tion for K,Kli.ne 4.50 Note 95.95 Feb.14 Foodland Groceries -1- ~PURPOSE AMOUNT, Gq's',1/12/72 -to 2/10/7~62.00 Co.Hospitalization for March 14.15 March Insurance 4.00 Groceries 20.95 Groceries 20.14 Foodland Groceries Sun Paint &Tile Center Balance of Account West Penn Power Co.Electric to 2/28/72 4.00 4.50 7.00 5.38 31.74 31.87 54.29 25.16 28.32 95.95 62.00 27.56' 95.95 14.15 ,' April payment on Note Final statement-beauty shop repair.' Groceries April Insurance premiums Electric to 3/28/72 ,.~1yer.s '&Myers', First ~ational Ba~k &Trust Co.i> America1 General Life Mon.City Water Co.Water,12/7/71 to 3/8/72 ~quitable Gas Co.Gas,2/10/72 to 3/13/72 West Penn Power Co., Fred Klein,M.D.Medical Services Prudential Insurance ·Co.Hospitalization for April pierKens Drug Store Medication Food1and First National Bank &Trust Co.March payment on Note Foodland George's Market American GeneralMar.1 Mar.1 Mar.9: Mar.10 Mar.17 Mar.17 Mar.29 Mar.30 Mar.30 Mar.30 Mar.30 Mar.30 Mar'~~:,30 April 6 April 6 April 6 April 6 DA.TE (1972)PAYEEReD';.28 ,Equitable~as Co. Mar.1 Prudential In~urande April 21 DierKen's Drug Store Medication 4'050 April 21 Oscar J.Martello Borough Tax 65.37 April 21 Borough of New Eagle Sewage Fund Sewage~quarter ending 1/30/72 36.60 Prudential Insurance Co.Hospitalization for May April 24 Hay-8 May 8 May 8 May 8 May 8 May 8 May 9 Borough of New Eagle American General Life West Penn Power Co. First National Bank &Trust Co. Greenlee,Richman, Derrico &Posa Foodland George's Market Garbage (April-J1.ay &June) May Insurance premiums Electric to 4/27/72 May payment on Note Costs Advanced rePetition for Loan for Estate Groceries Groceries -2- 4.00 14.15 5.00 25.21 95.95 11.50 25.31 DATE 1972 ' June 1 PAYEE American General Life PURPOSE June Insurance Premiums AMOUNT 4.00 June 1 Prudential Insurance Co.Hospitalization for June 14.15 June 1 June 2 June 19 June 19 June 19 June 20 July 5 July 5 July 5 July 5 July 5 First National Barik",&Trust Company Foodland ,- I "•'.West Penh'Power Co. Clyde Weber .DierKen "s Drug 'Store' Foodland Borough of New Eagle Wes t Penn Power Co. Myers &Myers Mon.City Water Co. American General Life ,~une,payment on Note Groceries Service to'5/26/72 Bread Medication, Groceries Sewage,Quarter 4/30/72 Service to 6/27/72 Repair (Little House) Service,3/8/72 to 6/7/72 Insurance Premiums for July 95.95 27.68 23.68 5.00 9.00 32.44 47.00 23.34 4.72 42.07 5.00 July 5 Prudential Insurance Co.Hospitalization for July 14.15 July 5 July 11 July 17 July 17 July 28 July 28 Aug.4 Aug.,4 Borough of New Eagle Palmer Fragell0 Foodland George's Meat Packing First National Bank &Trust Co. Mon.City Water Co. DierKen's Drug Store West Penn Power Co. Garbage (July,Aug.,Sept.) Labor,house Groceries Groceries July Payment on Note Service Medication Service to 7/27/72 4.00 35.00 18.65 18.78 '95.95 4.68 9.00 23.87 Aug.4 Prudential Insurance Co.Hospitalization for August 14.15 Aug.4 Aug.4 Aug. Aug.15 Sept.2 Sept.7 American General Life First National Bank &Trust Co. Greenlee,Richman, Derrico &Posa Foodland Foodland American General Life Insurance Premiums for August August Payment on Note Legal services re bank Loan Groceries Groceries Insurance Premiums for Sept. 4.00 95.95 150.00 28.82 39.38 4.00 Sept.7 Prudential Insurance Co.Hospitalization for September 14.15 -3-9o~JS6 ------_.._--------------------------- DATE (1972)PAYEESept.7·West Penn Pow~r Co. Sept.7 First National Bank &Trust Co. ",PURPOSE,_ Service to 8/25/72 September payment on Note AMOUNT 24.22 95.95 Sept.7 Sept.7 Oscar J.Martello, Tax Collector Kathryn Kline School Tax,1972 185.32 5.00 Sept.8 DierKen's Drug Store Sept.29 Foodland Medication Groceries 4.50 41.04 Oct.3 Pierces Custom Slaughter Meat 91.00 Oct.9 First National Bank &Trust Co.September payment on Note 95.95 Oct.10 Equitable Gas Co. Oct.10 West Penn Power Co. Oct.10'Western Pa.Water Co. Service to 9/11/72 Service to 9/26/72 Service 3.58 21.88 41.71 Oct.10 Prudential Insurance Co.Hospitalization for October 14.15 Oct.'10· Oct.10 Oct.10 Oct.30 Oct.30 Oct.30Nov.8 Nov.8 DierKen's Drug Store Postmaster Fred S.Klein,M.D. Borough of New Eagle Borough of New Eagle American General Life First National Bank &Trust Co. Medication Postage Physician's services Sewage Fund Garbage (Oct.,Nov.,Dec.) BankSeiviceCharge Insurance Premiums,Oct.&Nov. November payment on Note 4.50 8.00 8.00 42.80 4.00 5.00 9.00 95.95 Nov.9 Prudential Insurance Co.Hospitalization for November 14.15 Nov.9 West Penn Power Co. Nov.9 DierKen's Drug Store Nov.9 Equitable Gas Co. Nov.9 Rebarick,J.P. Nov.13 Bartolottas Nov.27 Martha Lee Jurovcik Nov.28 First National Bank .&Trust Co. Nov.28 ,Equitable Gas Co. Service to Oct.25,1972 Medication Service to 10/10/72) Bond (11/2/72 to 11/2/73) Groceries Wrap &Cut Pork December payment on Note Service 24.74 4.50 19.20 20.00 35.63 16.67 95.95 42.36 NoV.28 Prudential Insurance Co.Hospitalization for December...14.15 Nov.28 Chattaway Agency Fire Insurance -4- 51.00 D,ATE (1972)PAYEE Dec~'18 'West Penn Power Co~ Dec.18 Dec.18 Dec.18 Dec.26 Dec.26 Dec.30 Dec.29 Dec.31 Dec.31 Dec.31 DierKen's Drug Store Equitable Gas Co. Katherine Kline • Bartolotta's Bartolotta's Western Pa.water Co. Nalco1m L.Morgan County Treasurer DierKen's Drug Store West Penn Power Co. Fred S.Klein,M.D. ",PURPOSE Service to 11/27/72 Nedication Service to 12/11/72 Groceries Groceries Service to 12/7/72 County Tax,1972 Hedication Service to Dec.27,1972 Physician's services AMOUNT 26.91 4.50 65.96 25.00 35.76 3'6.61 34.56 59.10 19.20 30.93 5.00 j 'IJ .,1,;:J 1973 Jan.2 Jan.9 Jan.9 Jan.9 Jan.9 Jan.9 Jan.26 Jan.26 Feb.2 Feb.2 Feb.2 Feb.2 Feb.26 Prudential Insurance Co. First National Bank &Trust Co. New Eagle Sewage Fund (~hattaway Agency American General Life Insurance Co. Dr.M.G.Charles 0.0. New Eagle Borough Equitable Gas Co. First National Bank &Trust Co. West Penn Power Co. Prudential Insurance Co. American General Life Insurance Co. Bartolotta's Hospitalization for January January payment on Note Service for quarter ending 12/31/72 1st annual installment due 12/27/72 for fire insurance Insurance premium Glasses Garbage pick up,1973 Gas,12/11/72 to 1/11/73 February payment on Note Service to January 26,1973 Hospitalization for February February Insurance Premium Groceries 14.15 95.95 41.94 36.00 4.00 25.00 14.00 70.15 95.95 29.52 14.15 4.00 51.85 Mar.1 First National Bank &Trust Co.March payment on Note -5- DATE 1973 , Mar.3 Har.3 Mar.3 Mar.3 PAYEE DierKen!s Drug Store Myers &Myers Equitable Gas Co. West Penn Power Co. I PURPOSE Medication Beauty shop repair,drains Gas,1/11/73 to 2/09/73 Service to Feb.27,1973 AMOUNT 10.15 16.91 77.16 27.65 Mar.3 Har.5 Mar.5 Mar.18 Mar.26 Prudential Insurance Co.Hospitalization for.Harch American General Life Insurance Co.March insurance premium Oscar J.Martello Tax Collector Borough taxes,1972 William M.Reilly,M.D.Physician's services Shop &Save Groceries 14.15 4.00 65.37 30.00 34.93 Mar.27 Mar.27 Mar.28 Apr.8 Apr.8 Apr.8 Apr.8 Apr.8 Equitable Gas Co. Western Pa..Water Co. First National Bank &Trust Co. DierKen's Drug Store West Penn Power Co. Fred S.Klein,M.D. New Eagle Sewage Fund American General Life Insurance Co. Service,2/09/73 to 3/14/73 Service,12/07/72 to 3/07/73 April payment on Note Medication Service to 3/28/73 Physician's services Quarter ending 1/31/73 April insurance premium 65.82 37.52 95.95 16.,90 22.26 10.00 42.80 5.00 Apr.8 Prudential Insurance Co.Hospitalization for April 14.15 Apr.30 Apr.30 May 3 May 11 May 11 May 11 Foodland Equitable Gas Co. First National Bank &Trust Co. DierKen's Drug Store Myers &Myers American General Life Insurance Co. Groceries,3/14/73 to 4/12/73 Gas,3/14/73 to 4/12/73 May payment on Note Medication Beauty shop repair May insurance premium 31.78 45.43 95.95 4.95 1.52 4.00 May 11 Prudential Insurance Co.Hospitalization for May 14.15 May 11 May 11 May 11 West Penn Power Co. Katherine Kline Service to April 27,1973 Groceries 24.54 20.00 36.30 May 30 Equitable Gas Co.Service, -6- 4/12/73 to 5/14L73S/9~.,()3 26.69 May 30 June 7 PAYEE. Katherine Kline First National Bank &Trust Co. :PURPOSE .June payment on Note AMOUNT 25.00 95.95 June 7 Prudential Insurance Co.Hospitalization for June 14.15 June 7 June 7 June 7 June 7 June 7 June 7 June 7 June 7 June 22 June 28 July 8 July 10 July 10 July 16 Aug.1 July 31 Aug.1 July 31 Aug.10 Aug.10 Aug.10 Aug.10 DierKen's Drug Store west Penn Power Co. Adelphian Class United Methodist Church Monongohela Stephanie Fragello Paul Jurovcik American General Insurance Co. Myers &Myers Foodland Equitable Gas Co. Katherine Kline Finleyville Furniture Co. First National Bank &Trust Co. west Penn Power Co. Pierces Custom Slaughtering Foodland 84 Wholesale Equitable Gas Co. Timo's American General Insurance Co. New Eagle Sewage Fund West Penn Power Co. r1edication Service to May 29,1973 Sunday School class Hymnal in memory of Scotty Kline Grass cutting Tearing down small house June insurance premium Groceries Gas,5/14/73 to 6/13/73 Television set July payment on Note Service to 6/27/73 Meat Groceries Building repair Service to 7/13/73 Clothes July and August Insurance pr:.eI]liurn Quarter ending 4/30/73 Service to July 27,1973 4.95 22.31 10.00 4.00 8.00 150.00 4.00 63.48 27.07 15.03 30.00 560.74 95.95 21.93 38.30 30.12 8.42 7.77 42.45 9.00 36.75 21.97 Aug.10 Aug.10 DierKen's Drug Store Myers &~1yer s Medication Building repair -7- 9.90 4.80 9/12/73 to 10/11/73 11.34 /()77,;,/ Prudential Insurance Co.Hospitalization for Sept., Oct.,Nov.,&Dec. Prudential Insurance Co.Hospitalization for July and August DATE1973' Aug.10 A1+g..10 Aug.10 Aug.10 Aug.23 Aug.30 Sep.14 Sep.24 Oct.9 Oct.9 Oct.9 Oct.9 Oct.9 Oct.9 Oct.9 Oct.9 Oct.9 Oct.9 Oct.9 Oct.9 Oct.9 Oct.-9 Oc't.9 Oct.9 Oct.9 Oct.9 Oct.23 PAYEE First National Bank' &Trust Co. Western Pa.Water Co. Katherine Kline Gross Furniture Co. Montgomery Ward Foodland First National Bank &Trust Co. Centre Video Katherine Kline Myers &Myers DierKen's Drug Store• Fred S.Klein,M.D. American General Insurance Co. Stephanie Fragello West Penn Power Co. Equitab}e Gas Co. First National Bank &Trust Co. New Eagle Sewage Fund Western Pa.Water Co. J.P.ReBarick Cizmek Dry Cleaner~ Foodland Oscar J.Martello Tax Collector Postmaster Bentleyville,Pa. Equitable Gas Co. ".,'PURPOSE August payment on Note Service to 6/08/73 Chair Sheets Groceries September payment on Note Cable T..V.to Nov~1,1973 Building repair Medication Physician's services Sept.,Oct.,Nov.,&Dec. In:~urance,Premium '".'" Grass Cutting (9 times) Service,August &September Gas,7/13/73 to 9/12/73 October payment on Note Service ending 7/31/73 Water,6/08/73 to 9/06/73 Bond (11/2/73 to 11/2/74) Cleaning Groceries School tax,1973 Ringold School District Postage Gas, -8- Af-10UNT'. 95.95 33.56 28.30 25.00 26.45 25.55 43.64 95.95 27.16 30.00 9.61 9.90 10.00 18.00 27.00 52.28 15.33 56.60 95.95 39.80 38.54 20.00 4.00 40.20 189.10 8.00 DATE 1973 Oct.26 Oct.26 Oct.26 Oct.25 Oct.25 Oct.25 Oct.25 Nov.6 Nov.6 Nov.6 Nov.10 Nov.10 Nov.10 Nov.10 Nov.10 Nov.10 Nov.26 Nov.26 Nov.27 Dec.9 Dec.9 Dec.9 Dec.9 Dec.21 Dec.31 Dec.31 Dec.31 PAYEE American General Life Insurance Co. Paul Jurovcik First National Bank &Trust Co. Centre Video Cizmek Dry Cleaners Palmer Fragello Nontgomery Ward West Penn Power Co. Myers &Myers Katherine Kline DierKen's Drug Store Frye Lumber Co.,Inc. Chattaway Agency Stephanie Fragello Palmer Fragello Foodland Equitable Gas Co. Malcolm M.Morgan First National Bank &Trust Co. West Penn Power Co. DierKen's Drug Store Myers &Myers Katherine Kline Borough of New Eagle Equitable Gas Co. Western Pa.Water Co. Centre Video PURPOSE July to Dec.31,1973 Insurance premium Building repair November payment on Note Cable T.V.for Nov.&Dec. Cleaning Installing thermostat Service to 10/26/73 Building repair Medication Building repair Fire insurance,11/23/73 t to 11/23/74 Grass cutting Building repair Groceries Gas,10/11/73 to 11/12/73 County tax,1973 December payment on Note Service Medication Building repair Extra for Christmas Trailer ordinance Gas,11/12/73 to 12/12/73 Water,9/06/73 to 12/06/73 Cable T.V.,Jan.,Feb.,fJ1ar., Apr. AMOUNT, 28.00 200.00 95.95 8.00 3.25 5.00 67.94 22.55 3.23 25.00 4.95 39.83 50.00 3.00 5.00 40.88 41.66 59.10 95.95 30.42 4.95 40.83 70.00 1.00 31.63 40.19 16.00 Dec.31 Prudential Insurance Co.Jan.,Feb.,Mar.Insurance Premium -9- 42.45 Service to 12/27/73 DATE PAYEE 1'973 ' Dec.31 West Penn Power Co. Dec.31 Chattaway Agency Dec.31 New Eagle Sewage Fund 1974 .fURPOSE Fire Insurance Sewage AMOUNT, 33.48 36.00 _._3J:!.~,0......._ / I /J.'19' ~kZ/,;·:t ~-II,.'"':'!".1 Jan.3 Jan.3 Jan.13 Jan.7 Jan.7 Jan.28 Jan.28 American General Life Insurance Co. First National Bank &Trust Co. Anthony Appliance Foodland Pierce Custom Slaughtering Equitable Gas Co. Katherine Kline Jan.,Feb.,&Mar. Insurance premium January payment on Note Repair sweeper Groceries Meat Service,12/12/73 to 1/11/74 25.44 95.95 7.37 63.83 141.30 75.35 30.00 Jan.31 Jan.31 Feb.1 Feb.14 Feb.20 Feb.20 Feb.20 Feb.20 Mar.8 Mar.8 r-1ar.11 Mar.11 Mar.11 Mar.11 DierKen's Drug Store Medication Sun Paint &Tile Center Wallpaper,paint for kitchen First National Bank &Trust Co.February payment on Note Paul Jurovcik Bread West Penn Power Co.Service to 1/28/74 DierKen's Drug Store Medication Equitable Gas Co.Gas,1/11/74 to 2/11/74 DierKen's Drug Store Medication,balance from January West Penn Power Co.Service to 2/27/74 Finleyville Furniture Sofa,table &two chairs First National Bank &Trust Co.March payment on Note Oscar Martello Tax Collector Borough taxes Myers &Myers Building repair Borough of New Eagle 1/1/74--6/30/74 Refuse stamps 4.95 123.62 95.95 7.00 33.15 4.95 32.48 4.95 36.24 512.84 95.95 50.67 9.71 7.00 Mar.19 Prudential Insurance Co.Apr.,May &June Insurance premium 42.45-~0 -)SitI .)!J-' --------------- DATE 1:974 ' Har.25 Mar.25 Mar.25 Mar.25 Mar.30 Apr.1 Apr.1 Apr.1 Apr.10 Apr.10 Apr.10 Apr.12 Apr.30 May 1 May 6 May 6 May 7 Hay 8 May 8 May 17 May 17 June 5 June 5 June 5 June 10 June 11 June 18 June 18 PAYEE Equitable Gas Co. Western Pa.Water Co. Katherine Kline American General Life Insurance Co. Foodland F~ed S.Klein,M.D. First National Bank &Trust Company Centre Video DierKen's Drug Store Borough of New Eagle West Penn Power 84 Lumber Equitable Gas Co. Joseph Bardosh First National Bank &Trust Co. Bell Telephone Co. Foodland Myers &Myers DierKen's Drug Store Malcolm L.Morgan County Treasurer West Penn Power Co. Equitable Gas Co. First National Bank &Trust Co. West Penn Power Co. DierKen's Drug Store Foodland Bell of Pa. Western Pa.Water Co. :PURPOSE Service to 3/14/74 Water,12/06/73 to 3/07/74 Apr.,May &June Insurance premium Groceries Physician's services April payment on Note Cable T.V.,May,June,July, ,&August Medication Quarter ending 3/31/74 Service to March 28,1974 Gas,3/14/74 to 4/15/74 Repair roof May payment on Note Service,Jan.,Feb.,&Mar. Groceries Building repair Medication County taxes Service to 4/29/74 Service to 5/14/74 June payment on Note Service to 5/29/74 Medication Groceries Service,April &May Service,3/07/74 to 6/05/74 AMOUNT 45.13 36.17 20.00 27.56 28.21 10.00 95.95 16.00 4.95 41.40 30.46 199.11 44.07 12.00 95.95 27.70 36.05 3.29 4.95 40.34 28.52 22.24 95.95 26.22 9.90 39.12 8.35 30.13 June 25 Equitable Gas Co.Service to 6/13/74-11- 13.70/()CJ~.'-I.~. DATE (1974)PAYEE June'25 ,Prudential Insurance CD. June 25 July 1 July 8 July 8 July 8 July 15 July 17 July 18 July 20 July 24 July 24 Aug.2 Aug.8 Aug.8 Aug.8 Aug.12 Aug.24 Aug.24 Aug.27 Aug.26 Aug.30 Sep.12 Sep.12 Sep.12 Sep.17 Sep.27 Sep.25 American General Insurance Co. First National Bank &Trust Co. West Penn Power Co. Borough of New Eagle Katherine Kline Bell of Pa. Halco.lm L.Morgan County Treasurer Foodland New Eagle Sewage Fund Equitable Gas Co. First National Bank &Trust Co. West Penn Power Centre Video DierKen's Drug Store Bell of Pa. Foodland Equitable Gas Co. Katherine Kline First National Bank &Trust Co. Stephanie Fragello West Penn Power DierKen!s Drug Store Frye Lumber Co.,Inc. Bell of Pa. Western Pa.Water Co. Foodland Equitable Gas Co. ".PURPOSE H~~pit~lization for Jtily, August &September . Insurance .premium for July,Aug.&sept. July payment on Note Service to June 27,1974 7/01/74 to 12/31/74 Refuse stamp Bank Service Charge Service,June 1974 County taxes,Disc.on taxes,deadline missed Groceries Service to 6/30/74 Gas,6/13/74 to 7/15/74 August payment on Note Service to July 29,1974 Cable T.V.,Sept.,Oct., Nov.&Dec. Medication Service for July Groceries Service to 8/13/74 Cash September payment on Note Grass cutting Lll at $3 ~00 plus gas and oilL Service to August 27,1974 Medication Storm door Service,August 1974 Service,6/05/74 to 9/06/74 Groceries Gas,8/13/74 to 9/12/74 AMOUNT, 42.45 27.56 95.95 29.85 7.00 20.00 5.00 4.23 2.12 33.11 35.00 8.72 95.95 29.11 16.00 9.90 4.23 29.34 9.89 20.00 95.95 33.90 34.19 4.95 49.72 4.50 34.52 46.66 9.29 Sep.25 Lee Dryer Apples -12- Service 4.23 Medication 4.95 Labor 61.50 Insulation 71.02 3.50 31.79 58.50 25.00 20.00 37.46 81.50 95.95 12.00 AMOUNT Labor Labor Insulation 88.78 Meat 78.13 Building Repair 5.35 Grass Cutting 11.00 Service to 10/11/74 25.24 Service,quarter ending 9/30/74 39.80 Labor 5.75 Oct.,Nov.,and Dec.Premiums 27.56 Hospitalization for Oct., Nov.and Dec.42.45 Labor 71.25 New Eagle Borough Tax,1974 148.57 PURPOSE Service to Sept.25,1974 Oct.payment on Note Bond Premium Office Visit Labor Nov.Payment on Note 95.95 Service to Oct.25,1974 11.58 Medication 4.95 House Supplies 17.40 28 Tons Slag 140.00 -13-I<J;I,/~ ,DATE PAYEE -;----- 1974 Sept.30 Fred S.Klein,M.D. Oct.1 Paul Jurovcik Oct.1 First National Bank & Trust Co. Oct.6 West Penn Power Co. Oct.6 J.P.Rebarich Insurance Oct.6 Katherine Kline Oct.·8 DierKen's Drug Store Oct.10 Donora Lumber Co. Oct.13 Oscar J.Martello Oct.13 American General Insurance Co. Oct.13 Prudential Insurance Co. Oct.13 Bell Telephone Co. Oct.16 Paul Jurovcik Oct.16 Beth Ann Jurovcik Oct.16 New Eagle Sewage Fund Oct.17 Georges Meat Market Oct.21 Donora Lumber Co. Oct.21 Equitable Gas Co. Oct.21 Stephanie Fragell0 Oct.22 Myers &Myers Oct.23 Paul Jurovcik Oct.24 Agway Oct.28 paul Jurovcik Oct.28 Beth Ann Jurovcik Nov.1 Frist National Bank & Trust Co. Nov.8 West Penn Power Co. Nov.8 DierKen's Drug Store Nov.8 Myers &Myers Nov.8 Pomperi &Sons,Inc. DATE 197-4 Nov.8 Nov.8 Nov.8 Nov.11 Nov.13 Nov.15 Nov.15 Nov.16 Nov.20 Dec.1 Dec.6 Dec.6 Dec.6 Dec.6 Dec.6 Dec.14 Dec.14 Dec.14 Dec.14 Dec.14 PAYEE Paul Jurovcik Palmer Fragello Chattaway Agency Bell Telephone Co. Katherine Kline Foodland Paul Jurovcik Boro~gh of New Eagle Equitable Gas Co. First National Bank &Trust Co. West Penn Power Co. DierKen's Drug Store Katherine Kline Myers &Myers Chattaway Agency Paul Jurovcik Foodland Stephanie Fragello Bell Telephone Co. Frye Lumber Co. PURPOSE Labor Labor Fire Insurance Service for October,1974 Groceries Labor ,. Service to Nov.12,1974 December payment on Note Service to Nov.25,1974 Medication Extra funds for Christmas Building Supplies General Liability Insurance Labor Groceries Grass Cutting Service.to November AMOUNT 70.00 12.00 50.00 4.23 25.00 42.81 60.59 25.00 28.07 95.95 38.61 4.95 70.00 75.04 36.00 112.50 36.39 3.00 4.23 24.62 .j Dec.20 Dec.20 Dec.20 Dec.28 Dec.28 Dec.28 Equitable Gas Co.Service to Dec.12,1974 70.24 Western Pa.Water Co.Service 9/6/74 to 12/9/74 36.00 M.G.Charles,M.D.Office Call 15.00 Prudential Insurance Co.Hospitalization Jan-March,1975 42.45 American General Ins.Co.Jan-Mar,1975 Insurance premium 27.56 Centre Video Jan-Mar,1975 Service 12.00 Dec.30 1975 Jan.4 First National Bank & Trust Co. West Penn Power Co. January,1975 pay,ment..o,n Note 2_?..~_~.;i.c."".11l';I:;ttt.D sR7.>;~df.!./~.l..f.,"···· Service to 12/27/74 41.04 Jan.10 Jan.10 DierKen's Drug Store Bell Telephone Co. Medication Service for Dec.1974 -14- 9.90 DATE--1975 Jan.16 Jan.18 Jan.25 Jan.25 Feb.4 Feb.4 Feb.4 Feb.7 Feb.11 Feb.11 Feb.14 Feb.25 Feb.25 Feb.27 Mar.11 Mar.17 Mar.17 Mar.17 Mar.17 Mar.17 Mar,.18 Mar.18 Mar.21 Apr.11 Apr.11 Apr.11 Apr.11 PAYEE New Eagle Sewage Fund Foodland Equitable Gas Co. Boro,of New Eagle West Penn Power Co. First National Bank & Trust Co. Katherine Kline Malcolm Morgan,County Treasurer DierKen's Drug Store Bell Telephone Co. Oscar Martello,Tax Collector •-.llIIl'_' First National Bank & Trust Co. Foodland Equitable Gas Company West Penn Power Co. Bell Telephone Company Western Pa.Water Co. DierKen's Drug Store Fred S.Klein,M.D. Postmaster Foodland First National Bank &Trust Co. Equitable Gas Co. Central Video DierKen's Drug Store West Penn Power Co. Bell Telephone Co. PURPOSE Service ending Dec.31,1974 Groceries Service to Jan.14,1975 Refuse Stamp through 6/3/75 Service to Jan.28,1975 February Payment on Note County Tax for 1975 Medication January Service Borough Tax for 1975 March payment on Note Groceries Service to Feb.11,1975 .-.~,..'I/'1 .....""'.,.,L;I'........ Service to Feb.27,1975 Service for February,1975 Service 12/9/74 to 3/6/75 Medication Office call Stamps Groceries April payment on Note Service to March 13,1975 Cable Service,Apr,May,June Medication Service to March 31,1975 Service for March,1975 AMOUNT 84.80 45.38 67.92 7.00 44.91 95.95 15.00 40.35 4.95 4.19 50.67 95.95 43.57 72.77 41.72 4.19 44.30 4.95 12.00 10.00 41.38 95.95 66.46 12.00 4.95 39.48 4.21 Apr.30 Apr.30 Equitable Gas Co. New Eagle Sewage Fund Service to April 14,1975 Service to March 31,1975 -15- 47.88 42.40 J 196~;~ri New check book 9.69 Medication 9.90 Meat 202.58 Groceries 55.98 4.21 4.21 9.90 4.56 20.00 34.00 14.89 61.14 20.00 26.19 29.90 55.12 34.29 49.73 95.95 95.95 AMOUNT Service to June 27,1975 28.92 Service for June,1975 4.48 Cable Service through December 24.00 Weed Killer 5.28 July and August payments on Note 191.90 Service to July 14,1974 9.96 Service to June 30,1975 49.40 Insurance Premiums to end of July,1975 10.04 -16-I !iP:i,~I 7 Equitable Gas Co. American General Life Insurance Company First National Bank West Penn Power Company Bell Telephone Company First National Bank & Trust Company Centre Video Foodland "PAYEE PURPOSE r-1yers &Myers Katherine Kline Western Pa.Water Company Service 3/6/75 to 6/6/75 West Penn Power Company Service to May 29,1975 Equitable Gas Company Service to June 12,1975 .Bell Telephone Company Service for May,1975 American General Life Insurance Co.Insurance Premiums Myers &Myers Fuses Foodland Groceries DierKen's Drug Store Medication Equitable Gas Company Service to May 13,1975 West Penn Power Company Service to April 29,1975 Dr.William Reily Eye Examination Bell Telephone Company Service for April,1975 New Eagle Sewage Fund Georges Meat Market Dr.H.L.Goldberg Glasses First National Bank & Trust Company May payment on Note First National Bank & Trust Company June paynent on Note DierKen's Drug Store ,- DATE--, 1975 May 1 May 10 May 10 May 10 May 10 May 23 May 30 June 2 June 10 June 10 June 10 June 10 June 10 June 17 June 27 June 27 June 27 June 27 June 27 July 2 July 3 July 3 July 22 July 22 July 22 July 22 July 22 .July 29 Oct.3 West Penn Power Co. Sept.16 Bell Telephone Company Sept.30 Equitable Gas Company DATE PAYEE 1975 Aug.1 Katherine Kline Aug.1 Borough of New Eagle Aug.1 First National Bank & Trust Company Aug.1 Beth Ann Jurovcik Aug.4 West Penn Power Company Aug.4 Hyers &Myers Aug.13 DierKen's Drug Store Aug.13 Bell Telephone Company Sept.3 Food1and Sept.5 Equitable Gas Company Sept.5 West Penn Power Co. Sept.5 Katherine Kline Sept.16 Oscar Martello,Tax Collector 9.90 5.89 17.88 40.80 20.00 27.56 10.00 95.95 15.00 20.00 AMOUNTPUROSE Service for September,1975 and bedroom extension Service to Sept.30,1975 Medication Lawn Mower Handle Insurance premiums for Oct., Nov.and Dec. School tax for 1975 145.60 Service for Aug.1975 5.52 Service to September 11,1975 8.15 Service to September 26,1975 32.80 Office visit 12.00 Service to September 8,1975 48.66 November payment on Note Postage Groceries 44.21 Service to Aug.27,1975 29.18 Service to August 12,1975 5.81 Medication 4.95 Service to July 29,1975 29.82 Service for July,1975 4.21 Fan and Pipe 36.53 Mowing Grass 6 times 18.00 September and October payments on Note 191.90 Refuse Stamps,7/1/75 through 12/31/75 7.00 New Eagle Sewage Fund Myers &Myers Bell Telephone Company DierKen's Drug Store American General Life Insurance Company Katherine Kline Postmaster First National Bank & Trust Company Western Pa.Water Company Fred S.Klein,M.D.Oct.3 Oct.3 Oct.3 Oct.3 Oct..3~ Oct.3 Oct.3 Oct.14 Oct.14 Oct.14 Oct.27 Food1and Groceries 36.86 Oct.28 Frye Lumber Co.Material to fix broken widow, Beauty Shop-17- DATE (1975)PAYEE Oct~30 Equitable Gas 'Company Nov.4 West Penn Power Company PURPOSE Service to October 10,1975 Service to October 27,1975 AMOUNT 19.18 31.67 Nov.6 Nov.4 Nov.7 Nov.12 Nov.12 Dec.7 Dec.8 Dec.8 Dec.8 Dec.8 Dec.8 Dec.8 Dec .15 Dec.19 Dec.19 Chattaway Agency Sun Wall Paper &Paint Katherine Kline Bell Telephone Company DierKen's Drug Store Foodland First National Bank & Trust Company Equitable Gas Company West Penn Power Company Myers &Myers Sun Wall-Paper &Paint DierKen's Drug Store Katherine Kline Equitable Gas Company Bell Telephone Company Fire Insurance Premium Kitchen paint and brushes Service for October,1975 Medication Groceries December payment on Note Service to November 10,1975 Service to November 26,1975 Washer Hose Kitchen paint and brushes Medication Extra funds for Christmas Service to December 11,1975 Service for November 1975 80.00 23.30 20.00 5.26 10.35 34.57 95.95 26.07 35.78 6.89 14.16 5.40 70.00 53.10 5.41 Dec.19 1976 ,Jan.5 Western Pa.Water Company Kathrine Kline 15.00 Jan.5 Jan.7 Jan.7 Jan.7 Jan. Jan.27 Jan.26 Jan.26 Jan.26 Jan.27 First National Bank & Trust Company West Penn Power Company DierKen's Drug Store Myers &Myers Food1and Chattaway Agency Bell T~lephone Company New Eagle Sewage Fund Equitable Gas Company American General Life Insurance Co. January payment on Note Service to December.·29,1975 Medication Rock Salt Groceries General Liability Insurance Service for December 1975 Service to December 31,1975 Service to January 14,1976 Insurance Premiums to March 31 -18- 95.95 38.23 5.40 11.62 57.68 142.00 5.50 42.40 81.74 _...§.§.~7..o_- J,-~.:l.~. DATE--'- 197'6 Feb.4 Feb.4 Feb.18 Feb.18 Feb.18 Mar.4 PAYEE Centre Video Katherine Kline DierKen's Drug Store Bell Telephone Company West Penn Power Company Katherine Kline PURPOSE Service,January through April,1976 Medicati'on Service for January,1976 Service to Feb.10,1976 AMOUNT 16.00 15.00 5.65 5.70 55.77 15.00 Mar.4 Foodland Groceries Mar.4 Equitable Gas Company Service to Feb.12,1976 Mar.4 West Penn Power Company Service to Feb.27,1976 Mar.17 Bell Telephone Company Service for February,1976 Mar.18 DierKen's Drug Store Medication Mar.18 Fred S.Klein,M.D.Office visit Mar.18 Western Pa.Water Company Service to March 5,1976 Mar.18 Borough of New Eagle Refuse Stamp to June 30,1976 Mar.18 Oscar J.Martello,Tax Collector Borough Taxes for 1976 Mar.18 Centre Video Service,May and June Mar.31 American:General Life Insurance Company Insurance Premiums Mar.31.Postmaster 50 ,three cent stamps Apr.5 Equitable Gas Company Service to Harch 15,1976 42.65 76.25 22.39 5.39 5.65 15.00 21.58 7.00 50.67 8.00 28.28 1.50 45.70 Apr.5 Apr.5 Apr.16 Apr.16 Apr.16 Apr.16 May 4 May 4 May 4 May 10 Katherine Kline Food1and Bell Telephone Company DierKen's Drug Store West Penn Power Company New Eagle Sewage Fund Equitable Gas Company West Penn Power Company John F.Yoney,County Treasurer Katherine Kline Groceries Service for March,1976 Medication Service to March 29,1979 Service ending March 31,1976 Service to April 12,1976 Service to April 28,1976 County Taxes -19- 15.00 50.98 5.20 5.65 33.21 19.60 ' 33.52 27.85 46.71 15.00....._..,.. {.{f ,?';9(.) DATE 1'976 ' May 10 May 10 May 11 May 11 May 12 May 21 May 21 May 21 June 4 June 4 June 6 June 15 June 15 June 15 June 15 Aug.10 Aug.11 Aug.16 Aug.16 Aug.16 Aug.16 Aug.16 Aug.16 Aug.16 Aug.16 Aug.16 Aug.16 Aug.16 Aug.25 Aug.25 PAYEE Myers &Myers Foodland DierKen's Drug Store Bell Telephone Company Beth Ann Jurovcik Equitable Gas Company Palmer Fragello Paul Jurovcik Centre Video Katherine Kline West Penn Power Company DierKen's Drug Store Western Pa.Water Co. Bell Telephone Company Foodland Katherine Kline Foodland Bell Telephone Company West Penn Power Company Dr.William Reilley Equitable Gas Company DierKen's Drug Store New Eagle Sewage Fund Borough of New Eagle Sun Wall Paper &Paint . Oscar J.Martello,Tax Collector Myers &Myers American General Life Insurancet'Company : Postmaster American General Life Insurance Company PURPOSE Rake Groceries Medication Service for April,1976 Grass Cutting Service to May 12,1976 Hang storm door Labor Service for July through October,1976 Service to May 27,1976 Medication Service to June 7,1976 Service for May,1976 Groceries Groceries Service for June &July,1976 Service to July 28,1976 Eye Examination Service to July 13,1979 Medication Service to June 30,1976 Refuse Stamp through Dec.30, 1976 Paint and brushes Borough and per capita tax Radio,paste,trilon Insurance premiums Stamps Insurance premiums AMOUNT 3.89 15.02 5.65 6.83 14.44 23.69 15.00 133.75 16.00 15.00 30.60 5.65 60.81 5.20 38.06 .... 25.00 66.83 12.74 65.88 20.00 21.58 10.60 51.87 7.00 12.71 160.94" 52.44 41.32 13.00 56.44 Aug.25 Equitable Gas Company ,..~a~vice to Aug.II"1976 )~).tJ,(...I4>12.52 DATE-,.--l'.1976 ' PAYEE " PURPOSE AMOUNT '... Sept.11 West Penn Power Co. Sept.11 Bell Telephone Company Sept.11 Katherine Kline Sept.11 DierKen's Drug Store Sept.11 Myers &Myers Sept.20 Equitable Gas Company Sept.20 DierKen's Drug Store Sept.20 Western Pa.Water Co. Sept.20 Fred S.Klein,M.D. ,. Sept.27 Foodland Service to Aug.26,1976 Service for August,1976 Medication 40 Gal.Hot Water Tank for Beauty Shop Service to Sept.10,1976 Medication Service to Sept.8,1976 Office Visit Groceries 24.02 6.79 10.00 5.65 128.79 9.16 5.65 23.48 15.00 59.29 Oct.1 Oct.1 Oct.4 Oct.6 Oct.6 Oct.6 Oct.13 Oct.13 Oct.13 Oct.21 Nov.,8 Nov.8 Nov.8 Nov.8 Nov.8 Nov.10 Nov.10 Nov.10 Katherine Kline West Penn Power Company William Cororan J.P.Rebarick Centre Video Carl E.MCIlvaine New Eagle Sewage Fund Bell Telephone Company DierKen's Drug Store Equitable Gas Company West Penn Power Company Chattaway Agency,Inc. Paul lviII,D.D.S. Katherine Kline Myers &Myers Bell ,Telephone Company Foodland Postmaster Service to Sept.27,1976 Water Pipe for Trailer Bond premium November &December,1976 Electricity for Trailer Service to Sept.30,1976 Service for September,1976 Medication Service to October 11,1976 Service to Oct.25,1976 Fire and Extended coverage Insurance premium Tooth extraction Plumbing for extra sink for Beauty Shop Service for October,1976 Groceries Stamps 15.00 36.70 275.00 20.00 8.00 145.27 21.30 5.20 5.90 21.00 34.14 80.00 10.00 20.00 32.68 5.36 64.21 13.00 Nov.15 Nov.19 Nov.19 Mary Greenlee Beth Ann Jurovcik Paul Jurovcik 1/3 of Flowers for A. Alice's Funeral Labor-21- 7.2525.00 /217.~1'165.00 DjiTE 1976 ' Dec.6 Dec.6 Dec.6 Dec.7 Dec.7 Dec.7 Dec.7 Dec.14 PAYEE Pierce's Foodland Myers &Myers Frye Lumber Co. Equitable Gas Company Katherine Kline Cash DierKen's Drug Store ,'r PURPOSE Meat Groceries Battery,rock salt, sweaper bags Material to fix beauty shop overhang Service to Nov.9,1976 Christmas gifts for grand- children MeGHcation AMOUNT 104.19 47.85 13.92 89.50 55.76 25.00 25.00 11.80 Dec.14 1977 Bell Telephone Company Service for November,1976 ~?......~._ --;[-:;"9/t)7 4~.b.t~).:'<J ?..rs:.1-1 tt t}", Jan.7 Jan.7 Jan.7 Jan.10 Jan.25 Jan.25 Jan.25 Jan.25 Jan.25 Feb.8 Feb.8 Feb.8 Feb.8 Feb.9 Feb.14 Feb.14 Mar.8' Western Pa.Water Co. Myers &Myers Euitable Gas Company West Penn Power Company Bell Telephone Company Centre Video DierKen's Drug Store Borough of New Eagle New Eagle Sewage Fund Equitable Gas Company West Penn Power Company Myers &Myers Foodland Bell Telephone Company American General Life Insurance Company American General Life Insurance Company Equitable Gas Company Service to December 7,1976 Filters &Light bulbs Service to December 13,1976 Service to December 28,1976 Service for December,1976 Service "through March,1977 Medication Refuse Stamp to June 30,1977 Service to December 31,1976 Service to January 13,1977 Service to January 27,1977 Rock sale and push broom Groceries Service for January,1977 Insurance premiums through March,1977 Insurance premiums through March,1977 Service to February 11,1977 53.46 7.63 79.70 66.75 5.16 17.00 11.80 7.00 39.20 109.92 34.53 9.50 58.26 5.57 15.06 26.26 108.92 '-22- Mar.9' Mar.9 West Penn Power Company Myers &Myers Service to February 28,1977 48.74 7tJSt964.49 DATE (1977)PAYEE-'.-- flar.11 Katherine K1i.ne Mar ..11 Mar.11 ~lar.11 DierKen's Drug Store Bell Teleph6ne Co. Food1and ,;.....PURPOSE Medication Service for Feb.1977 Groceries AMOUNT I' 15~OO 11.80 6.57 37.41 Mar.15 Apr.14 Mar.15 Mar.15 Apr.4 Western Pa.Water Company Service to March 7,1977 R.D.C.Service Repair Co.Repair T.V. Oscar Martello, Tax Collector Borough Taxes 1977 Centre Video Service through June,1977 Katherine Kline 31.04 266.86 50.67 15.00 15.00 Apr.14 Apr.14 Apr.14 Apr.14 Apr.14 Apr.14 Apr.14 May 7 May 7 May 7 May 7 May 7 Fred D.Kline,M.D. Equitable Gas Company West Penn Power Company New Eagle Sewage Fund Bell Telephone Company Foodland American General Life Insurance Company Equitable Gas Company West Penn Power Company Martha Jurovcik Foodland Katherine Kline Office visit 15.00 Service to March 14,1977 70.55 Service to March ~9,1977 32.34 Service to March 31,1977 19.60 March(,1977 'service 5.45 Groceries 36.06 Insurance Premiums through June 41.32 Service to April 13,1977 64.68 Service to April 28,1977 56.05 Bread 4.36 Groceries 28.09 15.00 May 14 May 15 June 8 June 10 June 10 June 13 June 13 June 13 June 13 DierKen's Drug Store Medication 11.80 Bell Telephone Company Service for April,1977 8.01 Mon Valley Hospital,Inc.Teeth 124.00 Equitable Gas Company Service to May 12,1977 30.59 West Penn Power Company Service to May 27,1977 31.28 R.C~·A.Service Co.Repair T.V.25.97 John F.Yoney,County Treasurer County Taxes for 1977 48.19 William M.Reilly,M.D.Examination (Cataract)20.00 Bell Telephone Company Telephone service for May,1977 5.16 June 13 July 9 Katherine Kline F.N.Parent,M.D. 10.00 Consultation J ")&'o"').tS-Ar 50.00 -23.-..et'-_"'"---'----' DATE 1977 July 9 July 9 July 9 July 9 July 9 July 9 July 9 July 9 July 9 Aug.10 Aug.10 Aug.10 Aug.10 Aug.10 AUg.10 Aug.10 Aug.13' Aug.15 PAYEE Equitable Gas Company Paul Ivill,D.D.S. West Penn Power Company Western Pa.Water Company Borough of New Eagle Borough of New Eagle DierKen's Drug Store American General Life InsuranceCompany Centre Video Equitable Gas Company Bell Telephone Company Martha Jurovcik West Penn Power Pete Panseri Postmaster DierKen's Drug Store Martha Jurovcik Bell Telephone Company PURPOSE Service to June 13,1977 Surgery Service to June 28,1977 Service to June 7,1977 Sewage to June 30,1977 Refuse stamp to Dec.31,1977 Medication Premiums for July,August, and September,1977 July,'Aug.&Sept.service Service to July 13,1977 Service for June,1977 Chair &Sofa Covers Service to July 28,1977 Plumbing Supplies for separate water lines Stamps Medication Groceries &Medication Service for July 1977 AMOUNT 8.60 171.00 35.39 90.74 63.40 7.00 11.80 41.32 15.00 10.67 5.52 11.62 36.30 150.00 13.00 14.00 68.79 5.16 Aug.15 Aug.30 Aug.30 Aug.30 Aug.30 Sept.9 Sept.9 Washington Hospital West Main Street Pharmacy Medication Equitable Gas Company Service to August 11,1977 House of Vision Deposit on glasses~ Carmen's Fruit and Vegetables West Penn Power Company Service to A.ugust 26~1977 Mon Valley Hospital,Inc. 23.50 12.50 10.66. 100.00 12..02. 27 "32 32,34 Sept.9 P.J.Jurovcik Sept.9 Oscar Martello,Tax Collector Sept.10 Bell Telephone Company Sept.14 Dr.W.Ji.Reilly Sept.23 Foodland T-trap for sink Real estate and per capita tax for 1977 Service for A.ugust 1977 Eye surgery Groceries 3.81 191.60 5 0,85 400.00 47.15 Sept.14 House of Vision Balance on Glasses -24-47.50 Service to September 9,1977 Balance on Consultation Balance on cataract surgery DATE 1977 Sept.22 Sept.22 Sept.22 PAYEE Equitable Gas Company J.Paul Proudfit,M.D. Wm.J.Reilly,M.D. .\PURPOSE 10.65 12.96 150.00 Sept.22 Fred S.Klein,M.D.Office Visit 15.00 Sept.23 Western Pa.Water Company Service to September 7,1977 34.06 Oct.,10._Wes·t.Penn Power Company Service to September 27,1977 38.08 Oct.10 , Borough of New Eagle Sewage to September 30,1977 21.30 Oct.10 American General Life Insurance Company Oct.,Nov.,and Dec. Premiums 41.32 Oct.10 Centre Video Oct.,November,&December service 15.00 Oct.10 West Main Street Pharmacy Medication 12.50 Oct.11 Paul Jurovcik 285.12 Oct.10 Katherine Kline 15.00 Oct.20 Equitable Gas Company Service to October 11,1977 10.06 Oct.20 Bell Telephone Company Service for September,1977 9.89 Oct.20 Foodland Groceries 56.73 Nov.14 Bell Telephone Company Service for October,1977 5.16 Nov.14 West Penn Power Company Service to October 26,1977 37.08 Nov.14 Chattaway Agency Fire Insurance and extended coverage premium 77.00 Nov.14 Paul Jurovcik Labor -11/20/76 through 9/5/77 234.20 Nov.14 Katherine Kline 15.00 Nov.14 Foodland Groceries 51.62 Dec.6 Katherine Kline Flowers for Grave (Scotty's)25.00 Dec.12 West Penn Power Company Service to November 28,1977 41.41 Dec.12 Dec.12 ~quitable Gas Company Service to November 9,1977 West Main Street Pharmacy Medication 32.36 12.50 Dec.20 Western Pa.Water Co.Service to December 8,1977 17.41 Dec.20 Bell Telephone Company Service for November,1977 5.44 Dec.20 Cash Gifts for grandchildren 25.00 47.94 15.00 75.90 15.00 Foodland Centre Video Equitable Gas Company Dec.20 Dec.30 Dec.30 Groceries Jan.,Feb.,&March Service Service to December 13,1977 Dec.30 Dr.Fred S.Klein Offige .Vis:j"t &'-I /.A )9 1----=2::..:5:....---=.J:;,:=:.~.k/""lJIS tJ '910,t).f;-~_(p {/"'". 'I~P~U'!l'!l!R!!'!l!p~O!"l!!S~Ei"'""""--------:-A::M:::-OU~N~T;::::--- Service,April through Dec.1978 45.00 Martha Lee Jurovcik Bread 2.97 8.25 8.00 5.14 5.25 52.35 20.00 20.00 50.67 50.00 25.00 54.10 48.19 91.29 41.32 50.82 80.94 34.63 44.18 13.00 47.70 16.20 48.12 13.52 100.97 123.96 105.48 145.68 Groceries Guardianship Bond Premium New Eagle Borough Tax Service to March 7,1978 Rock Salt Service to March 14,1978 Service for February,1978 County Tax,1978 January,February,March,1978 Premiums Groceries Service to December 23,1977 Groceries Service,March and-26- J.P.Rabarick West Penn Power Co. PAYEE American General Life Insurance Company Foodland John F.Yoney,County Treasurer Katherine Kline ,. American General Insur- ance Company Oscar Martello,Tax Collector Centre Video Western Pa.Water Company George's Meat Market Meat Equitable Gas Co~pany West Penn Power Company Service to January 27,1978 Equitable Gas Company Service to January 13,1978 Bell of Pennsylvania Fergus Brothers Motor for McDuffie Furnace West Main Street Pharmacy Medication New Eagle Sewage Fund Borough of New Eagle Refuse Stamp through June 30 Bell Telephone Company Service for December,1977 West Penn Power Company Katherine Kline Dorine Panseri Foodland Bell Telephone Company Service for January,1978 Postmaster Stamps West Penn Power Company Service to February 28,1978 Equitable Gas Company Service to February 11,1978 Foodland DATE 197$, Jan.10 Jan.10 Jan.10 Jan.10 Jan.12 Feb..7 Feb.7 Feb.8 Feb.8 Feb.20 Feb.20 Feb.20 Mar.8 Mar.:8 Mar.8 Mar.8 Mar..8 Mar.8 Mar.21 Mar.29 ~1ar .30 Mar.30 Mar.30 Mar.31 Mar.31 Har.31 Mar.30 May 2 May 2 May 29 D~TE--, ·1978 June 9 June 9 June 9 June 9 June 9 June 9 June 9 PAYEE Fred S.Klein,M.D. West Penn Power Company Bell Telephone Company Borough of New Eagle Sewage Fund Equitable Gas Company George Johnson Katherine Kline "PURPOSE Office Visit Service to May 30,1978 Service to May 1,1978 Service,3/14/78 to 5/11/78 Repair Garage Door ,AMOUNT 17.00 42.35 14.33 17.01 83.55 15.00 60.00 June 9 June 9 July 25 Aug.14 Aug.22 Aug.22 Aug.22 Aug.22 Aug.22 Aug.22 Drs~McCaslin,Evans & Hoffman Laser Treatment Foodland Groceries Martha Jurovcik Reimbursement for clothing and groceries Foodland Groceries Bell Telephone Company Service,June,July and August,1978 Equitable Gas Company Service through Aug.10,1978 West Penn Power Company Service through Aug.17,1978 West Main Street Pharmacy Medication Western Pa.Water Company Service,June 7,1978 Borough of New Eagle 108.00 54.83 62.99 51.69 19.93 17.63 83.16 29.55 '11.90/ \..~~:.~"'..,r. 17.01 Aug.22 Aug.22 Aug.22 Oct.23 Oct.23 Oct.23 Oct.23 Oct.23 Oct.23 Borough of New Eagle Oscar Martello,Tax Collector ' Katherine Kline Paul Jurovcik West Penn Power Company Bell Telephone Company Equitable Gas Company West Main Street Pharmacy Western Pa.Water Company Refuse Stamp through 12/30/78 Real Estate and per capita Tax,1978 Labor 9/5/77 to 8L3l/78ServicetoSept.27,1978 Service,Aug.&Sept.1978 Service to Oct.10,1978 Medication 9.00 246.35 60.00 95.00 84.31 10.77 21.27 10.00 9.52 Oct.23,New Eagle Sewage Fund Service to 9/30/78 17.01 Oct.23 Oct.23 Katherine Kline Dr.Fred S.Klein Office Visit 60.00 17.00 Oct.23 Martha Jurovcik Reimbursement for Plastic for _~~~dow~,staples,groceries/,y/t;;>t.70.20 DATE 1978 Oct.23 Nov.1 Nov.1 Nov.1 Nov.2 Nov.2 Nov.6 Nov.13 Nov.20 Nov.20 Nov.20 Dec.14 Dec.14 Dec.14 Dec.14 Dec.14 PAYEE, Postmaster,Beallsville West Penn Power Co. Wm.A.Reilly,M.D. West Main Pharmacy Katherine Kline " Chattaway Agency Washington Hospital Bell Telephone Co. Equitable Gas Co. J.P.Rebarick Foodland Sara Greenlee Katherine Kline West Main Pharmacy Bell Telephone Co. Paul Jurovcik PURPOSE Postage Service 9/27 to 10/26/78 Balance on eye surgery Medication Fire &Extended coverage Premium Balance of Statement Service for October,1978 Service 10/10 to 11/8/78 Guardian's bond premium Groceries Cash for Christmas money sent to Grandchildren Extra funds for Christmas Medication Service for November,1978 New Kitchen light and sink drain AMOUNT 15.00 36.11 75.00 12.50 20.00 106.00 151.59 6.33 36.81 20.00 64.27 50.00 35.00 12.50 5.12 23.08 Consultation Dec.23 1979 Jan.9 Foodland J.Paul Proudfit,M.D. Groceries 33.11 .},.,.-7.A j if-;>iD¥d'~~~q..,O.'17/,S/ 10.00 Jan.9 Jan.9 Jan.9 Jan.9 Jan.9 Jan.9 Jan.16 Jan.9 Jan.12 Jan.29 Western Pa.Water Co. Centre Video Borough of New Eagle Equitable Gas Company West Penn Power Co. Frye Lumber Company Foodland New Eagle Sewage Fund Bell Telephone Co. Equitable Gas Co. Service 9/8 through 12/7/78 Service,Jan.through April Refuse Stamp 1/1 -6/30/79 Service 11/7 through 12/11/78 Service 10/26/78 -12/28/78 32'Aluminum Ladder Groceries Service for December,1978 Service 12/11/78 to 1/12/79 9.52 20.00 9.00 44.22 95.90 190.75 43.02 17.19 5.07 90.01 Jan.29 Postmaster,Beallsville Stamps -28- 15.00 DATE 1979 Jan.29 Jan.29 Jan.29 Jan.29 Jan.29 Feb.8 Feb.8 Feb.8 Feb.8 Feb.8 Feb.19 Feb.19 Feb.19 Mar.3 Mar.3 Mar.3 Mar.3 Mar.12 Mar.12 Mar.13 Mar.27 Mar.27 Mar.27 Apr.5 Apr.5 Apr.5 Apr.5 Apr.5 Apr.19 Apr. Apr.23 . PAYEE Borough of New Eagle Chattaway Agency American General Life Insurance Co. Fred S.Klein,M.D. Paul Jurovcik Foodland West Main Pharmacy West Penn Power Co. Frye Lumber Katherine Kline Equitable Gas Co. Paul Jurovcik Bell Telephone Co. Frye Lumber West Main Pharmacy Oscar Martello,Tax Collector Katherine Kline John F.Yoney,County Treasurer Bell Telephone Co. Foodland Western Pa.Water Co. Equitable Gas Company Fred S.Klein,M.D. West Penn Power Co. Washington Hospital New Eagle Sewage Fund West Main Pharmacy Katherine Kline Foodland House of Vision Centre Video PURPOSE Balance due on refuse stamp General Liability Premium Jan.through June Premiums Office Visit .Rock Salt &Push Broom Groceries Medication Service 12/28/78 -1/29/79 Supplies to repair ceiling 1/12/79 -2/10/79 Rock salt Service for January,1979 Snow shovel Medication Borough tax County real estate tax Service for February,1979 Groceries Service 12/7/78 -3/7/79 Service Physician's service Service 1/29 through 3/29/79 Balance for eye surgery Service to 3/10/79 Medication Groceries Glasses Service M~y through Aug,1979 -29- 5.00 256.00 82.64 17.00 29.12 111.92 12.50 51.90 242.86 25.00 121.14 15.23 7.27 12.50 12.50 50.67 25.00 43.81 9.26 64.88 8.12 80.07 20.00 91.66 173.65 18.00 17.15 25.00 59.74 72.00 _2Q.00 /713.,S-tj. DATE 1979 Apr.23 Apr.23 Apr.23 May 3 May 3 May 15 Hay 15 June 15 June 14 June 14 June 14 June 14 June 14 June 14 June 14 June 14 July 7 July 13 July 13 July 13 July 13 July 13 July 13 July 13 July 13 July 13 July 13 July 29 July 29 Aug.15 Aug.15 PAYEE - Bell Telephone Co. Equitable Gas Co .. Katherine Kline West Main Pharmacy Paul Jurovcik West Penn Power Co. Bell Telephone Co. Foodland Fred Klein,M.D. Equitable Gas Co. Frye Lumber William M.Reily,M.D. West Penn Power Co. Bell Telephone Co. Katherine Kline J.Paul Proudfit,M.D. Katherine Kline Bell Telephone Co. New Eagle Sewage Fund Western Pa.Water Co. W.Main Pharmacy West Penn Power Co. Equitable Gas Co. Monongahela Emergency American General Postmaster,Beallsville Foodland Equitable Gas Co. Katherine Kline Foodland v;e st Penn Power Co. Bell Telephone Co. •PURPOSE Service for March,1979 Service 3/13/79 to 4/11/79 Medication Labor 11/8/78 through 3/29/79 Service 3/29 -4/30/79 Service for April,1979 Groceries Medical services Service 4/11/79 to 5/11/79 Cordless Mower Cataract Extraction Service 4/30/79 to 5/30/79 Service for May,1979 !\1edical services Service for June,1979 Service to 6/10/79 Service 3/7/79 to 6/7/79 Medication 5/30/79 to 6/28/79 5/11/79 to 6/12/79 Emergency first aid July-Dec r 1979 Premiums Stamps Groceries 6/12/79 to 7/12/79 6/28/79 to 7/30/79 Service for July,1979 AMOUNT .. 5.07 47.10 25.00 17.15 86.25 55.27 6.31 74.41 20.00 24.87 48.12 600.00 39.25 7.66 25.00 47.08 25.00 6.11 18.00 8.71 37.50 ;36.40 18.38 15.00 82.64 15.00 68.54 8.60 25.00 63.26 44.49 6.74 Sept.10 Katherine Kline IIoJ;;1.C)/25.00 PAYEE Cable,Sept,-De~.,1979 ..DATE 197'9 Sept.10 Centre Video '..,PURPOSE AHOUNT .... 20.00 Sept.10 .Equitable Gas Co. Sept.10 Mon Valley Hospital Sept.10 West Penn Power Co. Sept.10 Martha Jurovcik Foodland Sept.10 Oscar Martello,Tax Collector Sept.25 New Eagle Borough Sept.25 Equitable Gas Co. Sept.25 Western Pa.Water Co. Sept.25 Bell Telephone Co. Sept.25 Fred S.Klein,M.D. Sept.25 Bentleyville T.V. Hardware Service 7/12/79 to 0/10/79 Emergency Room 7/30/79 to 8/28/79 Sweeper :H.EcDair Groceries Real Estate and Per Capita Tax Refuse Samp for July through December,1979 8/10/79 to 9/11/79 6/7/79 to 9/7/79 Service for August,1979 Medical services New lawn mower 6.55 5.85 38.39 14.33 65.54 261.69 10.00 8.40 8.70 9.77 20.00 265.00 Oct.17 Oct.17 Oct.17 Oct.17 Oct.17 Oct.17 Oct.17 Oct.19 Nov.26 Nov.26 Nov.26 Nov.26 Nov.26 Nov.26 IDee. Dec.8 Katherine Kline West Main Pharmacy New Eagle Sewage Fund Bell Telephone Co. Beck Insurance West Penn Power Co. Foodland Equitable Gas Co. Chattaway Agency West Penn Power Co. Bell Telephone Co .. Equitable Gas Co. Katherine Kline Paul Jurovcik Montgomery Ward Foodland Medication Service to 9/10/79 Service for September,1979 Bond N4080922 8/28 to 9/27/79 Service 9/11/79 to 10/10/79 Fire &Extended coverage premium Service 9/27/79 to 10/26/79 Service for Oct.,1979 Service Services,29 1/2 hours,5/6/79 to 10/28/79 ($88.50)and Bat tery ($4 .64 ) Couch cover,underclQthes Groceries 25.00 25.00 18.00 8.3120.00 40.37 61.67 17.43 73.00 39.47 8.20 40.64 40.00 93.14 35.56 73.37 • Dec.15 Foodland -31- 72.30 I ~/..:(.~.:~.S? ·QATE 1980, Jan.17 Jan.17 Jan.17 Jan.17 Jan.17 Jan ..17 Jan.17 Jan.17 Jan.17 Jan.17 Jan.17 Jan.17 Jan.17 Jan.20 Jan.21 Jan.21 Feb.20 Feb.20 Feb.20 Feb.20 Feb.20 Feb.20 Feb.20 Feb.20 Feb.20 Feb.20 Mar.21 Mar.21 Mar.21 Mar.21 PAYEE William Reily,M.D. West Main Pharmacy West Penn Power Co. New Eagle Sewage Fund New Eagle Borough Fred S.Klein,M.D. Western Pa.Water Co. Equitable Gas Co. Pete Panseri Bell Telephone Co. Centre Video K'atherine Kline American General Frye Lumber Co. Paul Jurovcik Postmaster West Main Pharmacy Centre Video Equitable Gas Co. W~st Penn Power Co. Sun Carpet Bell of Pa. Frye Lumber Borough of New Eagle Martha Jurovcik Katherine Kline West Penn Power Co. Equitable Gas Co. West Main Pharmacy B~ll Telephone Co. ...PURPOSE Examination I1edication Service 10/26 to 12/28 Service to 12/10/79 Refuse Stamp,Jan.thru June Examination Service 9/7/79 to 12/7/79 Service 11/7/79 to 12/11/79 Pressure valve on hot water tank Services,November &December Cable Jan.through June,1980 Premiums Jan.thru May,1980 6 ft.wooden ladder Hooks for suspended ceilings Stamps Medication Balance on increase,February through June,1981 Service 12/11/79 -1/14/80 Service 12/28/79 -1/29/80 Carpet for bedroom Service for January,1980 80 Lbs.Salt &Broom handle Balance on Refuse Stamp Groceries Service 1/29/80 -2/28/80 Service 1/14/80 -2/11/80 Medication Service for February,1981 -32- A110UNT .•',' 25.00 28.00 96.07 18.00 10.00 20.00 14.50 79.79 10.00 17.15 30.00 25.00 64.46 28.93 7.98 15.00 12.50 1.75 104.20 53.46 168.54 6.26 12.96 5.00 58.66 25.00 49.81 125.79 12.50 6.50--._...._'-."..~~ / I J:<,'1 I Borough Taxes (25 Mills) DATE-'--1980 Mar.21 PAYEE Oscar Martello,Tax 'Collector I "..,PURPOSE AHQU,NT 0', 62.11 Mar.21 John F.Yoney,County Treasurer County real estate taxes (22 Mills)48.19 Mar.21 Katherine Kline 25.00 Mar.21 Martha Jurovcik Curtains,Rods,&Socks 29.51 Mar.21 Middle Department Inspection Agency Inspect wiring 18.00 Mar.27 Food1and Groceries 81.89 Mar.George's Meat Market 91.37 Har.24 Apr.23 Apr.23 Apr.23 Apr.23 Apr.23 Equitable Gas Co. New Eagle Sewage Fund Bell Telephone Co. Equitable Gas Co. Fred S.Klein,M.D. Western PaD Water Co. Service 2/11/80 -3/12/80 Service to 3/10/80 Service for March,1980 Service 3/12/80 -4/11/80 Medical services Service 12/7/79 -3/7/80 100.80 19.00 5.01 69.51 20.00 14.57 Apr.23 Apr.23 West Main Pharmacy West Penn Power Co. Hedicatior~ Ser~ice2/28/80 -3/28/80 12.50 47.08 Apr.23 Sun Carpet 120.10 Apr.23 Katherine Kline 25.00 Apr.23 Apr. Martha Jurovcik R.C.A. Pots,pans,socks,blanket Repair 'r.V. 33.47 100.65 Hay 10 Foodland Groceries 56.90 .June !l3 First National Bank &'rrust Co.Printed checks 13.88 June 12 June 12 June 12 American General Life Insurance Company Equitable Gas Co. West Penn Power Co. premiums Service 4/11/80 -5/12/80 Service 3/28/80 -5/29/80 97.76 39.92 87.01 June 12 Bell Telephone Co.Service 5.57 June 12 West Main Pharmacy M.edication 12.50 June 12 Katherine Kline 30.00 June 12 New Eagle Borough Refuse Stamp,July-Dec.198D 15.00 June 12 Orsatti's White envelopes,large &small 2.22 Centre VideoJune12 _Cable,July-Deceraber,19 8f)1r3~/•.P137 .451L-.::..l....1=...__--..:.....__=---_ Groceries 62.59 I;:ATE 1980' June Foodland PAYEE "PURPOSE June 12 Bell Telephone Co. June 16 ~ee Dryer June 16 Paul Jurovcik June 21.Equitable Gas Company July 23 West Penn Power Co. July 23 West Main Pharmacy July 23 Western Pa.Water Co. July 23 Bell Telephone Co. Service 5.55 Flowers for Cemetery 8.00 Services,11/1/79 thru 5/31/80 246.75 Service 5/12/80 -6/11/80 15.88 Service 5/29/80 -6/27/80 37.76 Medication 12.50 Service 3/7/80 -6/6/80 9.39 Service for June,1980 5.31 July 23 July 23 July 23 July 23 July July 23 Aug.28 Aug.28 Aug.28 Aug.28 Aug.28 Aug.28 Aug.28 Aug.28 Aug.28 Aug.28 Aug.28 Sept.17 Sept.17 Sept.17 Sept.17 Sept.17 Sept.17 Sept.17 Borough of New Eagle Equitable Gas Company William Reily,M.D. Katherine Kline Foodland Fred S.Klein,M.D. Equitable Gas Co. Highway Appliance West Main Pharmacy West Penn Power Co. Oscar Martello,Tax Collector Fred S.Klein,M.D. Mon Valley Hospital Bell Telephone Co. Katherine Kline Postmaster Foodland West Main Pharmacy West Penn Power Co. Frye Home Center Bell Telephone Co. Katherine Kline Western Pa.Water Co. Equitable Gas Co. Service 6/10/80 -7/11/80 Examination 6/24/80 Groceries Office Visit Service '6/11/80 -8/11/80 New Kitchen Range Hedication Service 6/22/80 -7/29/80 Real Estate and·Per capita tax Office Visit Out patient services Service for July,1980 Stamps Groceries Medication Service,7/29/80-8/27/80 Roof coating,Saw,Bursh Service for August,1980 Service 6/6/80-9/5/80 J'_ervice 9/11/80-9/10/80 /$S9.d 7 19.00 7.62 25.00 25.00 73.63 20.00 9.03 339.15 12.50 44.71 272.64 15.00 25.00 15.00 70.75 18.42 36.92 37.58 9.90 25.0010.38 8.93 ·.,BATE 1980' Sept.Food1and PAYEE •I PURPOSE Groceries AMO.UNT .~, 55.60 Sept.25 Mon Valley Hospital Outpatient services 48.55 Oct.15 West Main Pharmacy Medication 16.19 Oct.15 Borough of New Eagle Sewage fund to 9/10/80 19.00 Oct.15 Bell Telephone Co.Service for September,1980 6.23 Oct.15 Katherine Kline 25.00 Oct.31 Oct.31 Equitable Gas Co. West Penn Power Co. 9/10/80-10/9/80 8/29/80 -10/27/80 6.76 86.58 Oct.31 RCA Service Co.Repair T.V.55.39 Oct.31 John A~Ves1ey,M.D.Put splint on arm 75.00 Oct.31 Robert Hufford Repair roof around chimney and vallies 45.00 Noy.9 Martha Lee Juroycik Material to fix beauty shop window 21.75 Noy.14 food1and,Bentleyville Groceries 65.17 j Nov.17 Bell Telephone Co.Service for Qctobe~,1981 12.68.. Nov.17 Fred S.Klein,M.D.Examination 20.00 Nov.17 Equitable Gas Co.Service 10/9/80-11/7/80 56.86 Nov.17 Katherine Kline 25.00 Dec.3 1981 Jan.12 Chattaway Agency Foodland Fire and extended coverage insurance premium ,~,t",L~l<fi1/;,j!"l7tJt'j~g I Groceries 120.05 Jan.12 Katherine Kline 100.00 Jan.18 Bruce A.Sicchitano Electrical work ordered by Paul Jurovcik 270.83 Jan.18 New Eagle Sewage fund Service,12/10/80 19.00 Jan.26 West Penn Power Co.Service 112.82 Jan.26 Equitable Gas Co.Service 253.25 Jan.26 Borough of New Eagle Refuse Stamps,1 year 28.00 Jan.26 Western Pa.Water Co.Service 9.39 FeO.14 Middle Department Electrical inspection of new wiring 36.00 feb.16 Foodland,Bentleyville Groceries 111.56 Timo'sFeb.25 Clothing for Katherine 5 00-35-)O&'fi·c;r1 •'----------------------_...::..:::._- dATE' 1981 Feb.25 Feb.25 Feb.25 Feb.25 Feb.25 Feb.25 PAYEE American General Life Insurance Co. West Penn Power Co. Fred S.Klein,M.D. Equitable Gas Co. Bell Telephone Co. Katherine Kline PURPOSE • Insurance premiums, January-December,1981 Service Medical services Service Service,2 months AMOUNT ..• 157.20 53.67 25.00 171.42 33.09 50.00 Feb.25 Monongahela Emergency Room Feb.25 West Main Pharmacy Feb.25 William M.Reily,M.D. Feb.25 Frye Lumber Co. Feb.25 Postmaster Feb.25 Centre Video Serivce on 8/20/80 Medication Examination Electrical supplies ordered by Paul Jurovcik,12/30/80 Stamps Cable T.V.,12 mos.(1981) 23.00 32.39 25.00 35.63 15.00 64.20 Mar.27 Apr.2 Apr.23 Apr.23 Apr.23 Apr.23 Apr.23 Apr.23 Apr.23 Apr.23 Apr.23 Apr.23 Apr.24 May 11 May 11 May 11 May 21 June 1 Foodland Katherine Kline Bell Telephone Co. Equitable Gas Co. West Penn Power Co. New Eagle Sewage Fund Western Pa.Water Co. West Main Pharmacy Oscar J.Martello, Tax Collector Fred S.Klein,M.D. John F.Yoney,County Treasurer Postmaster Katherine Klien West Penn Power Co. West Main Pharmacy Bell Telephone Co. Brian Grimes Katherine Kline Service Service to 4/13/81 Service,March &April,1981 Service to 3/10/81 Service Medication 1981 New Eagle Borough Tax and per capita tax Hedical services ~vashington County real estate tax Stamps Service to 4/29/81 Medication to 4/30/81 Service to 5/1/81 Mowing Lawn Groceries 74.21 100.00 24.05 211.42 113.59 19.00 10.72 15.00 61.00 25.00 53.65 3.00 50.00 51.46 12.50 17.96 25.00 100.00 William M.Reily,M.D.June 24 -.Examination ______ -_36 -- 35.00 J::ATE'--1981 June 24 June 24 June 24 June 24 July 25 July 25 July 30 PAYEE Equitable Gas Co. Bell Telephone Co. Katherine Kline Western Pa.Water Co. Katherine Kline West Penn Power Co. West Penn Power Co. PURPOSE ; Service 4/13/81 .,...6/12/81 Service Groceries,etc. Service Groceries Serv'ice,2 months McDuffie Electric Bill, assumed until 6/29/81 AMOUNT '.' 65.47 9.31 100.00 11.59 100.00 38.36 77.87 1.50 27.50 15.94 25.00 21.27 80.00 26.90 25.00 25.09 98.66 55.19 15.00 11.67 225.00 283.91 19.95 150.00 J ,f /l;;1")g-', ...$49,471.65~~t~,.L:dJ 0/01d ~;<',.., Service to 6/10/81 Service Medication Medical Services ~edical Services Medications Medications for K.Kline Services Groceries Service 'to 10-27-81 Service Service for Aug.&Sept. Groceries Postage Telephone services Services from June to Sept. 1981 School Taxes To'rAL DISBU~,SEr1ENTS July 30 West Hain Pharmacy July 30 Bell Telephone Co., July 30 New Eagle Sewage Fund Oct.3 Katherine Klinej. Oct.3 West l;'enn Power Co. Oct.3 Fred S',Klein,M.D. Oct.3 Oscar J.Martello Oct.3 West Main Pharmacy Oct.3 Eg~itable Gas Co. Oct.3 ~I]estern Pa.Water Co. Oct.3 Bell Telephone Co.of Pa. Oct.6 PostjJlaster.,...Beallsville NOV.10 West Perin Power Co. Nov.10 Bell Telephone Co.of Pa. Nov.10 Fred S.Klein,M.D. Nov.10 West Main Pharmacy NOV.10 Katherine Kline -37- STATE OF PENNSYLVANIA, WASHINGTON COUNTY, The within named Accountant being duly sworn according to law,deposes and says that the above account qs stated is true and correct as ~.~verily believe. Sworn and subscrib~d before me this ....).$.th..... d{1 ~······:······~l~r-·~l;"·············..'"19 ~J . .~~(l)' . SHERRIH.BOAfiDtEi.i~JIARY BUC WASHINGTON,WASHINGTON CO MY COMMISSION EXPIRES APR.20,1985 Member.Pennsylv;onio ~<:,;ociation of Notaries Washington County,ss: KILV.VLI/..dt~. Barrett G.Greenlee I do certify that I have given legal notice to all persons concerned of the filing of 'the within account in the manner prescribed by Statute and Rule of Court,as evidence by proofs thereof filed to No...._~__3:-::-:..fll:~..LI:ls:__. , o ci ""o ~Q) 5 o :§ """"o~ "c::lI:ltil...Q)....'"'bQ Q).p:: do:;:l tilEl...~Col...o"" .......::soC,) o.... Witness my hand and official seal this 1..1kL ... day o~~rl-..--:..-19_f_~ -.-..-..-I.(~-~9·i·~/Y;i3~ ",, j •.•" V I i ~~;'I ......... -.,.. (~ ..., rJl ~l ~! ~ 0 J {)"\) \;~ ~+J\i)s::i<(1) l\+J:.... (1):0 ~4 Pi dSi::l0OiCol()i Col S::i -< Hi s::~ r;..rUt~i 0r--i ril:1 ~,....j~:~i E-c Zi cQ-<E-c Hi QIirnH!'Mril:1 ~i ~r--! oo!rill rd OOi Z!Q Hi '9P::;i rili ',ol-i:I:i U1E·!!.~0 ~iz ILl ,.~ .~oil o'J.t-.,_ •r ...,~~',. '. ~-1.\,.~~.~ -.,-......•.~ .-~'"'i .Il",<14......;. " ",. !UO!fnq!Jfs!P JadoJd H)adsaJ S!fJnO]aYl \., -111 :'r ~,.... ~I f"', '~.tI,>:l.', ·.t ....,r tJ S-ot<;i }9;-c ,. ~.,r i.~-,,;..J>):'"1:-~l 1 - IN THE COURT OF CO~lliON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION j IN RE: ESTATE OF KATHERINE KLINE, AN ALEEGED INCOHPETENT ) ) ) ) ) No.887-1971 AMENDED ORDER OF'COURT And now,to wit,this J!i day of December,1981,upon motion of Mark F.Geary,Esquire,Attorney for Pe~itioner,Martha L.Jurovcik,and upon consideration of the First and Final Account of Barrett G.Greenlee,Guardian,having been filed with the Court and with the consent of First National Bank and Trust Company,it is hereby ordered that the First National Bank and Trust Company of Washington County,Pennsylvania,is appointed Successor Guardian of the Estate of Katherine Kline,An Incompetent,as of the date of this Order. BY THE COURT. J. .::.; .~~~':I ;;-:r-~L ,.'1-:,~....,..,~n<.,"':$'"".:.:d-, I 1 ::.rr .....~·~~)~t,•j-<'''1 :::::1 e;..~~: ~~~'~j ::x~,:.~·~.td,-..,.,J':';t; ~-_.. ::,-.g:;~~~..:','1 ~------------------------------~--- J • No.63-71-887 ) ( ) ( )an incompetent. IN RE: i~Estate of Katherine Kline,Clz J:l/l0( ~ ~IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVAN'A ~ORPHANS I COURT DIVISION oJ>-l/lZZ1&1Q. ..:u a:I-l/l C oJ« u c~BEFORE: :tl-I' l\I DATE: HEARING ON PETITION SUR AUDIT Thomas J.Terputac,Judge Thursday,February 4,1982 • eti~APPEARANCE:I-a:oQ. W It l-ll: ::JoU oJ« u ii:u.o Paul Posa,Esq.,of Washington,Pa., representing the Accountant. Rose M.Paci11a Official Court Reporter Washington,Pa.15301 ,..,,.,•,<, ....-------------------------------- 2. THE COURT:This is the Estate of Katherine Kline,'an incompetent • Greenlee,Richman,Derrico &Posa.Mr. Posa• of life insurance on which Mrs.Kline is for the 'first and final account of please,this is the time se't for audit died very recently and she's named as The Court '.. has bee'n "appointed as successor guardian. the beneficiary.Her brother,Homer Gate;, MR.POSA: has 'to do with,I think it's 'threepolici~s the guardian.Those 'policies have not been couple.of matters in.the petition.One I;, I would call:t'he:Court's attention'to a,.. The reason for the account was that estate of Katherine 'Kline,an incompetent Barrett G.Greenlee,guardian of the Mr.Greep..l~~hasre$ign~q as ,.guardian and :;,'.,.'... .First 'N:atio~'al Bank and'Trust~Company .( z.(->..J ~" Z Z \&Ia. i0l-f-'Z :tUI~~ t-=~a:I-UI 0 / ..J0( U 0:::>.., J:l-I'N <Iia:\&II-a:0a. \&I II: I-a::::>0u .J« u ii:II.0 \. •settled but 'Mr.Greenlee has made application for the benefits 'and when tho~e are received,they will be turned over to the 'success'or guardian.She's also named as a beneficiary under the will of 3• Homer E.Gates and that estate has only recently been begun and I think that we can give the information to the successor guardian concerning that.She is entitled to I think part of the residuary estate in the Gates estate; THE COURT:Do you think we ought to close the audit subject to those?Is this a partial accounting? MR.POSA:This is a final account.We 'hope 'it is a final accounting.He resigned.We had a hearing,well,actually a conference if you recall and a new guardian was appointed and I think ,it is 'necessary tha we close this out.We can inform the e~ecutorsof the Gates''est'ate 'to deal directly with First National Bank. ," THE COURT:Do you propose to continue the 'bank as guardian or are they to be 'discharged? ,;,\ MR.POSA:They are ,....---------------------------,-------;--,----,-,------------------- 4. successor guardian and they are going to continue as guardian.Mrs.Kline is • still under disability and needs a guardian• be made 'to First National Bank of the can close that guardianship out with MR.POSA:Yes,Your guardianship of this estate. Okay,so we . I should also call yourbalance. Honor.We are asking that distribution THE COURT: successor guardian and continuing the First National Bank taking over as ..:~a:t-en o .J 0( ~o :J., :tl-I'N 0( z0(~>-en Z ZIIIa. iot-~Z Xen0( it ~. • of the assets,mainly real estate and fees,we have been counsel for the estate attention to two other matters involving for ten years and beCause 'of the nature With respect to our attorney'sfees. <Ii 0:III t-o:oD-w It t-o: :JoU oJ 0( uii:II.o income from the real estate,we have found it impractical to bill because of t e lack of funds. THE COURT:Have you not asked for fees out of the income?,. - I .....--------------------------------------------- 5. MR.POSA:We have not • billed and weare 'asking the Court to consider awarding us fees.I don't know whether you want a separate petition on t'at to hear it sepa~atelybut in the petition we 'have asked for a fee of $2500.00 to cover ten years.We have arbitrarily • set it at $250.00 a year.If we base it on a percentage basis,the fee actually would be approximately $3300.00 and we feel that we will accept a compromise if the Court is willing to do that and 'this ,.II._., ."'.'i::J.•would apply also to the 'guardian,who has not received any commission over the ten year !.t.•," per,iod.,He 's17111 is 'not interested in receiving,a commiss~on,but he has asked "t .I -~.'.,1",':',I that the sum of $2500.00 be awarded to hir which he then would waive and set aside i1 a trust for the funeral of Mrs.Kline. Mrs.Kline is his aunt and had concern about her funeral,believing maybe 'the assets would not be sufficient to provide for it later on,so he 'is willing to return his fee in trust for the purpose 0 her funeral and we ~re asking the Court to consider that in our petition also. 6. In both cases,both for our fees and thegu'ardian's fees,we are 'willing to press'for fees at this time. wait until there are assets available for •that purpose •Weare not going to We 'will review this matter and we will MR.POSA:Thank you. get in touch with you,1~.Fosa,particulcrly to determine whether or not separate petitions ought to be filed • • :0( Z ' 0(>..J>-enzzILl II. iol-t.'Z :ren0(~ ..:u Il:I-UI o ..J0( U o ::J.., :tl-I'l\l ,, THE COURT: ~~~TH.E COURT:· All right. Anybody else no res'ponse,the account as to Barrett closed,subject to guardian's commission, in court interested in the 'incompetency• ,,.. G.Greenlee,~guardi~n of the estate,is There beingestate'of Katl1erineKline?' iiiIl:ILll-ll:oa.ILl Il: l-ll: ::JoU ..J0( Ui;: lI.o .~ fees 'and other matters asarelated by counsel. * * * * * ,,_I IIIJ • • • 0( z 0(>oJ>-IIIZZ l&I Do zoI- elZ :r t/) 0( ~ ..=u Il:l-t/) o oJ0( U o:J.., :t.. "N uiIl:l&I l-ll:oa- l&I Il: l-ll::JoU oJ 0( U i;: ll.o 7. I hereby certify that the proceedings 'are contained fully and accurate y in the notes taken by me''during the 'hearing in the above caUSE and that this copy is a correct transcript of the same. Off1c1al court Reporter The foregoin(~ record of the proceedings of the hearing in the above cause is hereby approved and directed to be 'filed. dL/~A'ThomasJ.Te-rputac,Ju14e ,, " t ',.J \J (, ,. Iu tl1e arnurt nf arnmmnu 'leali nf IJulil1iugwu arnuuty, Jeuuliylnuuia (0rpl1auli'arnurt IJinililnu J ESTATE OF KATHERINE KLINE , INCOMPETENT No.63-71-887 In the matter of the FI RST AND FI NAL Account of BARRETT G.GREENLEE, GUARDIAN B ADJUDICATION AND DECREE And now Ma r Ch,S',19~,this matter having came on for hearing,audit and distribution and testimony taken;upon due considerf~o1 jberr'1,the bal- ance for distribution in the ha,nds of the Accountant is determined to be $.__,,--J_9_._ and the account is accordingly confirmed;and it is ordered,adjudged and decreed that the said bal- ance be paid out by the Accountant in accordance with the schedule of distribution hereto attached and mode a part hereof,unless exceptions hereto,be filed sec.reg.or an appeal taken herefrom sec. leg. SCHEDULE OF DISTRIBUTION Balance per account 1 Additional Debits -Audit Addi tional Credi ts -Audit Balance'._ 733.34 2,278.15 $14,703.93 15,437.27 $13,159 ;12 Attorney GREENLEE,RICHMAN,DERRICO &POSA First National Bank &Trust Company of Washingto , PA.,successor Guardian,residue,consisting of real estate at the inventory value of $10,000., personalty at the inventory value of $1200.and cash $1959.12,charged however with ·the payment of $2150.legal fees to Greenlee,Richman,Derric &Posa and with the payment of $2500 to Greenlee Funeral Home to be invested by said home in an interest bearing account for the prepayment of the funeral expenses of Katherine Kline,both charges to be paid from funds as they become available to the Guardian.3,159.1 No Balance c: .1. d ~ 0-+.» m n ::l Z li1 n yoot. ........9 ~ 0 0 :::r ~ ....c CD :J CD 0- S. ....3 w /)t ro ~ 0 0 I ":P.,'" ~ ......~ c ...J ~ .:" CD - ., III :-:--' 0 -;}~-:= ...... ...- ..... ~ ..-,...:::: :::r C CD -l i ~ s>-:. ~ t!:-~t ~~ .. '-,'"~~;::.-,-........~~ 1:"'- ~ o·.~ ~ ..."" ~ (,,~-7/-8'3/J Affi~autt (@f 1fxrrutnr (@r Abmttttatratnr ,/~tatr of :II:1.rnnBglnanta,(1P BB: <1Launty af IhlB~tngtnn Pf~rsonally before me,the undersigned authority,a N.Q.t.m:;.y.P.ub.:lil:...in and for said ;;~~~~·ac;;:I~~di~~t:~l:r::~~~~~·~··~~:·:·;~~:..~r~t!,~~~··i~..~h~..~~~o~h~::~a~U~~ ..........~.?.th.~.r.~.~.~~.~.~.~~~that the f?regoing schedules constitute a complete imtntory and appraisement of the real and personal estate Of..K9.tb.~.r.J.Th~JSJ:·JTh~, ~,except real estate outside the Commonwealth of Pennsylvania;that the figures opposite each item of real and personal estate in the foregoing schedules are determined and stated by the undersigned to be the fair value of said items . ,,based upon a 'ust appraisement of each item made by the above named ~~.FIRST NATION B K &TRUST CO.,HASHINGTON, .,.GtiardlaD 'O'f5 GUARDIAN O:F THE E ~NE KLINESv.orn and subscnbed before me thzs.......);.............l da y,or ·d"'JJfr 19 k ,.!J ..~X.:,......~.-.<.. .........................~5{V:Jh1..cg.,.L.:~..Drew E.Porter flORENCE L.SISI,10TARY PUIUC ADDITIONAL INSTRUCTIONS Trust Officer .~~~~efiled within three months after appointment of personal representative. .....~~'iiiQ~rymust be filed within thirty days of discovery of additional assets. 3:1 original and 1 copy and 2 RCRI-62,Under $10,000;1 original and 1 copy and 2 RCRI-33,over $10,000; including copy of Federal Estate Tax Return,if applicable. lhturutnry nub !\pprninrmtut of the goods and chattels,rights and credits which are~of··Ka.th.e:rine...K1.ine.'JJillt.of Ne.w Eag1e... Washington County,Pa.,taken and made in conformity with the above affidavit.DOLLARS CENTS 12/29/81 3/05/82 3/05/82 4/01/82 4/13/82 4/13/82 5/20/82 .~ersonal cash at time of admission to Mon Valley Hospital remitted to Guardian Proceeds of Insurance policy on the life of Homer Gates, deceased,Katherine Kline Co-beneficiary Proceeds of Account of Predecessor Guardian,Barrett Greenlee Refund of Credit balance on final billing,Equitable Gas Co.,for Main &Howard Streets Proceeds of Metropolitan Life Insurance Policy #8052662A on the life of Homer Gates,Katherine Kline,benefici- ary . Proceeds of Prudential Insurance Policy #186-0016840 on the life of Homer Gates,Katherine Kline beneficiary Benefits due under Equitable Life Assurance Group Policy, Claim #X1531037 on the life of Homer Gates,Katherine Kline beneficiary 269 552 1,976 29 1,129 578 3,746 00 47 82 04 43 13 83 Two Story Frame house and lots (19 &20)situate at corn- er of Main &Howard Streets,New Eagle,PA,DB646, page '222.Valuation per appraisal 4/3/82 17,000 OQ ,- •T •I • , I ;~...! ;."~......, p ;'",,'-. ~c:l ~.9 f) (2J-Ul.l-S~1 0 Inventory and Appraisement IN THE ESTATE OF "~KATHERINE KLINE.-.:~;.. -.:...-............ ~. _..:F:iled ,r.":19 . Affidavit Of,d~,. Flled~II,/9.=8'~."",",_,, Kath flynn a~d.a Real~Of Wilts, Vt)lum~9..J .'Pago ...V~9IJ ""9 PAGE 2KATHERINEKLINE,NEW EAGLE,PA --------------------------------,,-,..,.. INVENTORY AND APPRAISEMENT DOLLARS CENTS Household goods and furniture per accounting of predecessor guardian Barrett Greenlee l200·00 TOTAL 26,481 72 I.n ("'Y") r-..J ~ :ca0.._w -oJ '.l:.. ~.-:-..:::1"-.1 <"'-'co '" J IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS:I'COURT DIVISTON . IN RE: ESTATE OF KATHERINE KLINE, AN INCOMPETENT ) ( .)No.'63 ~71-887 ' ( ) "0 "R •D .'E •R AND NOW ,this 23rd day of Sep.terriber.,1983,ther.ebeing no objedtion by her sister.,it is ORDERED ,ADJUDGED AND DECREED that MARTHA LEE JUROVCIKbe :and is herehy appoihted as guardian of,the ·.per'son of her mother,Katherine Kline,:an incompetent, her services to begin immediately. d/.~-Thomas 'J.~rputac,Ju e' ,;, r..,_t .1..1.: ,~T;.j'":.:..:.....,:-:......~~,'.',:~...-.,........._.. ~-.... :":'-~~.1 :' .. ~££17//;-~'" OO~/~ BECK AND DEHAVEN ATTORNEYS AT LAW 30 SOUTH MAIN STREET -SUITE 103 WASHINGTON,PENNSY-;;'VANIA 15301 TELE~HONE 4412)2215-15279 .- J ". IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF KATHERINE KLINE, an Incompetent No.63-71-887 PETITION FOR PEm4ISSION TO DISTRIBUTE AND APPLY INCOME AND PRINCIPAL UNDER SECTION 5536 OF THE PROBATE,ESTATES AND FIDUCIARIES CODE Your petitioner,First National Bank &Trust Co., Washington,Pa.,guardian of the Estate of Katherine Kline,an Incompetent,respectfully represents that: 1.Kathe~ine Kline was declared an incompetent by this Honorable Court and First National Bank &Trust Co.,Washington, Pa.,was appointed successor guardian of her estate by order of this Court dated December 14,1981. 2.The Incompetent is residing at Fairview Valley Retirement Home,Fredericktown,_Pe~nsylvania. 3.The Incompetent's ~estate presently consists of -approximately $12,000.00 in cash<and real estate with an appraised value of $17,000.00.The guardian is also holding the sum of $40,000.00 as a distribution on account of the Incompetent's interest in the Estate~of Homer Gates,deceased. 4.The Incompetent's ·es~ate presently receives a ~ monthly income of approximately.$907.00,consisting of a social security payment of $237.00,real estate rental income of $285.00 ,. and interest income of $385.00,which includes the income earned on the said funds received from the Homer Gates Estate. 5.The Incompetent's monthly expenses are as follows: Med~cal Home Care Services - medical supplies Insurance premium on Blue Cross/ Blue Shield -65 Special medical insurance policy 1/12th real estate taxes and fire insurance premium Equitable Gas Company -gas service Fairview Valley Retirement Home - monthly charge $15.00 34.00 45.00 23.00 750.00 $867.00 6.A statement of all claims of the Incompetent's creditors known to the petitioner is as follows: Current balance due Fairview Valley Retirement Home Greenlee,Richman,Derrico &Posa - legal fees pursuant to Court Order dated March 5,1982 Greenlee Funeral Home to establish a funeral fund for the prepayment of funeral expenses of the incompetent pursuant to Court Order dated March 5,1982 $7,700.00 "i,500.00 7.The real estate owned by the Incompetent's Estate is in need of maintenance and repairs which wouiq need to be made to maintain the real estate's rental value and market value. 8.The Incompetent has no dependents~·: - 2 - 9.To the best of knowledge of the petitioner no previous distributions of principal have been allowed by this Honorable Court. 10.The sole heirs of the Incompetent if she were to die intestate are her daughters,Martha L.Jurovcik,R.D.#1, Box 248,Bentleyville,Pennsylvania 15314,and Jo Ann Ward, 1410 Difford Drive,Niles,Ohio 44446.Attached hereto are the consents of the Incompetent's said daughters to this petition. WHEREFORE,your petitioner respectfully prays an Order be entered authorizing it to expend such amounts of income and principal as may now or in the future be necessary to pay for all expenses of care and maintenance and medical expenses of the Incompetent and real estate repair and maintenance expenses. BECK and DeHAVEN Attorneys for Petitioner - 3 - IN THE COURT OF cmU-i0N PLEAS OF ~\7ASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF KATHERINE KLINE,No.63-71-887 an Incompetent CONSENT I,Jo Ann Ward,daughter of Katherine Kline,hereby consent to and join in the petition of her guardian,First National Bank &Trust Co.,Washington,Pennsylvania,requesting permission to distribute and apply income and principal as set forth in said petition. ANN WARD Dated: ·.}. --------------------,-----, ....."-,..,.. " IN THE COURT OF CO~~ON .PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF KATHERINE KLINE, an Incompetent CONSENT No.63-71-887 I,Martha L.Jurovcik,daughter of Katherine Kline, hereby consent to and join in the petition of her guardian,First National Bank &Trust .Co.,Washington,Pennsylvania,requesting permission to distribute arid apply income and Drincipal as set forth in said petition. Dated: •f I , .,. ......r I" VERIFICATION I verify that the statements made in the foregoing document are true and correct to the best of my knowledge, information,and belief.I understand that false statements herein are made subject to penalties of 18 Pa.C.S.§4904, relating to unsworn falsification to authorities. Dated:September 23,1983 2y~tJ/~ Malcolm w.McCarrell Trust Officer,First Nationa Bank &Trust Co.,Washington,Pa. .,,.~ .,, ., ...I"~-;'11 t..v ~: j~,,I (#';I (I)l''''';:('"'1"1 .....,.Ol' ~ ......-','---e _eJ M''''''I')r;1 ~ :;,:_.-~I""V (~~ t.:-.rl1 u:>-- ~'";~,~,') ~ --!.;~ ':;:;'f 0 ~l'Tl....."'l1 .::0-:t"~'"--0. (,>....-m f'.....::t.O a ~r-v -u [~ )-'"(f)r'-J C ~ til ~ IN THE COURT OF CO~ll~ON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF KATHERINE KLINE, an Incompetent. No.63-71-887 ORDER AUTHORIZING THE DISTRIBUTION AND APPLICATION OF INCOME AND PRINCIPAL UNDER SECTION 5536 OF THE PROBATE, ESTATES AND FIDUCIARIES CODE AND NOW,this ~'3 day of ~JIWI1I3~1983,upon consideration of the foregoing Petition,First National Bank & Trust Co.,Washington,Pa.,guardian of the Estate of Katherine Kline,an Incompetent,is hereby authorized to expend such amounts of income and principal as may now or in the future be necessary to pay for all expenses of care and maintenance and medical expenses of the Incompetent and repair and maintenance expenses of the real estate of the Incompentent's Estate. '..." , I ,I',,. IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE:ESTATE OF KATHERINE KLINE,AN INCOMPETENT ) )No.887-1971 PETITION FOR REMOVAL OF GUARDIAN OF THE PERSON OF KATHERINE KLINE TO THE HONORABLE,THE JUDGES OF THE SAID COURT: The Petition of the Southwestern Pennsylvania Area Agency on Aging by its Attornyes,Legal Services for the Elderly,respect- fully represents as follows: 1.That your Petitioner,Southwestern Pennsylvania Area Agen y on Aging,is an agency providing protective services and legal ser- vices to individuals 60 years of age or older in need of such ser- vices. 2.That your Petitioner is interested in the welfare of the incompetent,Katherine Kline and that this petition has been broug to benefit her. 3.That Kathetine Kline is 73 years of age and her domicile is Fairview Rest Home,Fredericktown,Pennsylvania 15333. 4.That by a Decree of this Court dated October 19,1971, Katherine Kline was adjudicated an incompetent and Barrett G. Greenlee was appointed Guardian of her estate. -.•.. I, 5.The said Barrett G.Greenlee duly entered upon the said appointment and acted in the capacity of Guardian of the estate of atherine Kline. G,That a Petition to remove Barrett G.Greenlee was brought n July 10,1981 by Martha L.Jurovcik,daughter of the incompetent, atherine Kline. 7.That subsequent to the filing of said Petition,Barrett G. reenlee voluntarily resigned as Guardian of the Estate of Katherin line. 8.That by order of this Court dated December 14,1981,First ational Bank and Trust Company of Washington County,Pennsylvania as appointed Successor Guardian of the Estate of Katherine Kline. 9.That by order,of this Court dated September 23,1983, artha Lee Jurovcik was appointed Guardian of the person of Katheri e line. 10.That no prior notice of the appointment of a Guardian of er person was given to the incompetent Katherine Kline. 11.That the incompetent Katherine Kline did not have an oppor tunity to be heard regarding the appointment of a Guardian of her erson. 12.That Katherine Kline had no notice of competent medical evidence used to support the appointment of a Guardian of her person. 13.That the incompetent Katherine Kline was evaluated by Emira D.Zubchevich,M.D.,a psychiatrist,on January 2,1982.A copy of the report of Dr.Zubchevich is attached hereto and marked "Exhibit A". - 2 - ,_,.r... 14.The report of Dr.Zubchevich states,in part,that "She Katherine Kline knows right from wrong and usefull (sic)from harmful while she is not fully competent to handle her monetary property she is fully competent to make the decisions about the arrangements of her own personal way of living,and any disregard in respect to her wishes in respect to the choice of her living situation could produce serious emotional repercu~~ions (sic)~. 15.That to the best information and belief of your Petitione~ Katherine Kline has not been evluated by a psychiatrist since the evaluation of Dr.Zubchevich and that no psychiatric evidence was presented to the Court in support of the appointment of a Guardian of her person. 16.That the Guardian of the person of Katherine Kline,Martha Lee Jurovcik,and her mother,the incompetent,Katherine Kline,hav had and continue to have an inharmonious relationship and because of said inharmonious relationship,Martha Lee Jurovcik will be unable to act in the best interests of the incompetent and should be removed. WHEREFORE,Petitioner prays the Court to award a citation directed to Martha Lee Jurovcik,Guardian of the Person of Katherin.. Kline,to show cause why she should not be removed as Guardian and further,to order a psychiatric evaluation of Katherine Kline to determine her mental capacity to make and comprehend decisions concerning her personal welfare and that in the event a guardian of the person is recommended,Mr.Barrett G.Greenlee,be appointed as - 3 - guardian of the person of Katherine Kline,An Incompetent. Respectfully submitted, Southwestern Pennsylvania Area Agency on Aging 210 First Financial Plaza 150 West Beau Street Washington,Pennsylvania 15301 (412)228-7080 - 4 - ,'.'-.-... ",. IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVNAIA ORPHANS'COURT DIVISION IN RE:ESTATE OF KATHERINE KLINE,AN INCOMPETENT ) )No.887-1971 I ADDENDUM TO PETITION TO REMOVE GUARDIAN OF KATHERINE KLINE, AN INCOMPETENT "EXHIBIT A" CATALINA RAMIREZ SOUTHWESTERN PEN SYLVANIA AREA AGENCY ON AGING 210 First Financial Plaza 150 West Beau Street Washington,Pennsylvania 15301 (412)228-7080 ..r--------rr------------------------------------,-......, ........ IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE:ESTATE OF KATHERINE KLINE,AN INCOMPETENT ) )No.887-1971 ACCEPTANCE BY PROPOSED GUARDIAN I,BARRETT G.GREENLEE,certify that my domicile is R.D.#2, Box 109,Scenery Hill,Pennsylvania that I am sui juris and a natural born citizen of the United States. I am not the fiduciary of an Estate.in which Katherine Kline has an interest. I have no interest adverse to Katherine Kline and do not reside in the same household with her.The said Katherine Kline is my mother's sister. I hereby agree to accept the appointment as Guardian of the Person of Katherine Kline,should the Court appoint me as such. BARRETT G.GREENLEE (ll ttattuu )u mqr Cllnurt nf Cllnmmnu 'lra.s of ma.aqiuglnu Cllnunty.'rnu.aylttauta..... ®rpqann'QIiJud 13tninUtllINRE: ESTATE OF KATHERINE KLINE, an incompetent. Q!nmmnnmraltq of Jrnunylttauta <nnunty of lianqtugtDu lUi:63-71-0887 To:Martha Jurovick Sur Petition of:Southwestern Pennsylvania Area Agency on Aging ~r.r.rttng: .Ifr OIommunb Inu,_M_a_r_t_h_a_J_u_r_o_v_i_ck _ that,laying aside all business and excuses whatsoever,you do file in the office of the Clerk of our Orphans'Court of Washington County,a'full and com- plete answer;"..under oath,to each and every of the averments of the said . .b f Wednesday h 4th d f'JanuarypentlOn, on or e ore t e ay 0 __~_ 19 84,at_9L-:=-3~0~__o'clock-.L...M.,and show cause why she should not be removed as guardian of the person of the incompetent and why a psychiatric evaluation should not.be done on the said incompetent and further abide the order of our said Court in the premlses, If you fail hereof,the petition may be taken PRO CONFESSO and a decree made against you. WITNESS the Hononible Thomas J.Terputafudge of our said Court, at Washington,Penna.,the 28tbday of_O..::..c..::..t..::;..o.::....b::...e::..:r=--_ Catalina Ramirez E_______________sq. Attorney for Petitioner. (Seal) "I t,1 ",< IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVA1-:rIA ORPHANS'·COURT DIVISION IN RE:ESTATE OF KATHERINE KLINE,an incompetent. ) ( ) '3-7/-if7 No.887 -1971 PRELIMINARY DECREE AND NOW,this 27th day of October,1983,uponcot'lsdJderation of the within petition,it is ordered that a Citation and Rule be issued and directed to be served on MARTHA JUROVICK,Guardian of the Persoh of Katherine Kline,an incompetent,to show cause why she should not be removed as guardian of the person of the incompetent and why a psychiatric evaluation should not be done on the said incompetent. The Rule is returnable to,and a hearing to be held on,the 4th day of January,1984,at 9:30 o'clock a.m.in Courtroom No.4, Washington County Courthouse,Washington,Pennsylvania. The incompetent shall not be removed from Fairview Rest Home without prior approval of this Court.Southwestern Pennsylvania Area Agency on Aging is hereby appointed as counsel for the incompetent until further order of this Court. At least twenty (20)days notice of the hearing shall be given to the alleged incompetent by personal service of a copy of said 'f 1 I,.' petitio~,th~~itation and this order and by service to thene~t of kin personally or'by certified mail,return redeipt requested,and an affidavit to be filed th~reaftei. -2- IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE:ESTATE OF KATHERINE KLINE,AN INCOMPETENT ) )No.887-1971 ORDER OF COURT AND NOW,to wit,this day of ,1983,._------- upon motion of Southwestern Pennsylvania Area Agency on Aging,and upon consideration of the foregoing Petition,it is hereby Ordered Adjudged and Decree that Katherine Kline,an incompetent undergo a psychiatric evaluation by Dr.Emira D.Zubchevich,M.D.,to deter- mine her mental capacity to make and comprehend decisions concern- ing her personal welfare and further that Martha L.Jurovcik, Guardian of the Person of Katherine Kline,An Incompetent,be removed as Guardian,and that if a guardian of the person is found to be necessary,that Barrett G.Greenlee,be appointed as Successor Guardian of the Person of Katherine Kline,An Incompe- tent,as of the date of this Order. Martha L.Jurovcik,the former guardian,is hereby directed to file an account of her administration of the said estate with- in days from the date hereof. BY THE COURT: THOMAS J.TERPUTAC J. ,...~~'-\ IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'·COURT DIVISION ) IN RE:Estateof KATHERINE KLINE,an incompetent. APPEARANCES: ) ( )No.63~71-0887 ( ) Catalina Ramirez,Esq.,repres·enting.theSouthwes·t·er·n Pennsylvania Area Agency on Aging. John E.Benz,Esq.,representing First National Bank and Trust Co.,guardian of the estate. EdwardC.Morascyzk,Esq.,representing Martha Jurovick, guardian of the person. o ·R .D .:E ·R AND NOW,this 4th day of January,1984,after a hearing in chambers agreed.to by res·pec.tive ·counsel,it is ORDERED,ADJUDGED AND DECREED AS FOLLOWS: 1.Based upon the ·voluntary resignation of Martha Jurovick, the resignation is approved and she is hereby removed as guardian of the person of her mother. 2.The motion of the Area Agency on Aging is approved and it is ORDERED,DIRECTED AND DECREED that the 'agency,makearrangerrients for an independent psychiatric examination of'Kathe'rineKline by the Geriatric Ass'es:sment Center,a division of Mon Valley Health & Welfare.counseTat Mones.se'n,Pennsylvania,and a written report submitted tothe.court,to the'',guardian of the estate being the bank and to Mr.Morascyzk,repres'enting Mrs .Jurovick . The'Area'Agency on Aging is 'order',ed and directed to inves'tigatec'thematter'of allegations of improper drug and medical trea'tment for Mrs .Kline and to report by letter tothe'.court within twenty-one,(21)days. untilfurthe'r order,of this Court ,Mrs.'Kline shall continue to res:ide :at the'Fairview Retirement Horne 'in Deemston Borough. -2- '9"l '". t,.,~...·,,.,4 ,-.~...·4i t-r j.e,U) !i ~:.~ "',....-_.:.;......- I ,,.) IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE:ESTATE OF KATHERINE ) KLINE,An Incompetent.)No.887 -1971 COMMONWEALTH OF PENNSYLVANIA COUNTY OF WASHINGTON ) ) SS: \ AFFIDAVIT OF RETURN OF SERVICE OF CERTIFIED MAIL Before me.a Notary Public.personally appeared MARY ELLEN TIANO •who.being duly sworn according to law,deposes and says that she served the within Petition on the 4th day of November--------------1982...By mailing a true and correct copy thereof to:Martha L. Jurovcik,R.D.#1,Bentelyville,PA 15314 by certified mail return receipt requested.receipt number P308 100-290 WI2~~~Mry Ellen Tiano IN WITNESS WHEREOF,I hereunto set my hand and seal this L/rfJ day of /1~1983 .. My Commis~ion Expfres: .....=...e;::- C-........,.'''1J_r..",~';~,i-,---j ( ~1'lJ:::x .~ .~>rgc..o ,.-; § IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE:ESTATE OF KATHERINE ) KLINE,An Incompetent.)No.887 -1971 COhlMONWEALTH OF PENNSYLVANIA COUNTY OF WASHINGTON ) ) SS: AFFIDAVIT OF RETURN OF SERVICE OF CERTIFIED MAIL Before me,a Notary Public,personally appeared MARY ELLEN TIANO ,who,being duly sworn according to law,deposes and says that she served the within Cit at ion and Preliminary DSHrthe 31st day of October-------------1983..By mailing a true and correct copy thereof to:Mrs. Martha L.Jurovick,R,D,#1,Bentleyville,Pennsylvania 15134, by certified mail return receipt requested,receipt number P308 100-285. ~Y ELLEN TIANO IN WITNESS WHEREOF,I hereunto set my hand and seal this 3/~+day of &~198 3·. q~};I1.~ vary Public JUDITH A.KRUSEC,NOTARY PUBLIC MONESSEN WESTMORELAND COUNTY,.10'.....,. -....JfMYC(l~!~&·~:('<':!(\Pd ~YPI!:H co r.. My Commission Expires: .~c:o -t:, C-::'"_..,!..,., .4o:t,...., ~~---~~:l::>';11=z.:~,t :>t8 ""C;O -r,.,~§ ~\u "-() ~ ~~ '" IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE:ESTATE OF KATHERINE ) KLINE,An Incompetent.)No.887 -1971 COMMONWEALTH OF PENNSYLVANIA COUNTY OF WASHINGTON ) ) SS: \ AFFIDAVIT OF RETURN OF SERVICE OF CERTIFIED MAIL Before me,a Notary PUblic,personally appeared MARY ELLEN TIANO ,who,being duly sworn according to law,deposes and says that she served the within Petition,Cita- t"&Prelimon the 4th day of November,lon Decree 1983.By mailing a true and correct copy thereof to:Ms.Mary Greenlee,503 Washington Street,Bentleyville,PA 15314 by certified mail return receipt requested,receipt number P 308 100-287 IN WITNESS WHEREOF,I hereunto set my hand and seal this ~~day of 'yJ~198 3 . t,.... <-,.0~:_~~t~ I;;!.J :1t... I'" ,"co """1:", ., ;l 11 rr:t..:J::gq rtbo r..' ~..r ,.. IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION •. IN RE:ESTATE OF KATHERINE ) KLINE,An Incompetent.)No.887 -1971 COMMONWEALTH OF PENNSYLVANIA COUNTY OF WASHINGTON ) ) SS: \ AFFIDAVIT OF RETURN OF SERVICE OF CERTIFIED MAIL Before me,a Notary Public,personally appeared MARY ELLEN TIANO ,wbo,being duly sworn according to law,deposes and says tbat sheserved tbe within Petition,Cita- "t ion &~~~;;~6n t be 4th day of __N_o_v_e_m_b_e_r.....;,_ 1983..By mailing a true and correct copy tbereof to:First National Bank &Trust Company,200 W.Beau St.,Wash.,PA 15301 by certified mail return receipt requested,receipt numberP 308 100-288 ~~~MARY ELLEN TIANO IN WITNESS WHEREOF,I bereunto set my band and seal tbis t/rlJ day of )1~,1982". My Commission Expires: l ~...co----;:.-.....1'-;-1_......1: "'j;••....,C0-•_x,~ I (i)t'.";-:::::»""01:±-~ L)-,-~,~I -l":~-..,--.')>U .il:~..."):::6-di..... ""-....,:::r::.;gC""'"--",,·~·"E ,Cb ~~S'"r-"'-G f·r::-::-t"";C?~,~~.....S \" IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE:ESTATE OF KATHERINE ) KLINE,An Incompetent.)No.887 -1971 COMMONWEALTH OF PENNSYLVANIA COUNTY OF WASHINGTON ) ) SS: \ AFFIDAVIT OF RETURN OF SERVICE OF CERTIFIED MAIL Before me,a Notary Public.personally appeared MARY ELLEN TIANO •who,being duly sworn according to law,deposes and says that she served the within Petition,Cita- \ tion and Pre~·the 4th day of November Decree --------------198Ji.·By mailing a true and correct copy thereof to:Ms.Jo Ann Ward,1410 Difford Drive,Niles,Ohio 44446 by certified mail return receipt requested,receipt number P 308 100-289 dt4vd~~ARY ELLEN TIANO IN WITNESS WHEREOF,I hereunto set my hand and seal this r'r!!day of YJ~198 3 . My Commission Exp res: ~-:~:::;1;'-')~..11 ~,""..,../ """'.tj:{~ -'t~_~,..-\~..:.f:J 1::'-) :"i..:,,.)....~~"" c:;::;c::::> CO CO :J ··CJ ~·t . j -) {'-1,"1 Hi :::r:l ::-t1 f.'Q rn Ii.?II:' IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE:ESTATE OF KATHERINE ) KLINE,An Incompetent.)No.887 -1971 CO~fMONWEALTH OF PENNSYLVANIA COUNTY OF WASHINGTON ) ) 5S: , AFFIDAVIT OF RETURN OF SERVICE OF CERTIFIED MAIL Before me,a Notary Public,personally appeared MARY ELLEN TIANO ,who.being duly sworn according to law,deposes and says that she served the within Petition,Cita- . &Prelim.h 4 th d f NovembertlonDecreeont e ay 0 '_ 1983.'By mailing a true and correct copy thereof to:Mr.Barrett G.Greenlee,R.D.#2,Box 109,Scenery Hill,PA 15360 by certified mail return receipt requested,receipt number P 308 100-286 MARY ELLEN TIANO IN WITNESS WHEREOF.I hereunto set my hand and seal this </23 day of YJ~,198 3 . N'o,~lary Pub 1i c (/ JUDITH A.I(RUSEC,NOTARY PUBLIC MONESSEN,WESTMORELAND COUNTY MY COMMISSION EXP!PF~W":7 1984Mprnher,Poc,',,,,,"'I My Commission Expi;~s: "::c;,.._ :=1:'''''' f --;;.r;.O '".~.J -I 1 fJt:::l ;;:t;'tTlttl;;]o --,--,--, Cll"_RIIIIiS!!II:i!IDlEl"IIl:I'lI!"IZlt!9:3ISEIE.I_lll!ia_~ "T1 •_SENorR:Complete Items 1,2,3,and 4.~Add your address In the "RETURN TO"space on reverse. 21...(CONSULT POSTMASTER FOR FEES) 2 1.The !ollowlng sSrVlce Is requested (check ono). 0<hlf...P Show to whom and date delivered .~D Show 10 whom,dale,andaddress of delivery .. 2.D RESTRICTED DELIVERy .. (The IBStrtcted de!fVfry feD Is charged In IiddfUon ID tho return /!/cofpt feB.) TOTAL $ 3.ARTICLE ADDRESSED TO:Mr.bA.c-rQ.:ti'6.6f'~ef\1G'·e RD:J.~".,..IOer5~e1\_':~.JS3lcD 4.TYPE OF SERV E:ARTICLE NUMBER DREGISTERED DINSURED.p 6 0 <6 J&1CERTIFIED DCOD ,tJEXPRESS MAIL )0 D -;;;g0 (Always obtain signature of addresseo or agent) /1 -v-i..J CATE OF DELIVERY POS bean I have received Ihe article described above. SIGNATURE DAddl8ssce DAlIlhortzed alllil"--.~.fJ--e..J ..t~~RY &~ UNiTED STATES POSTAL SERVICEe-ll-.....P OFFICIAL BUSINESS SENDER INSTRUCTIONS Print your nama,Iddress,Ind ZIP Cad.In tile silica bell1W. •Complete Ilrlma 1,2,3,Ind Con tile revorae• •Attach 10 lront of IrtItIe "apace pwmlts. otherwlll affix 10 bad of IrtiCIe.•Endorse article "Return Racetpt Requal1Jd" •adl3C1nt to number, I111I1 ~ U.5.MAI'-® PENALTV FOR PRIVATE USE,$300 RETURN TO ~ i ~ Leqal Services for the Elderly (Name of Sender) 150 West Beau Street -Suite 210 (Street or P.O.Box) Washington,Pennsylvania 15301 (City,State,and ZIP Code) ( \ .. .~:__c ---~~---------_._._-_.__._----- (JSF~!!:Il:im::liIllBilC!1Zi:l!Sl:lS:::i'i!.'1'.1\l!Zlllt:!ll":JI2I!ilIi1!!l_" 0.,,·•SE"IfJER~Complete Items 1,2,3.and 4. .....Add your address In tho"RETURN TO"3 space on reverse.~.(CONSULT POSTMASTER FOR FEES) ~1.The following serVice Is requested (check one).~0 SMw 10whom and dato delivered .~•Show to whom,dete,and address 01 delivery .. 2.tJ RESTRICTED DELIVERY .. (Tho rosltfct~d rfaUVflry lila Is charged In addWon to Itle I"!lum receipt 166.) TOTAL $ 3.AR;rICl~DORESSED TO:j./\d1YJ..::....J 0 A-(l f\wiLe- lY1D Di ffard.Dr\¥e"1IiSO'L.J L//{"1 4.TYPE OF SERVICE:ARTICLE NUMBERoREGISTEREDoINSUREDP50~ ,lgfCERTIFIED 0 CODoEXPRESSMAil I 00 c;<~9 (Always obtain signature of address89 or Igent) Ihave received the article described above.oAddressee 0 A horlzed agent ~: .:0 STATES POSTAL SERVICE OFFICIAL BUSINl:SS SENDER INSTRUCnONS .i your name,Iddress.Ind ZIP COO3 In till SPice below. •Comple'll ItllIDl 1.2,3.Ind 4 OIl t!It !'lIVlrs•• •Atlath 10 front lI'I .rtIcII II 'p11:8 permftJ. at/lerwla••fIb I'blck of Irtlcle. •Endorn arUcIe ,.R6turn RKelpt RequeStld" •adjlclnt to IIiImlI.r. 111111 PENALTY FOR PRIVATEUSE.$300 I RETURN TO •Legal Services for the Elderly (Name of Sender) 150 West Beau Street -Suite 210 (Street or P.O.Box) Washington,Pennsylvania 1530i (City,State.and ZIP Code) \, ;}lPIBli~Z'liiIIlE!Z!li'!1lll2!.U__-=S "~ 'T1 G SENDER:Completllitems 1,2,3,and 4.§'~Add your address In tile "RETURN TO" space on reverse.~.(CONSULT POSTMASTER FOR FEES) 1..Tho following service Is requested (check one).tt6 Show to whom and date delivered .o Show towhom,date,and address of delivery .. 2.0 RESTRICTED DELIVERy . (The restricted de/iVl1ry 100 Is Charged In addillon to 1M return receipt Ice.J TOTAL $ ---~___C ___c ·, 3.ARTICLE ADDRESSED TO •,'l1r:>,mW-\-M L·Rt:>\ I\.-\-Ie kh LA-is J .4.TYPE OF SERVICE:-r-:-=-'''':'''':::''':ARz:c::..TI-f.CL:'''E-N-UM-B-E-R--oREGISTERED 0 INSURED .CERTIFIED .0 COOoEXPRESSMAIL (Always obtain signature 01 addrGSSo8 or 'gent) I have received the article described above. DAdOAuthorized agent POSTMARK(may be on reverse side) /';,. J").a-~."~~/,. !S ..1E!!3llil!lEliEl:!DI.....azEllll••~!JII"J:.~?IE'Jl.,l!!Il:lt~7.UNABLE TO DELIVER BECAUSE: ~!!!~"IIIll2!il!l11l1lZ:li1lBll1:l:lill1oEi:llia:llll:l:l!ll!B!lllllCl2d~~~~ '"GPO:1982-379-593 I J r:......"~v(I(-m-l~ UNITED STATES POSTAL SERVIC i<f.::"';1 " ir \ "OFFICIAL BUSINESS 0.-7 ".'I':"-Hi'\}~:4 SENDER INSTRUCTIONS -.o~/!~;..~c~.M. PrInt your Mme,addreas,and ZIP Coo.In tlte spact bIIow..1{j83•Completll lIams 1.2.3.8nd 4 on \Ile revers..'."-l •A!lllch 10 Iront 11/artlckJ ft cl1!ce pwmltJ.", olllerwls.affix to back 01 artlci.."-•Endors.artlcle "lIelurn Re:elpt Requullld""":~t •IdjlC8llt to numller.---- RETURN TO • l I ,---__I~~"----__1 ~'"·'''''''i"".i''M~v'l I I .I\...t ',1 _- •J!1r.:'L I h ,-.hiVE I ,'.'\r •..."j '-U.5.MAIL ·:JO,-'j 1PENAL~FO:'PR:A~-"--.1USE,$300 I Legal Services for the Elderly (Street or P.O.Box)a I Washington,Penns~?van;a 1530;,.'I (City,Stale,end IP Code)•J (Name of Sender) 150 West Beau Street -Suite 210 \ I I ~ --------------------------- ---- __I __I 1 ;XPO!llll2::z:!lill:mmIl'JEi__m:Jli"-~~_IIIl'&_-. 6'0 SENDER;Complete Items 1,2,3.and 4.3 ~Add your address In the ..RETURN TO" !sl'space on reverse. =:(CONSULT POSTMASTER FOR FEES) ~1.I!:i following service Is requested (check one). ...~Show to whomand date delivered .~0 Show to whom.data.andaddress of delivery .. 2.0 RESTRICTED DEliVERy . (T1',g rtistrtcred d8llvsry 166 Is Cha!UedIn eddltlon /ll1h8 rtiturn rtiCfllpt IBe.) "a ~~~7·.rJ!UNIlIlA~Bl~E~T~O~DE~lI011VE~R~BI!lEC~A211US~EI!I:-il:.~7~all.~EMlllplllO~Y~EE~'S~t ~INITIAlS !!!:!l1m":llIE:saCSllil:clll!ilC!lIl!ZlIl:::Zll~:mll.ElI~ "-----~--_.._- lTED STATES POSTAL SERVICE OFFICIAL BUSINESS SENDER INSTRUCTIONS PrInt Yllur nlmt,eddmll,Ind ZIP Codl In the apace below. o Complate 1tIIr.t1 "2,3.Ind 4 en IIle rlnrae. o AllIcll to front cI artie..II apeel permlta. etherwlle alflll to baek of irtlC!e. o Endorlo Irtlcll ..Rllum Recllpt Requuted" o lajaant to number. Legal Services for the Elderly i ! t ••IIII I RETURN TO • (Name of Sender) lSO.West Beau Street -Suite 210 (Street or P.O.Box) Washington,Pennsylvania lS301 (City,State,and ZIP Code) ! -------------------1 ___c ___c ___C J!....~~--!liiI!S::mII--!IiZlZ:lI03lIllBZ--~ "Tl •SErl'OER:Complete Items 1,2,3,and 4.~Add your address in the"RETURN TO" space on reverse.~.__----'-------------a ...(CONSULT POSTMASTER FOR FEES) 1.Tria following service Is requested (check one).~Show to whom and date delivered ..o Show to whom.data.and address ofdelivery .. 2.0 RESTRICTED DELIVERY . (TIHl f8StrlctfJd del/vary 168 Is charged In addition to the return rece/~t tos.) Co.c:.:;: TOTAL $ 4.TYPE OF SERVICE:ARTICLE NUMBERoREGISTEREDDINSUREOf>3.0~~CERTIFIEO DCOD I ~oEXPRESS MAIL 00 ~f$0 (Always obtain signature of addresses or agom) I have received the article described above. DAddressee --:U!Mhar:izl:d.l1l! :xl !:!lc:::a ..IEllD_I3ZlDlllll__!ImI_.~~~~6:I ~7.UNABLE TO DELIVER BECAUSE: mom~..IfIiIliIlJ::l:BZlIlIlZIJ_!IlIIiII!_I!III!II_!lI5I_~~~~~I I ,I UNITED STATES POSTAL SERVICEa:::..\,f\O OFFICIAL BUSINESS SENDER INSTRUCTIONS PrInt your ume.addreu,and ZIP Coda In the apace below.•Compill.llama 1.2.3.Ind 4 on tile revera•••Attlch 10 Ir~nt 01 artlcll II apace permits,Dlherwlae aflbl to back of article. •Endorae artk:la "RItUrD Receipt Requaatad" •adjacent to numbar. 111111 ~ U.:oo.MAIL® PENALTY FOR PRIVATEUSE,$300 RETURN TO ~ Legal Services for the Elderly (Name of Sender) 150 West Beau Street -Suite 2io (Street or P.O.Box) Washington,Pennsylvania 15301 (City,State,and ZIP Code) •II, "!It ~--------------- _'__C _'__C ___I - I (}l"ISII"_~"~!!BliiIIZl~_IIIli!I_i!lailI cil .•SEfLDER:Complete Items 1,2,3,and 4.3 Add your address In tho"RETURN TO"space on reverse.~(CONSULT POSTMASTER FOR FEES)\,\\ ~1.nie followingService Is requested (check one).' ~~Show10 whomand dale delivered .~D Showto whom,date,and address 01delivery .. 2.D RESTRICTED DELIVERy , ,.. (TIIs IlIstric/ttl d,Hvery IIIIs cnarg6d In addition to tno retum roctIlpt III,) TOTAL $ 3.ARTICLE ADDRESSED TO: fOar+ht.l.-J.t,(ffAroi/C'.-i t-~\)\ r:?enHe vdl!Pit 1S.j/ \; 4.TYPE OF SER ICE: D REGISTERED ~CERTIFIED D EXPRESS MAIL DINSURED DCOD ARTICLE NUMBER p80g /OOazs (Alway.obtlln signature of addressea or ag8l1t) I have received the artlcle described above. SIGNATU DAddres DAuthorlzed agent "'--..-. POSTM)!,RK (may be on ~e side) ~:t 6,ADDRESSEE'S ADDRESS (Only If rSques/Bd)S»3,';.. :1J •~,....i2'.','"~1a_I:IlI:'lD!l:l_:.:l!IIIl....3iilI.eiG~*!·rill'_~_I£Zl:4 :1J 7.UNABLE TO DELIVER BECAUSE: ~'"~!:EZllIl_"'rIIlII __EIllIlICI:II:_~_~~~~~~ {/1l-GPO:1982-379-593 ---------------~~ UNIT.ED STATES POSTAL SERVICE ~rfil:~I·[·~ ....~..."OFFICIAL BUSINESS -~It F"-,t'4'/'n:;.."/"''''',/ I SENDER INSTRUCnONS I .v "'_/ Print your name.address,and ZIP Code In the sPIce below. •tomplate Ibm.1,2.3.Ind 4 on ttII m.rse.•AltlIcll to front III .rtlcle If spRee plrmllll, Dthllrwlll .ffIx to hck 01 article. •Endo,.e article "Raturn Rapt Rllques1ld" •.dJal:lnt to number. ~~-~"·~I .,.--.......,.-.......~~.--~-~.--.:zr..~. PENALTY FOR PRIVATE USE,$300 RETURNTO •Leqal Services for the Elderly (Name of Sender) 150 West Beau Street -Sui te 210 (Street or P.O.Box) Washington,Pennsylvania 15301 (City,State,and ZIP Code) " ... J IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE:ESTATE OF KATHERINE KLINE,An Incompetent ~No.887 -r,;1971 ~~~.r~il )~~~').<6 ,:;..'108..1)::;;;.-f~~,~Q:4~~.'!.~-(j AFFIDAVIT OF ~RE~URN oePERSONAL~:EI1¥ICE :: I.;.).~_."""'".,,~•I i~ "1.1 ~'PBeforeme,a Notary Public,per~nally appeared MARY COMMONWEALTH OF PENNSYLVANIA COUNTY OF WASHINGTON LYNN SPILAK,who,being duly sworn according to law,deposes and says that she served the within Citation,Preliminary Decree and Petition to Remove Guardian of the Person of Katherine Kline on this 28th day of November,1983 at Fairview Personal Care Home at Fredericktown,Pennsylvania at 2:00 p.m, IN WITNESS WHEREOF,I,hereunto set my hand and seal this 29th day of November,1983. My IN THE COURT OF COMMON PLEAS OF WASHINGTON.COUNTY,PENNSYLVANIA .ORPHANS"COURT DIVISION IN RE: ESTATE OF KATHERINE KLINE, An Incompetent ) ( )No.63-71~887 ( ) ·O·R'O E R AND NOW,this 8th day of September,1981,the Rule is hereby continued and a further hearing is hereby scheduled before ·theundersigned in Courtroom No.4 on Monday,October 19,1981 at 3 o'clock p.m. r-.....r '..,.,;~ _1"-.'~::.(V')-:;.....) :t::t,l." 0 0-C,-!~)- ~1IJ -oc ....- -J C;Jo~0 t:.~.,,.. U-f--o <1/'- ~f..0' a..<.;1 ~.'l !..L.1.,~. I tr.J t'i 1 ",.;:. ~ .. c:.-'" ,.,~0- W , J IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHAN'S COURT DIVISION IN RE:ESTATE OF KATHERINE KLINE, an Incompetent. ) ) ) ) No.63-71-0887 o R D E R AND NOW,this ~~day of January,1984,it is ordered and directed that the amount of time granted to the Southwestern Pennsylvania Area Agency on Aging to investigate the matter of allegations of improper drug and medical treatment for Mrs.Kline and to report by letter to the Court is hereby extended for a period of twenty (20)days. BY THE COURT: J. tli0B::LJW :~­C(/) E (;".1 LUJc.o::.~ --~ --"....~ra:-~ ....,~..... 0.0.."';)c..ClIo, ..........;<_....... ,~.-:~=::QG:?::;.;;c.) i..~!."...,.:.'~{'O {.or;.! IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF KATHERINE KLINE,an incompetent. ) ) ) ) No.63-71-0887 MOTION TO DISCONTINUE TO:THE HONORABLE,THE JUDGES OF SAID COURT: The motion of the SOUTHWESTERN PENNSYLVANIA AREA AGENCY ON AGING,by its attorneys,LEGAL SERVICES FOR THE ELDERLY,respect- fully represents as follows: 1.That the Southwestern Pennsylvania Area Agency on Aging filed a Petition for Removal of Guardian of the Person of Katherine Kline on October 14,1983. 2.That by Order of Court dated January 4,1984, the Court approved the voluntary resignation of Martha Jurovick as guardian of the person of Katherine Kline. 3.That pursuant to the Order of Court dated- January 4,1984,the Southwestern Pennsyl- vania Area Agency on Aging has reported by letter to the Court th~results of its investigation as to the allegations of improper drug and medical treatment of Katherine Kline. 4.That pursuant to the Order of Court dated January 4,1984,the Southwestern Pennsyl- vania Area Agency on Aging submitted to the Court a written report of an independent psychiatric examination of Katherine Kline, performed by the Geriatric Assessment Center at Monessen,Pennsylvania. ..,. 5.That no further pleadings or records have been filed in this matter since the psychiatric report was submitted on February 21,1984. 6.That Katherine Kline continues to reside at the Fairview Retirement Home at Frederick- town,Pennsylvania,where she continues to made suitable decisions concerning her person. 7.That the First National Bank and Trust Company continues to serve as guardian of the estate of Katherine Kline. WHEREFORE,for the above stated reasons,the SOUTHWESTERN PENNSYLVANIA AREA AGENCY ON AGING respectfully requests that the Court grant leave to discontinue the above-captioned matter. LEGAL SERVICES FOR THE ELDERLY BY:~J.r1d..uxdD~AMS,Esquire Attorneys for Katherine Kline 210 First Financial Plaza 150 West Beau Street Washington,Pennsylvania 15301 (412).228-7080 .~'. '(), IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE:) )No.63-71-0887ESTATEOFKATHERINE) KLINE,an incompetent.) o R D E R AND NOW,this :J.Z day of Septem:ber,1984,upon cons ider ation of the foregoing Motion,the SOUTHWESTERN PENNSYLVANIA AREA AGENCY ON AGING is hereby granted leave to discontinue the above- capt ioned act ion.wi tlt -Sltthii'lInllaent!!lLQ2EiES.i.5S ~~ BY THE COURT: To:Nr.Edward Morascyzk,Attorney P.O.Box 713 Washington,Pennsylvania 15301 From:I'lartha and Paul Jurovcik R.D.Nl Box 2~8 Bentleyville,Pennsylvania 15Jl~ Date:March 31,198~ Reason:Questions concerning the report filed by the Legal Services of the Southwestern Pennsylvania Area Agency on Aging concerning Estate of Katherine Lo Kline,an incompetent Number 6)-71-0887 addressed to Judge Thomas Terputac,dated February 13,1984. Dear Mr.Morascyzk: J We have been reviewing the Area Agency on Aging's report to JUdge Terputac dated February 13,1984.There were many areas of this report that were (1)inaccurate,(2)nebulous, (3)aVOiding the issue at hand,(4)contradictory within it- self,and (5)without continuity of thought as either the social worker or the typist did not carryover the thought from one page to another leaving the reader wondering "What has gone unsaid?".As we said in JUdge Terputac's chambers on January ~, 1984 Katherine is NOT b~ing taken to the doctors of her choice for regUlar preventative and diagnostic visits.It certaln1y is ironic that Barrett G.Greenlee after this was told to the JUdge could find time to take her to these other outside agencies for psychiatric and legal aid while the visits to the medical doctors of Katherine's choice go by the wayside which most definitely was not the case when we were taking care of seeing that she was able to see her doctors when the doctors scheduled her for an appointment,from 1965 to 1981.What- ever the motive is;1t seems to take precedence over the need to have the medical care that she has the right to have,that she requested in JUdge Terputac·s office on January 4,1984 as yOU heard,and that she most definitely should have because her mlld diabetes led to diabetlc retinopathy in the left eye in 1978 and with ensuing blindness even after laser treatments in 1979 leaVing her with good vision in only one eye.We definitely feel she should have kept her appointment With Dr. Reilly to protect this remaining vislon. We.her immediate family,cannot comprehend this "signi- ficant deterioration"which the social worker describes In her, report has occurred since she has been in this retirement home "particu1ar1y the last slx monthsu •The public relations pro- grams of the Area Agency on Aging themselves say that the eld- erly deteriorate faster being housed In places other than thelr own homes and without socla1 contact.Th1s was to be a tempor- 2 ary,recuperating placement in another home,as JUdge Terputac as already been informed (quite extensively)as set up by the bank's trust officer and by the hospital social worker.We question why the agency publicizes how the elderly "should be treated"but are ignoring and condoning how this elderly person has been treated and manipulated.Prior to this legal action we asked the agency to help u~resolve this problem and they would not help. The social worker's and the psychiatric's reports appear as if they were talking about and to two entirely different clients when evaluating Katherine. It seems ironic that when Barrett Greenlee was guardian of her estate that from 1975 to 1981 we,her family,PLEADED that her living quarters be fixed for her safety and her comfort and that this was denied and now we HAVE BEEN PLEADING FOR HER RIGHT TO SEE AND HER REQUEST TO BE EXAMINED BY DR.KLEIN AND DR.REILLY. The Area Agency on Aging's statement that there is one daugh- ter who is "tangentially involved"in this case is very hard for us to swallow because as hard as it is to say,we feel that it must be made a matter of public record that our mother's sister, .tary Gates Greenlee,totally ignored visiting her sister,Katherine Gates Kline,except for a funeral visit in the last twenty years and that her nephew,Barrett G.Greenlee,her former legal guardian, was at her residence about three times in twenty years pr~or to the lawsuit for his removal.The tenants who had been there for many years said they would not even know Mr.Greenlee if he happened to walk in because they had not seen him at all.In fact Katherine's two daughters and son-in-law were always treated cordially by their Aunt Mary unless her sister Katherine Kline was present.As an example,at the gathering at t~s.Greenlee's home after John Bentley Greenlee's funeral,Mary Greenlee's treatment of the two daughters and son-in-law was totally different as we felt her total embarrass- ment and great anxiety with her sister Katherine present and her desire for us to take her sister out of her home as friends were there also.In fact Mary Greenlee's family minister stated to us a few years ago that he never knew ~ary Greenlee had a living sis- ter,Katherine.whereas,he was well aware of Mrs.Greenlee's brother,Homer,who lived in the Executive House in Washington,Fa. When we have discussed these facts with outsiders as to why this behavior has suddenly changed or reversed whereas we d1dr'~verything for her from buying her groceries,cleaning her house,taking her to her doctor's visits,admitting her for surgery,arranging for her surgery and any treatments,and taking her into our home for extensive periods of time after each and every surgery for recup- eration and care.And now she is suddenly so important to those relatives Who would never be seen in public with her prior to my Uncle Homer's death,or even acknowledge that she existed... We again want to make it a matter of public record that we are interested in Katherine Kline-s'proper medical care and that her financial affairs should be kept in order so that these medi- cal needs which have proven to be tremendous and costly for her J 1n the past can be prov1ded for her now and wel11nto her future. In cross referencing Dr.Weiss's report dated Februaary 7. 1984.w~came across several major areas of discrepancy with Feb- ruary 14.1984 report signed by ~ary Lynn Spilak.Dr.Rellly's report 1n Ms.Spllak's letter sald Katherlne had a Cataract Ex- traetlon--left eye on July 8.1977 and a second eataract extract- 10n on February 16.rlght eye.How can this be consistent with Dr.Weiss's statement that Katherine had Bl1ateral Cataract Re- moval in Washington Hospltal ln 1975.when she dld not have need for such surgery untll 1977 ln the left eye and 1979 ln the right eye.And Dr.Rel11y at the tlme told Kather1ne's daughter he would never do any operat10n on both eyes at the same time ever. Aga1n Attorney Woodman's and paralegal Ms.Sp11ak's records are contradictory on the eye surgery.Plus page two of the medical h1story report dated February 7.198~completely om1tted or con- ven1ently ignored the fact that there was major med1ca1 eye care performed by Dr.Evan 1n P1ttsburgh w1th Laser for diabetic retlno- pathy April 1918 on her left eye.This Laser treatment was to try and curb the drastic effect of her diabetlc condition and again Dr.Welss did not state anything about thls treatment in 1978 or that these d1abetic effects then led to blindness in her left eye in 1919.Dr.Weiss also did not state that Dr.Reilly had told the immediate family that if she had not had the repair of the ptosis of the right upper lid in 1918 Katherine would have been totally blind.Hence we took her to all visists scheduled by Dr. Reilly to protect and preserve her rema1n1ng vision and we have been PLEADING that this be done for her and continued but Dr. Reilly's records show a "no show"for his scheduled February), 198)visit with no return visit at all.We have asked the bank if there is any proof that she has been assured this protectlon but we had no response and Mr.Benz voluntarily told Judge Terputac at the.meeting on January 4.1984 that he would obtain thls informat- ion through the bank's files of cancelled checks but this report to Judge Terputac gives no mention of this.This is now April 1984 and she has no record of an eye exam by an opthalmologist since May 1982 and ~~s.Whiteland her attendants all told the immediate family she (Katherine)had NOT BEEN TO HER EYE DOCTOR. STOMACH SURGERY --------1979.Whoever prOVided this medical statement to Dr.Weiss definitely did not know what they were talk1ng about since there was as Dr.Reilly's report verifies cat- aract surgery in 1919 in Washington Hospital but there NEVER was any stomach surgery.It is important to note that my mother, Katherine Kline NEVER had stomach surgery in her life.She had a hysterectomy in the late 1940's but not ever STOMACH SURGERY and not in 1979 either. Also she never was in an automobile accident.She did suffer fractures from falls but NEVER IN AN AUTOMOBILE ACCIDENT. Another plece of medical information which was incorrect which Dr.Weiss reports was given to him was that Katherine has no aller- gies to medications.THIS COULD PROVE FATAL TO HER.She most def- initely has a history of a severe allergic react10n to peniclllln ~~-----------------""'~4~" and her daughter who lived through this reaction with her and took her to all visits and surgeries over all these years was always sure to stress this to the medical personnel since her family doctor stressed she was not to receive it again.Because of her mental capacity in not recognizing the significance of this Martha's father.Mr.George J.Kline.and Martha always informed medical personnel of this fact. We simply are asking how are the Area Agency on Aging staff members making knOWledgeable medical decisions if they are ignor- ing medical facts such a Dr.Reilly's repo~t whioh sald that on September 13.1977 Katherine's vision in her left eye was 20/25 and that her vision on her last visit to Dr.Reilly on .8y 3.1982 was now 20/400 which ls well beyond the point of legal blindness. Legal blindness has a visual acquity of 20/200 as part of its def- inition.Surely if one of Attorney Woodman's or Ms.Spilak's family members was legally blind from a diabetio oondition they would want them to see their medical eye doctor;part1cularly since the medioal eye dootor has requested a return visit for an exam.NOTE:IT HAS BEEN TWO YEARS SINCE HER ONLY GOOD EYE WAS CHECKED BY DR.REILLY.Additionally.how oan this agency ask people for background information concernlng my mother's past medical history without being suspect of them and this information and Without cross checking this information for accuracy,We are appalled to see that if the agency is being considered as'a suppos- edly impartial outside investig,nor of this situation that they did not polnt out to the HONORABLE COURT the inaccuracies and inconsistencies between the inaccurate medical histories others prOVided them and the first hand medioal reports they should have properly researched and obtained from the doctors for the court's review. In comparing these two reports with court testimony we are curious as to Why Dr.Weiss in his report covenient1y omitted in his report titled PAST PSYCHIATRIC HISTORY any mention of the tact that Dr.Carlo Sirri of the Mon Valley Health Center tested Katherine in 1911 and said that at that point in time she was not capable to handle her own affairs.Nor does Dr.Weiss's report or any of tbe~::other so called facts presented in these two reports challenge or refute previous testing that Katherine has an IQ of 6)whioh is classified as being mentally retarded•.Where are any sohool records? Why are these independent agenoy employed people now saying nothing about previous Psychological and psychiatric evaluations and basing . all of their expert opinions on what they perceive her as being now; When in reality Social Seourity (Larry Smith,Psychologist--May 1968) tested her and said she was eligible for Soclal Security because of her mental handicap.Why Is the Area Agency on Aging 19noring these facts In their reports'We feel they should refute their inaccurate and incomplete reports. .I In researching these medical problems we obtalned Dr.Klein's. records of Katherine's visits to him.He first had her coming to be examlned and for blood work for diabetes every six months and then three months in 1911.Now we are seeing reports from the Area Agency on Aging that are saying that Dr.Kleln 1s no longer 5 Katherlne's medloal dootor and that Dr.Chasler ls her medloal dootor.The questlon tha~rts oentral issue of our oonoern ls why ls and has Dr.Kleln's presorlptlons for Dllantln,Synthrold, and Orlnase been refilled when she has NOT been seen and exam1ned by Dr.Kleln sinoe 7-13-82.We were told by an offloe nurse that the federal law says that a patient must be seen and exam1ned by the presor1blng phys101an for a med1oatlon with a date of one year to be refllled.Where ln thelr report ls there any data lndioatlng blood analysls whloh should be done to detect any early signs of toxicity or untoward effects.Accord1ng to the Physci1ans'Desk Reference edition 1982 "Elderly patlents may show early slgns of tox1oity";"HYperglyoem1a,resulting from the drug's inhlbltory effeots on insu11n release,has been reported.Phenytoln (D1lantln) may also ralse the serum 81~c'O'sacvel 1n d1abetio patients.":"Serum level deterlnations are espceially helpful when Possible drug in- teractions are suspected";and two of the overdosage symptoms she is listed as demonstrating "ataxia (motor inooordination manifest during a purposive movement by 1rregularity and laok of precision) and dysarthrla"(dlfficulty In artlculatlon of jolnts as In amyos- tasla.whlch is dlfflculty In standlng because of lack ot coordina- tion or because ot muscular tremors).And according to the report glven to the JUdge.Katherlne has been becoming worse In the last six months;yet this medication was first prescr1bed by Dr.Klein on 6-28-82 and she has not been seen by hlm since 7-13-82 and yet it Is being refl11ed according to the report on 12-27-83.If one contlnues to read the informat10n 11sted 1n the PDR One oan see Katherine is maAifestlng other symptoms some she has always had and yet some new ones and yet the doctor who has cared for her sinoe 1965.the doctor who she herself told Judge Terputac she wanted to see,the dootor who prescrlbed the medication is being denied to her.We are saying and we believe lt is very Important to Kather1ne Kline's health that only a doctor who has seen her over a period ofye~would be able to ascertain whether her be- havlor was any d1fferent than what she was like before."Pheny- toln may cause decreased serum levels of proteln-bound iodine (PBI). Phenytoin (D1lant1n)may cause raised serum levels of glucose •••••" and yet Kather1ne 1s being given Synthr01d and Orinase and Dr.Klein only saw Mrs.Kline one month after the Dilantln was orginallyord- ered.and he has cared for her since 1965 and would know what she 1s like usually.The FDR in discussing Orinase has very much mater- ial and within all this it says,"Phamacists should refill prescrip" tions only on the speclflc Instruction of the physician.Severe hypoglycemia,though uncommon,may occur in patients receiving Orinase and may mlmic acute neurological disorders such as oerebral thrombosis."Her request and her immediate family's desire to have her seen and examlned by Dr.Kleln,her family doctor since 1965, CANNOT AND SHOULD NOT BE EQUATED with a desire to see her own beautician as when Mrs.White told JUdge Terputac in his chambers on January 4,1984,"Katherine oan1t see her own beauticlan either just as she can't see her own doctor."WE DISAGREE WITH THIS EQUATION AND THE IMPORTANCE OF THE TWO. We feel that the Area Agenoy on'Aging has shown no proof that Katherine has been ohecked by the prescribing physician for the effectiveness,Ineffectiveness or the harmful effects of these drugs: nor have they shown proof that Dr.Chasler has been checking her for the control of these drugs.In our visit to Mrs.White's retirement home on September 23,1984 when she refused us the right to talk to our mother because it was not a visiting day and she did not want to 6 give us direotions to her other retirement home where she was at at the time so that we oould give her the JUdge's orders;she did tell the four of us (Martha and Paul Jurovoik and JoAnn and Greg Ward) that Ka~herine had not seen any doctor since her admission to the home in Deoember of 1981.Mrs.White did say that if a need arose for medical treatment of our mother,she could have the doctor who came to the retirement home for another resident provide the medical care.Both attendants at the home where our mother was had quite openly told us that Katherine often expressed a desire to see Dr. Klein and Dr.Reilly but she had not been taken to see them.Mrs. White also immediately informed us of seeking legal action against the JUdge's Order.We strongly implore the Court to request that this disputed fact have further investigation.We feel that if Dr. Chasler was visiting and examining my mother then The First National Bank &Trust Co.should be able to produce photocopies of Dr. Chasler's cancelled checks to the Court that show he did provide these professional services for verification of this patient-doctor relationship on a monthly basis as reported on the report of the Southwestern Pennsylvania Area Agency on Aging dated February 13. 1984.As one can readily see from the material submitted per this February 13,1984 report the agency (attachment two)have apparent verification of "one"examination of Dr.Chasler and that apparently was on January 1,1982.~other proof of medical exams for a two year period was provided and also only two months of medicatlon where Dr.Chasler's name is present is verlfled and this was after our vlslt and our questioning of Mrs.White. In our effort to obtain first hand information concerning Katherine's medical care we asked the First National Bank &Trust Company to give us a complete accounting from the time of their taking over the guardianship to the date of the letter.The letter should have been honored when lt was sent since Yartha was the per- sonal guardian at the time the letter was sent.But First Natlonal Bank &Trust Co.never did send the lnformation in fact they never even acknowledged recelpt of the letter.This informatlon would have proven if Dr.Chasler or others were vislting and examining our mother on a regualr basls.We feel the First National Bank & Trust Co.must produce these records to prove who ls telllng the truth concernIng Dr.Chasler.As stated before Mr.Benz had in- formed JUdge Terputac at the meeting on January 4,1984 that he would get the required information to him and to Attorney Edward Morascyzk and to the Area Agency on Aging but this in not found anywhere in the report from the agency nor has Attorney Edward Morascyzk received any such information. Attorney Woodman's statement concerning Katherine's eye prob- lem states that Katherine last saw Dr.Rellly in May of 1982.This is a "fact"that we do not dispute but Attorney Woodman's statement that Katherine "received adequate and ordinary care commensurate with her needs••••"is NOT consistent With Dr.Reilly's medicai opinion or medical request.Attachment three of Attorney Woodman's report was obtained indirectly from Dr.Rellly's offlce.Attorney Woodman obtalned attachment three from Martha through Mr.Edward Morascyzk.This letter has a medical fact upon it which is ignored by Attorney Woodman.The fact is Dr.Reilly scheduled Katherine 7 for a follow up visit on February 3.1983 and she did not visit him then and as Dr.Reilly's letter is dated December 31.1983 she ~8dnot visited him at all up Until that time.In other words 19 months had gone by and a 9 month eye follow up visit had not been kept.This never happened in the time Martha was taking her mother for all medical appointments from 1965.to 1981;if circumstances such as bad weather or illness prevented a scheduled visit for any medical reason the visit was always rescheduled for the following week.-------------------Now the questlon ls lf Dr.Rellly wanted to see Katherlne for thls follow up vlslt ln a nlne month perlod for treatment of her eye conditions and the appointment WAS NOT kept and apparently not only had not been kept lt HAS NOT becn re- scheduled as of February 1984.HOW can Attorney Woodman convenient- ly overlook this lack of medlcal attention specif1cally when there are two documents provlded by Dr.Reilly's office saylng that Katherlne was a "no show"for her February 3.1983 appointment?Is Attorney Woodman saying that Dr.·Reilly scheduled Kather1ne for a needless vlsit or ls Attorney Woodman's medical knowledge "super10r" to Dr.Rellly's medlcal knowledge concernlng Katherlne's ~edlcal eye conditlon and neetls?Additionally,lf the ·;,1.'medical summary sheets prov1ded by Dr.Re1lly's office were check4Attorney Woodman would have seen that while Martha was taking her mother for all her medical v1sits she was visiting Dr.Reilly at least tw1ce a year and many more t1mes after her eye surgeries.And also that if the Agency had obtained records from Dr.Klein they would have seen the number of her regUlar visits to Dr.Klein for her diabetes. (Mr.Greenlee should have been able to give Dr.Weise a better medical h1story since he signed the checks whlch his wlfe made out while he served as guardian and I~rtha did keep him informed of all vislts and surgery)Anyone knowing the background of this entire oase would reallze that Martha kept her mother's doctors visits organlzed and in proper order until Martha filed for Mr.Barrett G. Greenlee's removal as her mother's legal guardian which coinclded with Mr.Greenlee's new policy,practice and procedure of unduly 1nfluencing I~rtha's mother by giving her ,875.00 over an eight (8) month period of time an average of ,109 per month while this court proceedlng was impending;but,prior to these court proceedings ~r. Greenlee gave Katherine ,1665.00 over a hundred (100)month period of time an average of .16.65 per month as was reported to the Honorable Court in the petition filed January 4,1984. We would not compare seelng.her own personal beauticlan wlth the medical,psyohological,and emotional lmportance of her seeing her own physioians.Being a diabetic my mother should be regularly checked by her own medical doctor and ophthalmologist.Judge Terputac directly questioned my mother in his chambers on January4. 1984 as to her wish and wants of seeing her own doctor and she said til want to see Dr.Klein."Now we are asking,who is refraining her from her right to be examined by her own doctors?Is it as Mrs. White said at thls January 4,1984 meeting,"Katherine wants her own beautician too and she can't get everythlng she wants."Who then is keeping her from seeing the doc~ors she wants and has seen over all these years until the petltion for Mr.Greenlee's removal was flled.The Area Agency on Aging said (per WJPA radio show with representatives from the Area Agency on Aging on Yarch 21,1984) they have oompanions services and hand1capped transportation avall- able for the elderly who need to go to the doctors.Why aren't 8 these being used for Katherine's medical care if Mrs.White cannot see that Sbe get there.It needs to be explained why Katherine can be taken by Mr.Greenlee and Y~s.White and her personnel for these legal visits but yet deny her her right to her own doctors.And if the Area Agency on Aging is concerned about Katherine's welfare then why is the services they talk about in the public relatiions programs not made obtainable for her? Maybe Attorney Woodman would like to explain from his medical background and in great detail why and how Katherine should be den1ed access to her medical eye doctor for proper monitoring of her diabetIc eye condition.It seems unreasonable that If Attorney Woodman,who is representing the Southwestern Pennsylvania Area Agency on Aging who is supposedly for the health and welfare of the elderly,really knew that even with the proper medical eye care of Dr.Reilly and Dr.Evans Katherine's diabetic eye condition became so irreversab1e that she is now legally blind "he"would not be "second"guessing Dr.Reilly's medioa1 expertise when Dr.Reilly requested Katherine to have a follow up visit in 9 months that was not kept by saying in his legal opinion that Katherine is receiving "adequate and ordinary oare commensurate with her needs".Medioa1 eye care vis1ts on the average of two (2)and even more times per year prior to the legal suit with Mr.Barrett G.Greenlee is now less than one vis1t per two years.It seems that if Attorney Woodman 1s really represent- ing the elderly and is not just trying "to close down a fair and just inquiry"about Katherine's medical care;he surely would have seen that by Katherine's medical past history SHE required and was rece1vlnf much more extensive care,both clinical and preventative,than she 1s reoeiving now and this has occurred since she has been taken to the Fairview Retirement Home by Mr.Barrett G.Greenlee.We are not say- ing that this is the fault of the retirement home,in fact.we feel the retirement home at this point and place in her life would be good for her;but,we are saying that Katherine's medical care should equal if not even be greater because of her aging process and that her rights should be protected and we are asking the Court and the Agency to look into Mr.Barrett G.Greenlee's influence on her which we feel is related to this lack of medical care.We are saying that if the Area Agency on Aging is really an institution that was created to protect the elderly then we feel that it should be doubly on guard to find out Who the incompetent (Court declared)elderly are and that the Agency should delve into these individuals records in a more thorough and professional manner and that they should train indlvldualE to be'a little more analytioal When they are looking for discrepencies with current medical care in relation to past medical history.It may help if the staff of the agency were to read through !l!of Katherine's file including that submitted to JUdge Terputac on May 23. 1983 and January 4.1984 plus much more to better understand the history and perplexity of this case and if the staff were to give the immediate family a chance to talk With them as the family requested not to just S$Y,"We'll see yoU-in the'COUrt room."While all this cOllrt preparation and proceedings 1BI~going on Katherine I s rights are being denied.How can the Agency say it has looked at this case fairly when it has not even talked with the immediate family who could give an accurate and complete medical history not one filled With inaccuracies and incompleteness and false information as is in th~dr reports of February 13.1984 and Dr.Weiss's report of Feb.1.196~. Maybe the agency should have a new thrust 1n their car1ng for the elderly 1n that programs should be 1nst1tuted where they seek out and hire doctors to rout1nely vis1t the shut-1n elderly and see that they are taken for tests that can not be performed 1n a home. A case 1n po1nt for Attorney Woodman and Ms.Sp1lak to ponder, 1f you are really looking out for the elderly 1n relation to health care 1s that;1t 1s common knowledge that "Glaucoma 1s the leading preventable.cause of blindness in the United States"and that after the age of 40 1t ls lmportant that people have thelr eye pressure ohecked for glaucoma.What relat10nship to Kather1ne's NOT see1ng her med1cal eye doctor for th1s necessary care have 1n thls case? Do you and your Agency have a plan Whereby you ald the elderly in insuring their proper medical care and protection particUlarly the court declared incompetent elderlyY·Truly it seems as if in this case the staff of the Area Agenoy on Aging is ignor1ng her severe med1cal cond1t10n in relat10nsh1p to her eyes and her diabetic In- .duced bl1ndness.How can the staff 1n good conscience "shut down this inquiry"by saying she 1s gett1ng adequate medical care and completely "1gnore"this diabetic induced blindness of her left eye? Addit1onally,~report from Dr.Chasler shortly after adm1s- slon to the Falrvlew Retlrement Home hardly seems sufficlent to justlfy the numerous statements 1n the Area Agency on Aging's re,ort that Dr.Chasler ls the doctor of record.(Dr.Klein's report says Kather1ne has had lntentlon tremors !2r years 12-16-81 and ~artha says she knows Kather1ne had these tremors all the years she was old enough to real1ze it and that strange doctors,people and places preciPitated them and made them worse.All of Dr.Klein's records do NOT show Parkinson's disease and yet she had intentlon tremors then and also the Agency did not include Dr.Klein's records in w1th this report which would have shown th1s and also would have shown that Dr.Klein was most definitely Katherine's doctor.)This p~act1ce of classifying Dr.Chasler as the doctor of record seems to go along w1th the theory that 1f you say someth1ng often enough 1t is believed.Well we DO NOT believe it and slnce there are NO addi- tlona1 medical notes and bills we will not believe it is germane to the fact that this is going against Katherine's wishes and rights of . seeing her family doctors of many years who know her normal self, and as stated 1n Judge Terputac·s chambers that Katherine's COMPRE- HENSIVE medical care ls g~ossly 1acklng and lnadequate in comparison to her'past medlca1 care and history.The JUdge only has to ask for written verificatlon from both of her physicians as to who brought Katherine for all her medical vlsits and was there for all her sur- gery,and post operative care all these years.Now all these relig- iously faithful medical visits and care for treatment and also for preventative purposes have been totally neglected since Mr.Barrett G.Greenlee has taken her to Fa1rview Retirement Home. As this ls qulte lengthly,we will not be able to delve into all the other discrepancies and incontinuities which do exlst in'this re- port from the Area Agency on Aging.'It appears to be an inaccurate, incomplete "paper work report of her care"without the actual caring and investigating into the facts.If they do care then "why"are they NOT asking to talk wlth Katherine,.s lmmedlate family and hear1ng 10 andlnvestlganlng,and trylng to understand our oonoerns,fears, and feellngs for Katherlne's present and future oare.Justloe pre- valls when both sldes are asked to speak and report faots yet ln this oase one side has been totally ignored by the Area Agency onAging.' Yours truly, 7lt~(.1.61-<!<CL~ Martha and Faul Jurovolk ~f?aJ!c;/Jcn*J1 P.S.On 4-13-1984 we went to the Courthouse and looked into Katherlne's file.To our surprise there still was no transcript of what transPired ln JUdge Terputac's chambers on January 4,1984:since,a Court Stenographer was present and was vlslbly transcribing what was belng saldo We are wonderlng why thls proceedlng and what was sald there has not been made a part of Katherlne's file and a document ofpubllcrecord. oc:Representatlve Dave Sweet Senator J.Barry stout via James Harris 11 This is a more comprehensive and accurate history wh~ch should have been presented to the Southwestern Area Agenoy on Aglng and whlch could had been obtalned 1f they had been willing to talk with the immediate family and check Court records and Social Security reoords. Childhood----Sisters and brother all attended college yet history from her siblingsl George J.Klln~her husband.and from Katherine herself tells of her belng taken from dootor to doctor and to speoiallsts to find out why she could not learn. Offsprings---Gave birth to three living chlldren.two miscarriages and the third of the three children was a student in the special education classes of Ringgold School Dlstrict because of mental retardat1on. Late 1940's--Hysterectomy.Monongahela HosPital Early 1950's-Severe Burns of Feet due to boiling water,Mononga- hela Hospital 1966---------Fractured Left Os Calcis 1968---------Fractured Left Radius &found to be mild diabetic Monongahela HOSPital 12-1969------Comm1nuted Fracture Right Patella,Monongahela Hosp- ital 6-19?7-------Teeth Extraction,Monongahela HoSPital 7-19?7-------Cataract extraction,left eye,Washington Hospital 4-19?8-------Siabetio Retinopathy,left eye 4-6,19?8----Three Laser treatments.Dr.Evans,Pittsburgh ?-19?8-------Repair of ptos1s or right upper lid,Washington HosP. 6-19?9-------Lacerated Lett Arm.Tetanus Toxoid,Monongahela Hosp. 2-19?9~------Cataract extraction.Right eye,Washington Hospital 11-19?9------Legally B11nd in Left Eye due to Diabetic Retinopathy ?-1980-------Undisplaced Fraoture of Left Radial Styloid.Monongahela Hospital 12-1981------Fe1l in HER OWN HOME,taken to Monongahela Hospital 8-1968-------Declared eligible for Social Security after testing by Larry Smith,Psychologist.because of mental dlsabllty.Clalm No.201-14-??29-W 10-19-19?1---Judge Marlno declared Katherlne lncompetent after testing by Dr.CarlO Sirr1.psyehlatrlst,and Dr.Hambacher.psyohologist,and hearing On 10-5-1971. ~ ~ ~':}--'.0 n.tlJ ;Ci:....--I'j 0-j.- ( r--l'c"Jr ....,C,r" ,.1 !...."~ .,. O:J... '. ,--.... J To:The Honorable Judge Thomas J.Terputnc Prom:Martha and Paul Jurovcik Date:I,.nrch 12.1981~ Reason:File No.6)-71-887 Need to request that my mother.. (Io.other-in-law)Katherine L.Kline h~ve a l,-lAIS nd.milli~tered to her by a clinical psychologist not connect~d with the Area Agency on Aging It Barrett G..Greenlee.or the r';ental Health Cefiter in Monessen .After looking over the psychiatric evaluation of Dr.Paul Irving Heiss of February 7.1984 an effort was made to find out about this testing instrument.the Folstein Mini Mental Status Examination.The California University Of Pennsylvaniats Library was first searohed and the Bible for locating and reviewing tests called Tests 1n Print gave no listing for the Folstein Test.A trip to the University of Pittsburgh's Medical L1b!~ry was fruitless 1n that this library had no apparent information on thin l"olstnin test either...The person assigned to the reference desk at Pitt's ~edlcal Library said to go to Western Psychiatric Inotitute and Clinic t a Library.The next lIlove \'las to go to the \~estern Pcych1c:ltrlc Library for the suggested assiDtance.The pernon prov1.dlng a3s1st·~ ance at this library went to their reference seotion and pulled out the same bool\:used at California Unlyel'sity's Library,'that being Te~ts in Print,from.the shelf and said the Folsteln Test should be there.Amazed by the fact that he could not find this test listed, the llbrarian went through other references such 3.0 Buras I'!l3ntE'.1 Measurements Yearbooks and could not find this Folsteln test listed any \'1here.Pernlssion "las requested to go through th'3 libr:~ryr s periodical refere]lCe shelf and It "las here that a refel'ence to a te~t called IINin1 Nental state"by Ii'olstein,1"0Iste1n,an(1 l1cHugh..'l'he entire test,the rational for its oreation.its uses and its values were pUblished 1n this one article.Thcrefore p four p~ychologists were contacted and oonsulted about this test one l1ho works in Wash- ington County;one who 1s a professor at the Unlv'c:t'sity ot Pittsburgh: one \'lho is Executive Direotor of the Pennsylvania Psyohological Aosooiation:and the fourth \'11'10 is in pri,,-n'te p:rPlctlce in Pittsburgh and also a member of the ethics committee.Thr~e of these four indi- viduals have doctoral degrees in their profession. The overwhelming consenSUG from their conversations ~ere: 1.The Folate1n 'rest is an "obscure"test, 2.The Folstein Test acoording to the article in the Journal of Ps;~rch'.e.trl0 Rf~vie\>1 could be administer\~cl by (a)a psychiatric resident (b)a nurse (c)or a volunteer, thereby making it tremendously sus~ect as a valid testing instrument. 3.The WAIS which was administered in 1971 should'be re- administered by a clinical psychologist who is not connected to the Area Agency on Aging,the MentRl--Uealth Center in ~onessen,or to any of the other parties in- volved. 4.That the case history of Ke.therlne Lo Kline,especia.lly 2 since she (a)failed four years of elementary school and was a school "dropout and retarded mentally".. as testified to by her only brother Homer Eugene Gates at the competen~y hearing No.63-71-887 of October 5, 197L.and:·9Y his written will where he put her inherl'c-. ance into a trust rather than leave it directly to her; (b)was tes·ted by larry Smith,a psychologist employad by the Social Security AdministrationD and was subse- quently declared eligible for social security benefits in the middle 1960's because of mental disability with the check asslgned to her daughter to be used in hel' behalf with the social security conducting periQdic re- views:(c)was tested and declared mentally retarded with an IQ of 6)per the 1971 testimony presented at the competency hearing in the Washington County Court- house;stron~ly indicates that this is not dementia occurring alone but that her problem has-truly been a .continuation of her history of mental retardation.S.From their point of view the test (Folstein)is notthemostappropriatetestavailabletoassessher-true mental abilities and that the WArS is much more val~­ abl,,~and more thorough since this Folste1n test accord- ing to the authors only takes 5-10 minutes to be admin- istered by even a volunteer:whereas,the WArS may t3ke over 2 hours and must be given by a certified psycholo- gist.As a matter of information only a certifIed psy- chologist can get their hands on a \JAIS test"the test mo~t recogni?ed as a reliable assessor of intelligence: yet,this Folstein test can and is administered by in- dividuals untrained in assessment and the entire,short test was available in this periodical. 6.That her recent medical problems:'thyroid.cataracts, diabetes,legal b11ndness,can only be causing more deterioration of her mental abilities and s1nca she was twice (lecla.red incompetent and mentally retarded 1n the last 20 years they all feel that "she '10uld becoI:1e world famous as the first person in her age group to go fr9m this severe degree of mental retardation to one who is nOli suddenly declared not lD.entally,retarded. These are some of their main points of argument for her baing re- tested by a clin1cal psychologist using the WAIS test as the testing instrument and we feel that the test should.be done by someone from Allegheny County ''lith the "prima.ry historianll NOir being Nr.Greenlee, ~~a.White,or the Area Agency on Aging;rather,documented medical records from all her physicians,her brother Homer Eo Gates'court testimony,her sister,Mary Gates Greenlee's letter which we previously submitted to the Court,and her school records should be the off1cial source of information.The psychology professor at Pitt said that this entire case "seems bizarre".. The psychologist who is in private practice said lt "We should DEFINITELY CHALLENGE THE VALIDITY OF DR.WEISS'S TESTING TOOLS".When the psychologists were informed that Folstein1s entire test according to Folstein was standardized on 206 hospitalized psyohia.t~10 p~tlents and 63 normal,elderly persons:one of the psychologists pointed out that this was too small of a sample.The average age of the normal " ·" elderly persons w'as 7309.Additionally,Folateil1 oays no allo\~ances were made for geographlc,demographic,and soclo-econo~lc factors. "All the patients were tested shortly aftel'admission to the New York }lospital ~Jestchester Division~a private psychiatrichosPital and the normal subjects were tested at a sflnlor citlzens canter and at n re- tlrement complexo"The authors stnte that of the thirty posslblt: polnts on the t.est,"Thl~mean score for norwals was 27.6 and.the r:3an score for patients with dementia was 9.7"Thus no ma.tter wha'ti the 9.0 score for Katherine L.Kline indicates it is much belon tha nOl'IDr:ll group.Folste1n defines dementia as "A global deterioration of lYltt:l1,- ect 1n clear consciousness".The psycholog1st~:J lfC consulted ~3.id.1;he cause was not dementia but is just a contlnu.ation of a long history of mental retal~ationo Following a~e two examples of toe lack of thoroughness of this Folstein test.The entire'loath (and attention)portion of this test consists of the folloWing sin~l.£question,"Ask the patient to begin lilth 100.and count baclo'1ards by 7"••••0 In the p~ycholoBist~t oPiniohr~ this deflnitely does NOT thoroughly test onels math abilit1es that one must have to function in this complex world.The language pl,)rtlon of the test has these questions as 1/3 of the.entire language portion: questions 1 &2 state----"Show the patient a l'lriot watch and ask him l'lhat 1t is.Repeat for ppencil."Question:3 states.."Repetition:A~:;k the patient to repeat the sentence after you,InO ifs D antis sor butso II! Wh1ch the psychologists were quick to point out 1s not even actually a sentence.As in the math test one can easily see that this J.:-lngllag~ test does not thoroughly test language skills that arc neces3ary for functioning in our society. cc Attorney Ed:tiard I1orasc~rzk Hepresentativc Dave Swect Senator J.BerrO'Stou:t via James P..a.rris en ..::l"" (0 -U/cc ......-.j'l c..../-.1.'-~ r--,.. <".JI t,-~L...i-Jc."".) -,.. 0,;: '" \.- ,.,....""I ---.\ IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVA~ITA ORPHANS'COURT DIVISION IN RE: ESTATE OF KATHERINE KLINE,) ) AN I NCOl:jPETENT )NO.887-1971 '~'.,~.-'. .. . ;;..-. ANSWER BY GUAHDIAN TO PETITION TO REMOVE MARTHA 1.JUROVCIK AS GUARDIAN OF THE PERSON llARTHA L.JUROVCIK,Guardian of the Person of Kath'erine L. Kline,an Incompetent,makes her answer to the Petition to remove her as Guardian of the Person,as follows: 1.Admitted 2.Admitted 3.Admitted 4.Admitted 5.Admitted 6.Admitted 7.Admitted 8.Admitted 9.Admitted • • • 10. 11. 12. 13. 14. 2 Mr.L~nn DeHaven asked me at a conference in Judge Terputac's Chambers on September 23,1983 to be appointed guardian of my mother's person.He said that he had been requesting this for over a year.(Mr.Underwood,Trust Officer of First National Bank &Trust Co.had also told me that at our first meeting when the bank became guardian of her estate.)We informed him that according to Mr.Mark Geary I could not be appointed guardian of her person as I had petitioned the Court to do so when the petition to remove Mr.Barrett G.Greenlee as guardian of her estate was presented on September 8,1981.We informed Judge Terputac and Mr.DeHaven that this was not permissible according to what we were told by our legal counsel after Mr.Greenlee resigned at this September 8,1981 hearing even though Judge Terputac himself pro- claimed during the course of tbe hearing that'First National Bank &Trust Co would be guardian of her estate and Martha Lee Juro~cikwould be guardian of her person". We then showed Judge Terputac a copy of the Order of Court of October 19,1981 appointing First National Ballic &Trust Co.legal guardian of her estate and which also stated Martha Lee Jurovcik was appointed guardian of her person but this was typed over with x's.Judge Terputac at this conference of September 23,1983 then said he did not know why this typing over had happened and he did not know why I could not be appointed guardian of her person.He then asked my sister,JoAnn Ward, if she had any objections to this appointment and she said no.Thus,I was appointed guardian of her person by Judge Terputac at this meeting.It is imperative to re- emphasize that at the hearing of Sept.8,1981 Judge Terputac appointed me guardian of my mother's person with an Official Court Reporter sitting there operating her machine yet none of this has ever showed up in my mother's file and that at a later date we were informed that this no longer could be and that this was typed out on the October 19,1981 Order of Court.We emphatically reminded the Judge of these happenings at the September 23,1983 conference in his ehambers and he said he could not unde~stand why this could not be and he then proceeded again to appoint me guardian of my mother's person.Apparently Judge Terputac and Mr.Lynn DeHaven saw no reason to give'her prior notice.Additionally I was instructed that my sister was to have a copy of this order and that I was to give a copy of this order to the owner of the Fairview Retirement Home.We took this order to the retirement home where my mother resides and Mrs.White was not there.The attendants called her at her other retirement home and she refused to give us directions to this home until my husband questioned her about her refusal to accept the Court Order that Judge Terputac instructed us to give her. True True True It is important to note that Dr.Zubchevich's medical statements are based upon statements presented to her in an interview with my mentally retarded mother accord- ing to medical testimony presented to this Court in 1971.If we can believe the sworn statements filed by her prior legal guardian,Mr.Barrett G.Greenlee,one can easily see that Dr.Zubchevich was ~asily duped by my mother who was judged incom- petent by this Court,because ~'lr.Barrett G.Greenlee DID NOT give her the sum of $200.00 per month for the 10 year period he was her guardian.If she would have done accurate,valid research of this statement she would have seen through this blatent falsehood because the Court Audit Mr.Barrett G.Greenlee presented to this Court shows very clearly that he gave my mother in this 10 year period ~2,540.00 and NOT the ~$24,000.00 that Dr.Zubchevich's so called IIcompetent ll medica1:evaluatcion asserts that my mother received from Mr.Barrett G.Greenlee for this 10 year period. In fact,Court Records clearly show that 34%of this $2,540.00 or $875.00 was given to my mother over an 8 month period of time.This 8 month period of time was after we were told by Mr.Paul Posa to hire a lawyer to have Mr.Barrett G.Greenlee re- moved as guardian.(Enclosed is a summary of this Court Record.) At the time of Dr.Zubchevich's examination,January 2,1982,our mother's expenses were exceeding her income by $200.00 per month per bank petition presented to us on ~~~ghn~'1983.She had an income of $622.00 (~~100.00 in interest that she did not ---- • • • have on Jan.2,1982)and expenditures of $795.00 (This did not include the lost electric bills of this time.)Thus how could my mother logically live in a re- tirement home that was ~~200.00 above her income.Within two weeks of my mother's discharge from Non Valley Hospital my mother was "escorted"to Dr.Zubchevich's office for this psychiatric evaluation in which Dr.Zubchevich Has IIfed"inaccurate information about my mother's financial status as of the date of Jan.2,1982.Just two weeks prior to this the Mon Valley Hospital's Social Worker,Hrs.JoAnn Barber, had arranged to have my mother,with frequent consultations with Hr.G.David Underwood,Trust Officer of First National Bank &Trust Co.and myself,placed into a retirement home that was more in line with her income that was ~p600.00 per month. On Dec.24,1981 Mr.Barrett G.Greenlee came into the hospital and went against these arrangements of Mrs.Barber,r-1r.G.David Underwood of First National Bank & Trust Co.to which I consented and took my mother to the retirement home where she presently is residing.At the time of Barrett G.Greenlee's withdrawal of my mother from the hospital,Nr.Barrett G.Greenlee refused to talk to Nr.G.David Underwood over the telephone about these arrangements.Mr.Underwood later told me that the ~c would allow her to remain in this more expensive retirement home temporarily because ll,r.Barrett G.Greenlee had taken her there for his "mm personal conven- ience and that he would personnally pay the ;:~100.00 per month difference".To date and in line with the information given to us by the First National Baru(&Trust Co.,~lr.Barrett ~.Greenlee has ~~VER paid this $100.00 per month difference.Addition- ally it is important to note that the social worker did this planning with truly correct and accurate financial figures given to her by Mr.G.David Underwood of First National Bank &Trust Co.and not withfue inaccurate financial figures fed to Dr.Zubchevich.Thus,how can Dr.Zubchevich say that an incompetent person can stay in a home when her expenses at the time of her evaluation,Jan.2,1982, exceeded her income by the large amount.I also wish to point out that my mother's family doctor is in no way related to her and that his name is spelled Dr.Fred §. Klein and not the Dr.Kline in New Eagle reported in Dr.Zubchevich's report.Again I wish to point out that it appears that Dr.Zubchevich's report was very nebulous and inaccurate since she was fed and apparently believed distorted facts my court decreed incompetent mother told her. My husband and I went to the High rise that Mr.Barrett G.Greenlee was constantly promising my mother he would get her into.And according to the facts and figures provided to us by its management my mother's position on the waiting list was such that at the then current rate of vacancies it would have taken her 27 years to be- come next upon the list for entry there.My mother's application was #335;she was #180 on the list and her position on the list was #167 on the list.On August 28, 1981 Maxine told us,"1;lr.Barrett Greenlee has yet,to send us all the papers t.hat he is required to send to me",to get your mother into and on the waiting list of tins Monongahela High Rise.Yet,Mr.Greenlee kept promising her that he would get her in and he would not accept a gift from my sister and I to fix her bathroom to make it safer and more comfortable for her on this false promise that she believed.We were told by Maxine that in a 2 year period there were 13 vacancies and that at this rate it would be 27 years for her to become eligible for entry into this high rise. Yet my mother was constantly promised by Mr.Greenlee that he could get her into this high rise amd in trusting him she would ask us to fix things in her own home but she would not ask him on the telephone because "He is too busy with sick and dead people". Dr.Zubchevich apparently did not research this high rise statement given to her by my mother because it does not state that though my mother was in agreement to live in this high rise;my mother could not get into this high rise for a very "extended" period of time (27 years). Dr.Zubchevich states that my mother "blOWS right from wrong";we would like to point out that in the attic of the Ivashington County Court House one can go through the Lien Tax Return Dockets for 1957,1958,1960, 1961, 1962,1963,and 1964 and find that the property that my mother jointly owned with my father during these • • • years did NOT have the borough,school,and county taxes paid in the.proper time and they had to be turned over to the Tax Claim Bureau.Dr.Zubchevlch does not say this since she could not have known thi's and my mother would not have told her that she was milking money from my dad to go to bingo six and often seven days a week when he could not pay these taxes.When he would refuse to give her bingo money and transpont her to the many varied and distant locations she would sit on the couch, suck her thumb,watch TV and would not cook,clean or wash clothes for him or their children.(See attached Lien Tax Forms) Dr.Zubchevich says my mother knows right from wrong r wonder if my mother told Dr. Zubchevich that one of her sources of her bingo money unknown to my dad during this lien tax problem period of time was to take our family church contributions from the church provided donation envelopes and then use it for her bingo wants.Because he could not reason with her my father called upon the church minister,her sister and brother and anyone he felt could help him to get her see the right from the wrong. r was there when the church minister came to assist my dad in talking with her and she walked out of the room on the preacher and my dad.And she would not listen one bit to the phone calls of her sister Hary Greenlee. Also,Dr.Zubchevich was not informed by my mother that during this lien period of time that my mother and father were having additional financial problems.These problems manifested themselves when a Pittsburgh department store threatened to remove our kitchen stove for nonpayment of their bill.A friend of mine loaned my father tha money which my father was never able to return that my father used to pay off this bill so that we could keep our kitchen stove.But my mother could not un- derstand and continued to pressure my father for her bingo money while the essentials of life meant nothing to her no matter who tried to talk to her. 15.True 16.There has been a truthful relationship between me and my mother.I have always tried to tell her the truth~whether or not she wanted to hear it or not.~She could not comprehend many of the long range implications to her wants.Such~she saw no need to pay her taxes since my father told her this house would always be hers when he died. But you could not reason with her that the taxes had to be pai~to keep it for her. At this time I would like to quote from a letter my Aunt I~ary Gates Greenlee sent to me on January 8,1971 (Exhibit 1413 &14C),IIYou've been good to her,but she shows no appreciation and has ~had any responsibility-has no value of money &Grandpa Gates knew thatll In the-mt'llrn"letter she gave me directions to tell 1/11'.Paul Posa, IIExplain that your !·'lother has never been too \{ell &no one can reason with her.·~ Love Aunt Haryll I wish to point out that my Aunt l~ary is my mother's sister and Barrett G.Greenlee's mother.Hy Aunt Mary being her sister summed my mother's true qualities up very well in this brief handwritten statement.(See my Aunt Mary's attached letter) I further feel that this inhermonious relationship has developed and has been perpet- uated by her previous guardian Mr.Barrett G.Greenlee beginning with the time when we began to ask that my mother's personal living quarters be fixed for her comfort and became accentuated when he refused a money gift to help this along and Mr.Paul Posa then told us to hire our own lawyer to have Mr.Barrett G.Greenlee removed as her guardian since we were no longer able to communicate with him by phone or in person and we were getting conflicting stories from Mr.Paul Posa and l~r.Barrett Greenlee, and Mrs.Sara Greenlee (Barrett's wife~I:Rau1 Posa kept telling us that he could not get the checkbooks from Barrett to complete the accounting and Sara told us that Hr. Posa had the checkb!boks and she could not get the bills paid and 1',11'.Barrett G• Greenlee on July 31,1978 sent me the following note on the bottom of my letter,IIDear 11artha Lee,Sorry to be late in sending this check.Will try to get all information • • • to Paul Posa as soon as possible so that ~J,.can take over the guardianship. SincerelyBarrett" Mr.Paul Posa's side of this on gOID1g fiasco can be summed up by quoting from his letter of July 11,1978,"As soon as I have received an accounting of funds from Barrett,I will prepare the necessary petition for his resignation"..During this three year period we kept hearing she wanted her leweing roof and bathroom fixed and Barrett and Hr.Posa kept delaying on the accounting and made no repairs and Barrett kept promising her the high rise and I was stuck in the middle uith my mother not understanding what was happ.ening,(See attachedGletterslof)Paul PasaMarthaL.Juro~lk,and Barret~•Green ee One only has to realize up to this point that after my mother's frequent surgerys she came and lived with me and my family during her long periods of recuperations and that I was the one to take her for her doctor visits,eye appointments,her Laser treatments in Pittsburgh,did her grocery shopping,did her house cleaning, and was down at her home answermng tenants problems,and that she celebrated all all holidays and birthdays with me and my family in our home until this inhermonious relationship was perpet17ated by others. I do not in anyway understand why if my sister and I were told by Judge Terputac at the conference in his Chambers on Sept.23,1983,"you girls will pay"as he pointed his finger at us,after all your mother's finances are in one way or another dissi- pated;why we are NOT allowed by lau we are told to have any input into her present situation.This in itself nutures an inhermonious relationship because we wil~we are told be responsible for her when all her funds are gone but we are not allowed to help mwee decisions to see that this does not occur for her benefit,our benefit and for a society which believes that a family should try to care for its own.!~y sister and I are very much in favor of her remaining at Fairview Retirement Homeror the rest of her entire life as we told Mrs.white personally when we took Judge Terputacfs Order to the retirement home on Sept.23.,1983 as lnstructed by the Judge • We wish the bank would be required to speedily repair and rent her apartment which has set empty 24 months,so that,her funds are no longer allowed to dissipate,with no apparent regard about what tomorrow will bring financially for her and her ability to reside at Fairview.The banle in fact said,"She will just go to the County IIome when her funds are gone."Everyone is told and e,xpected to live within their means, why can't a respected financial institution understand this fuct·of Ilife?He are tired of all this Court talk while my mother's finances are not properly being managed by the First National Bame &Trust Co.,since they are paying monthly utilities on her apartment and not renting her apartment as they could be.Their reasons have been varied and many but their affirmative actions in this matter have been poor to non existant at best.An example of one of their many excuses for nonrental was made known to us on Sept.23,1983 in Judge Terputac's Chambers when the banle's officers informed us that they could not obtain fire~insurance coverage to replace the cover- age that they did not know had expired until the wreck at my mother1s home on May 13, 1983.Judge Terputac informed the bame that they could not extend money to fix the house up since there was no insurance on it nor could they expend money to fix the house to get insurance on it.The next day Sept.24,1983 my husband made two phone calls and after 10 minutes on the telephone he had fire and extended coverage on my mother1s home.But after a period of 3 additional months the bank has not executed any visible movement to have any of the repairs made either to rent her apartment or to mwee the other repairs that were the cause of the other insurance company to deny coverage to her income producing rental properties. villEfiEFORE,I vehemently do NOT approve of Barrett G.Greenlee being appointed as her personal guardian and I would be glad to specify in writing additional grievances I and my sister have against his appointment• Finally,I wish to state that if this Court approves a psychiatric evaluation to be ~~ne on my mother first I hope it is more valid and comprehensive with more scienti- • • 6 fic and objective facts and not full of subjective,non-valid conclusions that Dr.Zubchevich's report contained.This report did not contain any standardized testing for comparative data by people knowledgeable of testing and testing situations. •We hope this would be conducted more professionally,and more scientifically• Secondly,if for some strange reason my mother is declared competent to handle her own affairs then all funds that have been turned over to the First National Bank & Trust Co.by the executors of the Horner E.Gates Estate,$40,000.00 to date should be kept IN TRUST because page 2 of his will (63-81-1207)states and we feel it should be honored: "Third.In the event my sister,Katherine L.Gates Kline survives me,it is my will and desire that her interest in my estate shall be awarded to Equibank IN TRUST for the following purposes and uses: a.to make any legal investments. b.To perform all duties in accordance with law. c.To disburse such funds as may be necessary for her mainten- ance and support as the Trustee deems proper and necessary, keeping in mind it is my will and desire to prevent her from dissipating any funds devised to her or become the victim of any designing person." It is important to note that in his will and on the stand in 1971 my Uncle Homer E.Gates testified to the fact that my mother was not capable of handling her own affairs.(See attached will of Homer E.Gates) • Addendum:To The Honorable Court This is an informational letter to inform this Court concerning my mother Katherine L.Kline,an incompetent. On September 23,1983 when we delivered the Court Order to Mrs.White, owner of Fairview Rest Home,as this Court instructed HI's.~Jhi te did not want to give us directions to where her other home was located in R.D.Brownsville so that we could deliver the Court Order to her.tlJrs.Hhite informed both my husband and myself NOT to talk to my mother because it was not a visiting day and she would not permit us to talk to her. Whereas,the attendants even expressed to us the option of their walking my mother to her room so we could talk to her privately because she was sitting in a chair in the living room.We told them Mrs.White had said not to talk to her beocause it was not a visiting day and even though we wanted to talk to her very much we stated we would honor Mrs.White's very explicit and adamant instruc- tions so as not to break her rule or get them in any trouble. They took us to the doorway of the living room in which she was sitting and I immediately observed that even though she was looking directly at us she was unable to see us.The attendants also told us,before even showing us where our mother was sitting,that she had not seen her family doctor,Dr.Klein or her eye doctor,Dr.Reilly for a long period of time.They showed extreme concern and interest in her health and this apparent lack of health exams.They also stated she talked frequently to them about her doctors andfuat she missed seeing them and that she wanted someone to take her to see them.When this was brought up to Mrs.White when we delivered the Court Order to her at the other rest home she was in,she told us that a doctor came to see another patient at the home. She did not state that this doctor definitely saw my mother and I would like to point out that this is not a doctor of my mother's choice who knows her well,and has the bacl{received bills from this doctor verifying that she has been seen. Also that the equipment available to the doctors in their offices is not available in the rest home particularly concerning her eyes and the blood analysis for the medication. I have since requested each of these physicians to inform me of her visits and her records.My mother has not been to Dr.Klein's office since July 13,1982 and she had been examined by him every three months since 1969 and I took her for these scheduled visits because of her diabetic condition.She is also on Thyroid gr i and Orinase three times daily.According to the records she has been on Dilantin 200 mg.twice a day yet there has been no follm.l up visits for her to be checked or to have blood work done as is necessary with this medication,since it was ordered on June 28,1982 with one visit on July 13,1982 and then nothing. As far as Dr.Reilly's she was taken there on ~jay 3,1982 after a cancellation on April ~~,1982 and a return visit was set up for February 3,1983.Records sent to me stated that this was a "no Shml"appointment with no subsequent visits since then.Hy mother has lost her vision in her left ey.e due to diabetic retinopathy even after laser treatments by Dr.Evans in Pittsburgh,Pa.yet she apparently is not being taken to see her eye doctor so that hopefully everything can be done to properlt examine her right eye and hopefully prevent total blindness for her.This 1S why he attendant's statements that no one is taking her is very upsetting.It is important to note that up until the time that Paul Posa told us to hire our own lawyer to have Mr.Barrett G.Greenlee removed that I saw to it that my mother re- ceived proper medical and eye care.(Enclosed are the doctor's reports.) This shows that the best interests of my mother are not being handled by any- Qne.The attendants also stated that the Greenlees do not visit her very oftenror • • • 2 for as close as they live;yet they are the ones who took her there telling t·lr. G.David Underwood it was for their convenience to look after her.Yet Mrs. vlhite did not and could not state that my mother has seen her doctor when He personally asked her about this on September 23,1983 and these records verify this fact.I fear that my mother is just being allowed to sit in a chair and watch (or listen)to TV with no regard to her health and little regard to any outside activities.The attendants did tell us and HI'S.White did not deny it that my mother took her suitcases and went out on the rest home's porch wanting to go home but of course she had no 'fay to go any further.This is a remote and isolated area and I am not certain that she would be able to use a phone and call myself or anyone if she so desired.This inhermonious relationship referred to by the petition has existed because I have always tried to be truthful with my mother ever since my father's death such as taxes must be paid first etc.but Hr. Greenlee has widened the poor relationship ever since I asked him to make my mother's bathroom repairs for her health and safety even with a gift from us even after as shown by the transcript of the hearing of October 5,1971 he told Judge t;larino that he would II consult with her (Hartha)and others if necessary in deter- mining what might be adequate and proper in the way of expenditures for Mrs.Klinell • When I petitioned for his removal as shown by the exorbitant amounts of money he gave her as compared to what he had given to her in the past 9 years of his guardianship,he worked to worsen this relationship.At the hearing where Hr. Greenlee resigned,my husband asked the Court to request that the Greenlee family work with ~iartha rather than against her. I admit I cannot communicate with my mother because of her inability to com- prehend the wedge which her former guardian has perpetrated between us for reasons beyond my own comprehension;but,I am concerned for her health,happiness and safety.I pray this Court would appoint an impartial social worker to serve as guardian of her person as I am aware this does occur;so that,she will be taken for her much needed medical and eye examinations for her physical health.She is on three medications which require the expertise of her physician through personal observation,equipment,and blood analysis since elderly patients may show early signs of untoward effects or toxicity and other complications which could go un- detected without proper supervision of her health.I realize this takes a fair amount of someonets time to see that she keeps her medical and eye exams etc. current because I was the person to do this for her since 1965 and would still do it for her if she requested.She apparently expresses to the attendants her own desire to have this care but has been unable to procure it. I PRAY THAT IF A SUBSEQUENT GUARDIAN OF HER PERSON BE APPOINTED THAT IT BE AN I!!:PARTIAL SOCIAL WORKER vlHO WOULD SEE THAT ALL HER tlEDICAL AND EYE CARE NEEDS BE !'-1ET.I and my sister JoAnn Hard OBJECT most vehemently to the appointment of Mr.Barrett G.Greenlee as guardian of our mother's person as ono can easily see that our mother's medical and eye care needs HAVE NOT been met since Mr.Greenlee took her there against the professional plans of the hospital social worker and the professional financial plans of !'1r.G.David Unerwood,Trust Officer of First National Ban~&Trust Co.on December 24,1981.I feel that because of all this lack of cooperation described to the Honorable Court,that neither my sister nor myself can feel that we can rely on any information given to us by HI'S.White, the rest hornets owner,as this rest home was chosen by Mr.Barrett G.Greenlee. And as Mr.Greenlee told Hr.G.David Underwood,First National Banle's Trust Officer at the time that it was IIfor my convenience,in caring for herll ;yet,our mother's best medical interests truly have NOT been met.A physician coming routinely to the rest home to see another patient as told to us by Mrs.White on September 23,1983 truly is NOT in our mother's Katherine L.Kline best interests. And her OWN E}~RESSED DESIRE to be examined by her own doctors has not been acted upon.Therefore if she is to remain in this retirement home as long as her finances are kept up then an impartial social \-lOrker appointed by this Court and possibly • • 3 from the Southwestern Pennsylvania Area Agency on Aging would be in our mother's best interests. I beg this Honorable Court for empathy in regard to the length of this my answer to my citation and I must also state that my mother's RIGHT to see her own doctor is not only important to her physical well being but also of utmost signi- ficance socially,emotionally and psychologically.Going to "her doctor"or even to the hospital has always been a day she eagerly 'anticipated for many days and even weeks at a time.It was her day out,her day of importance,her day to see her friend---"her doctor".This happens to many elderly people but to her it al- ways was a significant day in her life,a social event.And my mother has always had the attachment of a child to "her doctor".She looks upon her doctor as a supreme individual.It was a major adjustment for her to go to a new doctor.She even named her only son after "her doctor"and demanded that her son be called by her doctor's name SCOTT and not her husband's George immediately while still on the delivery table and for Scott's entire life of 26 years.Emotionally it is very im- portant that her regular visits to "her doctors"be reinstituted on a regular basis. In as neither lilrs.Vlhi te,owner of the rest home,nor t,lr.Barrett G.Greenlee,the person who took her to this retirement horne contrary to the plans of the hospital's social Horker and the bank's trust officer,have seen that she be able to continue seeing her doctors;then I again ask that an impartial,caring social Horker be named to see that this be carried out for her physical,social,emotional,and psy- chological well being. The Honorable Court should be informed that my husband expressed to t',ls. Catalina Ramirez,Esquire our desire to see and talk with the Southwestern Pennsylvania Area Agency on Aging so that we could express all of the above but this Has refused and we Here told He would be seen in Court only. I wish it to be on record in this Honorable Court that I have shoHn concern in the past for my mother's welfare,I do care nOH at the present,and I.§!!! equally concerned about her future Hell being. Yours respectfully, l'·Iartha L.Jurovcik IL-_ SUm1ARY OF FUNDS GIVEN TO KATHERINE KLINE BY BARRETT GREENLEE,HER GUARDIAN FROM JA}mARY 1972 TO JA~mARY 1982,PER AUDIT ON FILE IN T}lli COURTHOUSE ••YEAR 1972 1973 1974 1975 ,1976 1977 1978 1979 1980 1981 1982 (includes grocery money) Ten year total Ml0UNT $30.00 225.00 205.00 180.00 185.00 85.00 285.00 240.00 230.00 875.00 $2,540.00 • oc~f.-,--1.9,197:1 1972 1973 1974 START OF GUARDIANSHIP Sept.7,1972 (first check)5.00 Dec.18,1972 25 •00 May 11,1973 20.00 May 30,1973 (Scotty killed 5/26)25.00 July 8,1973 30.00 August 10,1973 25.00 October 9,1973 30.00 November 6,1973 25.00 Dec.9.1973 (Extra-Christmas)70.00 Jan.28,1974 30.00 March 25,1974 20.00 July 8,1974 20.00 Aug.24,1974 20.00 Oct.6,1974 20.00 Nov.13,1974 25.00 Dec.6,197~-(Extra-Christmas)70.00 TOTAL $30.00 TOTAL $225.00 TOTAL ::~205.00 • 1975 1976 Feb.4,1975 June 27,1975 Aug.1,1975 Sept.5,1975 Oct.3,1975 Nov.7,1975 Dec.15,1975(Extra-Christmas) Jan.5,1976 Feb.4,1976 l'!ar.4,1976 Apr.5,1976 Hay 10,1976 June 4 1976Aug.10,1976 Sept.11 1 1976Gct.1,1976 Nov.8,1976 Dec.7,1976 15.00 20.00 20.00 15.00 20.00 20.00 70.00 15.00 15.00 15.00 15.00 15.00 15.00 25.00 10.0015.0020.0025.00 TOTAL ~p180.00 TOTAL $185.00 • • 1977 1978 1979 1980 1981 Harch 11,1977 April 4,1977 May 7,1977 June 13,1977 Oct.10,1977 Nov.14,1977 I"larch 8,1978 t:larch 30,1978 June 9,1978 Aug.22,1978 Oct.23,1978 Dec.14,1978 Feb.8,1979 I"larch 3,1979 April 5,1979 April 23,1979 June 14,1979 July 7,1979 July 29,1979 Oct.17,1979 Nov.26,1979 Jan.17,1980 Feb.20,1980 !-larch 21,1980 April 23,1980 June 12,1980 July 23,1980 August 28,1980 Sept.17,1980 I'Tovember 17,1980 Feb.25,1981 April 2,1981 April 24,1981 June 1,1981 Groceries June 24,1981 Groceries etc. July 25,1981 Groceries Oct.3,1981 Groceries November 10,1981 Groceries ;;~15.00 15.00 15.00 10.00 15.00 15.00 50.00 20.00 60.00 60.00 60.00 35.00 25.00 25.00 25.00 25.00 25.00 25.00 25.00 25.00 40.00 25.00 25.00 25.00 25.00 30.00 25.00 25.00 25.00 25.00 50.00 100.00* 50.00 100.00 100.00 100.00 150.00 225.00 TOTAL $85.00 TOTAL :$285.00 TOTAL :$240.00 TOTAL :}230.00 TOTAL ~p875.00 • 1982 *One can easily see that after Mr.Paul Pasa asked us.to hire our own lawyer that there was a great increase in funds sent to my mother but this is still no where near the ~p200.00 per month that Dr.Zubchevich's report indicated my mother had been receiving. NO 1',10HEY GI VEN ".'..•.~ -:,.../ -~_. ••-' •• To:Mr.Paul P.Posa Attorney at Law Washington Trust Building Wash1ngton,Pennsylvan1a 15301 Freml Martha Lee Kline Ju::rovoik Box 248 R.D.#l Bentleyville,Pennsylvania 15314 JoAnn Louise Kline Ward 1410 Difford Drive Niles,Ohio 44446 Reasonz Change or guard1ansh1p for our Mother, Katherine Louise Kline Date I January~,1981 Dear lwir.Po saI We are writing to you at this time conoerning the speedy change of guardianship of our Mother,Katherine Louise Kline,from Barrett G.Greenlee t.Paul Jurovoik.In your letter of July 11,1978 to Paul Jurovc1k you indioated that Barrett "Has IndIcated hIs Inten- tIon to resign as GuardIan"and that only an acoounting of the funds of the guardianship was neoessary for the petitIoning of the change for Barrett's resignatIon and Paul's appointment. We now realize that the burden of the accounting of these funds ha~e been placed into your hands and that this.task must be completed befGre the ohange of guardianshIp can proceed.Acoording to Barrett and Sara they have turned over their record of the guardianship In the spring of 1980.We are now asking for a firm time schedule as to the procedures you must follow to complete the change of guardianship for our lrIother. We request that you write to lu within ten (10)days outlining this schedule or the time sequenoe you need t.prooeed with this much needed change of guardianship. We wish to relate to you the reasons that we feel a change of guardianship has been too long delayed for the safety and oomfort of our Mother.Katherine Kline.We wish to point out that In reality PaUl and ~~rtha Jurovclk have been the individuals who have "personally" done our Motheris grocery shoppIng,made repairs to her home,made ar- rangements for her doctor's visits and taken her to the doctors for examInatIons and treatments;admitted and taken her to the hospital when emergency care was needed;taken her Into their heme fer recuperation and cenvalesoent care after eaos hosp1talizat1onl made the day to day .' •• -------------------------------------, 2 decis10ns that were necessary for her comfort;taken oare or the phone calls and completed normal repa1rs and emergenoy repairs needed by her tenants;and many others.Barrett and his w1fe Bara have taken on the responsib1lity fer the collect1Clm and d1stribution or })ft;r'~., Now we wish to relate to you the sequenoe ef events that have occurred in regard to the repair and sestoratlen of Gur Mother's. bathroom'and Why we reel an 1WEed1ate change 1s necessary because th1s problem has dragged on far too many years.In add1tion t.the n~rmal deter1oration of one's home this bathroom has several major health and safety problems.As yeu can readily tell from the enclosed P1otures: Picture #1 shows that the window has plastic $n it.The pr1marr reason for this 1s not to keep the cold air out;but,it has been like this for ever three (3)years because the window has so deter- lorated that the frame has collapsed and the plastio is real17 holding the glass and frame together and hopefully the glass w111 not fallout int.the yard ante someone or onto her as the oommode 1s beside this w1ndow before the w1ndow 1s removed and a new w1ndow installed. Pioture #2 shows hew the outside wall has buckled direotly bele. the window and above the heater. Pictures #3 &4 show hew the floor has deteriorated in and around the comm0de area and it 1s also like this t.a lesser degree from the door of the bathro$ID t~the commode. Pioture #5 shows the gaping hale that has been evident and olearly visible in the bathroom's ceiling directly abeve the oommode for the last five and one-h21f (st)years. This deplorable oondition has been going on since 1975 and we have been requesting an improvement since 1975.In 1978 (Feb.or Mar.). after a visit from a representative ef the Mon Valley Health Center who was investigating the problem.Barrett made a personal inspection of the bathroom with a oontractor and Paul Jurovcik.The repairs were then to begin.In fact you.yourself said that this situation should be repaired even before there was a change of guardianship after beint. told of the condition on the phone.But then Barrett said he did not wish to secure a loan for her then because he did not wish t.sign for the loan and also that he wanted to resign as guardian.This has beeD at a standstill all this time.This has also been psych~lQgically and socially bad for our Mother because ahe has stated that she does not want'friends or close relatives to caDe and visit because they may net.d ~o use her bathroom and she is too embarrassed. Because Barrett is ~inaocessable for all problems,all or this has been pointed out in writlng and through phone and personal conversations with Sara. Barrett now says (through Sara)that he wants to get Katherine 1r.to J/1 ','~//.5_._.,....Ii.. c:~ ~/'l (/"'J------7 ~- The Monongahela mana·and she has ccmsented and therefore he feels the \ repairs are not necessary.Any realistic person would realize that this '. wlll not come about ovel~1ght and that having been fGroed to live with this condition for 5t years she shoUld not have to live with lt any lenger.We have made four personal inquires and find that Katherine 1s number 300 on the.~1t1ng 11st and that even Austin Murphy,our fOngress- man,cannot,get anyone in ahead er the sequence in which they were put Qn to the list.We were informed that the }£n~r loses approx1mately one person a month and at th1s rate 1t WQuld be 25 years for her to be ~+J-, gible.Acknowledging the lese of life on the 300 waiting 11st also m~y bring it down t.12 years.Even if it were 6 ~Gnths,1 year or,two wh&&h it is not.we feel she should not have to live with antSl~tGnger. ,., ~.....,.... 'a:';., l •.' ,..--......~.," ,'-'.-..'.".";,I,r \,;/.....'-:.-.~ ; In the last 3-4 mQnths Barrett gave his consent to have the cont,;ac- tor return and give an up-tp-date est1mate.Y~rthQ met with the oontrac- tor in the bathr~$m and a ~1"OOO estimate for labor and materials was given fora oQmpletely new double pane window to be Installed,and thE four walls and celling t()be torn lJut a.nd insulated and plastered. Barrett refusedthls,again through Sara,saying,"It would take half of what she has lnher funds."JoAnn and ~~rtha then talked with their spouses and each fa~lly agreed to contribute ~250.00 or Ii.total of ~500.00 towards this repaIr leaving '500.00 fer Barrett to pay from Katherine's funds.This was rejected. ,We acknowledge and are grateful for Barrett's accepting the guard- idship in 1971 and for what he has done.But as his circumstances ard respensibl11tles ha~e changed since 1971:and he has indIcated In 197E his intentIon t.resign;and because he completely d1sregards our coneern and Input Int~oorrecting thIs deplorable ~ond1t1on;~e feel he 1s not able to function adeq,uately as her guardIa!and therefore the change Is IYlMEDIATELY necessary..,~ We cannot see any reason for taking this through a leng and lengthy and oostly dispute i\hen Barrett as per your letter of July 11,1978 has already indIcated h1s desire fQ resign and you have said this could be done through the necessary petition,and we have shown you 1n the abOTe letter and wIth the p1ctures why we feel Barrett ehb.ad do 80 and SPEEDILY so this improvement can be made fer KQtherine's safety and oomfert. Yd1lt;Bstrrzl'"'U,~..... JoAnn Louise Kline Ward GREENLEE,RICHMAN,DERRICO &POSA ATTORNEYS AT LAW WASHINGTON TRUST BUILDING GAYLORD W.GREENLEE STEPHEN I.RICHMAN PATRICK C.DERRICO PAUL P.POSA GORDON F.HARRINGTON ARTHUR M.WILSON PHILLIP J.BINOTTO.JR. JOHN A.RODGERS GARY L.SWEAT WASHINGTON,PENNA.15301 July 11,1978 SAMUEL GOLDFARB OF COUNSEL TELEPHONES, WASHINGTON 225·7660 PITTSBURGH 344·9400 WRITERS DIRECT DIAL NO. Mr.Paul Jurovcik Box 248,R.D.#1 Bentleyville,Pennsylvania 15314 Re:Estate of Katherine Kline Dear Paul: .__---0--. • .,".\ ~.!. i I..... In regard to your request for a Court Order stating that Barrett G.Greenlee has authority to secure a loan from First Federal of Monessen for repairs of Mrs.Kline's property, I wish to advise that Barrett has indicated his intention to resign as Guardian.For this reason,I believe that the applica- tion for the loan should be made by the new guardian.It is my understanding that you are interested in petitioning the Court to be appointed as Guardian. As soon as I have received an accounting of funds from Barrett,I will prepare the necessary petition for his resigna- tion and for your appointment.Coincidentally,we can ask the Court for authority to permit you to secure the loan. Please let me know if this arrangement is satisfactory.----_.-.__.--"._._-~---_._..-.-.-. Paul P.Posa PPPjib cc:Mr.Barrett G.Greenlee ,.' '. •• rI-._-----,. tn -tI ------------ ........ ?'; I'j I " • ,,"~03 )t/a<-~~~, ~}L GREENLEE FUNERAL ~ !5!lEl '%'a,Washingtan Ca.,PA.15JlfL ~L7'~'..' • • -------------------~------------------~-------- e e. • • e. e -----------~---------------------- ~t I.',.1t"-/,-1/.,"~/1_~'!.-:~~?~;?.--i?<-U.I~;~..~./ .../'--..~,~~__.d".,(..7t.-<~~~~/ ~<-<d~-t.-.A ( ".II ,. ::V'\.'...-___.._-_·r . ~,.~\l \. I '7 I /~,"'/f/ )"..}\.'''n,:~­v·...~·~....\". ,J ~. ,~"c..~~. ((j U ~.1 r (;J~. • 1 "'.'.~)'A'l 1".~"l t •·Ll.~.t I 1-1 ~ h:.~.~,- .~6PJ I rt f 10- ,/':':;'~~',.tf~./-:>f r .oj ,'~.',_t .,~~;.. ~;'.';'_t~.-:1 '..ii~.J r i,.J,..;.·.C..A;c "j '.:"~..~...'J"i'l;·,.·~~AI \_0..:";;'.,., ...c4..-cl::..-.L_L:.J;..1~. ~-"''''''~'''''-----''-''--------'''---~''II\.J,''.>t.,~~,..•"J :~).(),~','-',,~,...ti;.;l,;',,".'i,'J;" \~d ,.,...1\\..'J '\I'I.,•h__.:\~..~,"~.'-.,:-""-..\..•-.....~--U • HIS1AC<...lJNT COHPCw.-.lION.Mfd.'J!l.LE:.L I.N ,. .._._--------------------------------~ 6(t4A. 10 Kline,Katherine "'/ '.,.. ~.~'~&Q."~'~~J.~j~@) fIt{.CI;J ,0 ':,.I .'"~~>....:/(...; '/-."~'I j.'/,../.y....../../c,,"c'. 0-_! I i! ;_.! ~"f '1 I ~.///.'...,7'1 .,.It..' I ~, ,I ' ·.",t.,. k~~W"f~',:: l':::-4 C'.•"l 19.673: I iIt I, ! 1 /r·o "LI!/...··"/'':,','. o~, .,l"t .I ",}-"!.,.CJ ~"''':.'".:7:'1 ':j /'/'~'..-1 ....,,/;:::>t:J .7',,'"", ."'r .'"'"J.,.., .;. :'(1'/.<',-; ~.~. (tI.De/TDJ)l-.. J..,,/~..,;.:~.~. o~ {'(hM.ui':"~'__-\j /'/~~'i.;/.v . 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PATIENT'S NAME ...K11~K~tJ}jirlnL .._....._.._ I '.:..'J' ... SUBSEQUENT VISITS AND rlr-iDI"G~ • ":"'.~'.'I• • • • D lJ/.,.j-'/C t:(j't L;-::'-lC PAmmS NAME_.I..lln4..khwrlQ~;_,__,_"_..."'". , .-r--.--.-:----.----.-·.."---'--, 1-::~f~;~1r-·-7;;..-·~-.~---/'?7~--';Lf.:5.p::iL-r.·i§...z~.L-:;1~-./LL.'LJ..---/If?~O!:9rr2L-------.r-"--1 "'1"---'------..---·-·'or.-,-.------ttlJ=-~.J~====P't.-~M@,~------.-==-~-.'.--."":_-"=:j~~~~__.~-~_==_~~=~rt1 :~~_~3,,="·~~~T·--=~.·.._.j__.__r.....~.__.~_~.~.~A~#.~==___~~.~:."ar,u_----I -;J-I77·~oT--_:;;::/-·--:-'-'";~~'-,.-~----I I----+-J-'_~~!_A_'~------~!e-.._,_._~4.:5.13(?~rP~_._._!Q._.. ~-.....j --l--+---+------..---..----.-;;}~~.~.:~-~-=----------._--I ---'._-------_._---~....._....1--+-+---l--·~-----~~=~=-~~~·~=·~-=-~-4~·----.----------- ~_11___+__+_--...---------.-._-.-~---- f.--f-_.+--+-.._.__.__.._...ll1_._..__~_.1___-~(tt(. 17'~J ~d ~(k~_iCJ---~~___,.--------2..{)I.L-.....j f----+--r---====-=-----~4~--- I .1--1------'----.----------(i:fM ..-.._---.. G-T2"i,:ru::::.Lr,;F:;-H-A-~~:..··=-:~~-e;-e-1:--n~:~:g~:a-..Q-.1.u.r--e-Qr-d--l-a-l-O-c-at·i~~~=-.'1 f-.Ost~~~q.....§.nd degener~~1v~chan~s of the ...._......._----------_..._----_._---_.._----- /'•.~~._,.__. _..__.._.__'__~"_..:...-._4.1--+--+---1-.__._--_..__.--_..--_..-~.--...:....----..--..::.-_.--.......--._-- 1----1-_+...._........_.~_._.........-:...~....:.._...__.__-_.c_..__..._...._,--.-..-..------.._.....-_.-......-..-......--.....-...--------"--:-------.--.---.---..-..-.-.-.--..-----..-..··1 :-~~~--.~.-~.~-=.--~..~~.~~.-..-.:-'~=~.=~.=-==~.::~=~~.~~~-==~.~.~~..~~-.~-----~=~.~=~~=---'--.~=:~---.'-~'.---l f--!..,--.---..............- - - -----.-----"'''''-'.----.-- -..-.._.----.----..J f '--_L.._..L _l....____._.._ _...._____.____.,.._____.__ _-_--.-.-..'-- .~ I I f ~. \ i('. ___-.-r---.__._----'-__.c.~-_--..-------- -~--c...._....._--,-----_...--..-.- 4-8-10 PATIENT'S NAME_.J.U1ne,Katherine . _ --------~~~~~~~-------:--------------------, !• .; .\..~ Kline,Katherine PATIENT'S NAME •_ 4/8/10 _...__..•SHCET Nc -----"....._-- ._-_._-_." ~.. 1:'.; "',1.,::J.( 'J.....-:C~ .~/:;""., ".-~t'.J..... _.,_,•.__.•...._..__.......•"._..__....~_J SHEET No._ .J.':'., F··.=-.-:=:--:::-~.-:=== OATE ~_..--_..' f--_.--1-- 1-.-.-....f--- I ..'/J f I V~V,"·i'\ 4-8-10 PAT1EN r'S NAME __K...;l_i_n_e_:>~,_Ka_...;t..:..h.;..e_r_i_n_e _ SUBSEQUENT VISITS AND FINDINGS ---_.------ ..~...:.tiJ..~; Irt ~~. 1--11-_-+..-.-~_...._--------------....~.._.. 1---.........-11____4---·--------..-.-....._-....-_..--. 1---~I____4---.-..---------.----"•.' --'-----..1---- 1---~---. 1--.-+--.-1---.-.._-.. ........._._-------...._._---- .._.._-....._.-"-.._.........--------- ._---_._.._-_.._.. ._----------------_. 1---..........---11____4--------....-.----...---.-_....-------._------_.--------_.._- 1--4---+--..-+-_.._------_..---------.----------------------------------_.---------------_._----_._----------_._...__._--------- ----_..._-----------_....--. --_.---_....-----------------------.-------~------------------ ~~~.=--==~-.---~:.~=-==~-.------=-----------....~-~.I ~=~-=-.-------:==--=--====-=-=---------.--··-..1 f----.--f---.---...----.--------------------------------------------'---'- 1--------+----j-------------_._-_._--------------- 1---1--1---1----.-.__.--..-..-._-.--... I--lf---+·-f---....--..--------.---...----------.-....-...-----..--------~-----------___l ._.--_.._-...._._-----_..._.........-------_....--_.._-----_.--.----_._---------------j ~.. .---..-.-....-------.------....------..-----------------------i ..-_..-..--..-.._.........--...---.--------.-----.------....-------'----------t " HISTACOUNT CORI ORATIOtL MEL.....ILLE.L..I..N.Y,1\""7 ....__._._.---_..__._._-_._------------------------- .FCHM N~J.15S10HfJT.1COIINT: -_.. f---I---;----- I I---~.- • ,. •," '., • • WILLIAM M.REILLY,JR..M.D. 55 HIGHLAND AVE. WASHINGTON,PA.15301 222-3880 December 13,1983 Mrs.Martha Jurovcik R• D•1,Bo x 21.j 8 Bentleyville,Pa.15311.1 .1 'k bear M~s.'Jurovcik, Enclosed are copies of Mrs.Katherine Kline's r&cords,which you reouested. A brief summary m8Y be helpful: March 10,1973--First seen-vision correctable ts R 20/~0 I 20/50 developing cataracts- Ptosis of right upper lid--Diabetes. July 8,1977----Cataract extraction--left eye. Sept.13,1977--Correction for left eye 20/25 vision April,1978-----Refferred to Dr.Evans-Pittsburgh,Pa. for laser treatment o~diabetic retinopathy. Sept.22,1978--Repai'r of Ptos is of right upper lid. Feb.16,1979---Cata~act extraction--right eye.' Jpril,1979-----Correction for right eye 20/20 vision. IvIay,1982-------Vision-right eye 20/1.10.1,eft eye 20/1.jOO- ,Feb.3,1983----Patient did not keep scheduled appointment. Enclosed is the bill for services. Sincerely, _---e:1--7 ,"-:>"~7?,t'') v.Ji 11i am H.:1e illy,J...!J"D• • • e. "~"''''-''}'~.'.,';.to, .~\I'~'.~.,.'.':rJ':;:'• I I • .'(f-,l I -----~_._--- liz) .'", " .1 :,;::;-:~--;-<.'._,', ( ( II 63 ··81-1207 "f I'I II I, LAS'l'\'HLL AND TESTAJ.1ENT II of !!OJv1ER E.GATES- ., I;I :':," ,,.,........r h '"'1 1981••.•:J i:;;·'.',J.J2cem,._.er L._,...;'.l :';'~1•.••;"••,..:,', :i.~:.; :':'.'...f.'~.;.:.'0 ~ Grecrllcc(1.1. r;::~.':".Tes tamentar'(::..:-:',;l'.';2.ry Ii:.Gcrtes-"Gl-re'en:"':ee .G.or.d.en ,.B"Grccnl.ec"..,..Barrctt".'J:~;)~·r~~:·...C~L .' :.' :..,. ..:.::''.'.'.j!'~.' ( GREENLEE.RICHMAN. DERRICO 8<POSA ••YVASHINGTON,PA.15301 \VA!iHl~~aTON TnlJST nUILDr~4G ATTORNEYS AT LAW _=___I,.__.--:-,_,_._.II •';"nl::/II...'..~':-..;• .. No..6.3:::8.1.::::.1 207 . Est:lle of H.Qm~:r J;:..~G..crt.~.§,Due(l.lc:l DECREE OF PHOBATE AND GRANT OF LETTEHS .\\1)~o\V•.P..~G.em.be.::r;-?~..'l~L...8...l..,'in cansider:lti0Il of the petitioIl'oll the reverse side hereof,satisf:!ctory proof h~\"ing been prmn~e<l bt·fore me,IT IS DECHEED that the jnstrum~nt(s).d;l~c'd 0:\1I)g .?9..t.l.9..7..8 , tles,rihed therein be admitted to probJte :lnc1 filed of record as the last w jll uf I.Ig:m.I2,X ~..~G.§.t..~.$.. • ................................,. ~nd I,etters ?:'~.~.:!::.~.~.~.~..t..~.~y.. and here~y gTantet!to r~1.~y ~..!.Q.9:t..~..~.Q~.~..~P.:~.~~.,y..9..r.9:g.g ?~g.I.:'.~.~P.:l~.~§P...4 )?.~:r..?t.t G..~. Greenlee.......................__~. _-. . {.'.:~ /'l.~'.; :.'..§.~~>::..': :E-~: FEES";:,'--" P:ob3te,Letters,Etc. Short Certificates (j.J) .enunei~tion --'t·.·::.' '", -"'.~ .$i..9..~...Q..Q.. $L£..f.':?..9... $.. Gaylord W.Greenlee 05457 Greenlee,Richman,Derrico &Posa ...___-- ATTOHNEY (Sup.Ct.LD.No.) 325 Washington Trust Building ..~!~.~.?~.~.9:.~.~.~..!.~.~.I.1.n:.~..~~..?...~.Q.1._ ADDHESS TOTA~ $.. $:.Y~5.~.!q,..9.(l~225-7660 ..--.. Fiieu P~.c..~2.1 ,1.9.81 __ ~'f~3~ l'HO:\E r-l~'ro;~Ci Ul......00-0 c:l <"a l'l 0 Z -U)U Cl <~::...J z[-I ~l!n:..~-.:c::<;).-:,--,.,..;...-:0.):w ...J Q >-t CJ 'J ~~-@1 Cl f-f-.1~r0:<t ;;,1 ~l-...CJ +l;01 ::l z-u Z -,c:.-rz::l 'oJ tJ1;Uj <l:>-I-Z•--..Q w~~~i Q)::::E w a.z z{-+(~',..1;OJ J:0~"rn ~U 0 f-Z !1l,t:l'0~n:z f-.0 Cd;:::<i 0~~1 Q w _1 Z:-.l;J <{:x:0 ..J :;-l'.....Z .,.<{0 In :;....l.:JE~0 l.:J~+-' :-:l OJ .S n:....:l ....:l Cl • ~-.... ('-.........~.,. void any and all wills or "testamentary writings heretofore made by \ and memory and understanding,do hereby make,publish and declare makingrevokingand of ''; HOMER E.GATES .. LAST lULL AND TESTl\MENT this to be my Last Will and Testament,hereby IIIIII II I I II I I,Homer E.Gate~,of 800 East Beau Street,Washington, Ii l'lashington County,Pennsylvania-,'~eing of sound and disposing mind I! '/1 II • me,in the manner and form following: ~First.I direct my Executors,hereinafter named,to pay and satisfy all of my just debts and funeral expenses as soon as conveniently may be after my decease. Second.I will,devise and bequeath all of my estate, real,personal and mixed,of '\vhatsoever nat1lre and kind and where- soever situate,as follows: It is my will and desire that all of my estate go to the following named heirs in like and equal shares,or to the survivor or survivors of them: a.Mary E.Gates Greenlee,my sister,of Bentleyville,Pennsylvania b.Katherine L.Gates Kline,~y siste~,of New Eagle,Pennsylvania ~c.Gordon B.Greenlee,my nephew,of Fredericktown,Pennsylvania d.Barrett G.Greenlee,my nephew,of Bentleyville,Pennsylvania e.Mary Jane Sertik,my niece,of McMurray, Pennsylvania f.Martha Lee Jurovcik,my niece,of Bentleyville,Pennsylvania • I 1 I I !i \' g.Jo Ann Ward,my nlece of 1410 Difford Drive,Niles,Ohio 44446 h.Linda Lou Watson Koehler,my niece,of 4651 N.Landing Marietta,Georgia 30060 survives me,it is my will and desire that her interest in mye.Third. ~. ! In the event my sister,Katherine r L.Gates KId estate shall be awarded to I.:quibank IN TRUST for the follm.,ing purposes and uses: a.To make any legal investments. b.To perform all duties in accordance Hi'th 1m.,. c.To disburse such funds as may be necessary for her maintenance and support as the Trustee deems proper and neces- sary,keeping in mind it is my will and desire to prevent her from dissipating any funds devised to her or become the victim of any designing person. e Fourth.I hereby name and appoint my sister,!1ary E. Gates G~eenlee,and my nephews Gordon B.Greenlee and Barrett G. Greenlee,or the survivor or survivors of them,as Executors of this my Last Will and Testament.I further direct that none of shall be required to post bond or security hereunto set my hand and 1978. ~'lHEREOF,I have of (/--L.<'OOTL_e-----,/.- I IN WITNESS >//dsealthis~~0 day \the above named persons I in any jurisdiction. I, II I,named (SEAL)~;Y::,(!777g()J t?fiaX;:d Homer E.Gates Signed,sealed,published and declared by the above I'j IiTestator as and for his Last Will and Testament in the presence of Ius,who at his request und in his presence and ln the presence of leach other,have hereunto subscribed our names as witnesses. e e - 2 - instrument,being duly qualified according to law,do depose and the witnesses 'Itlhose names are slg.~ed to the attached or foregoing '. (-I···•..1,..... ,.,ttl sign and execute the Kleota M.Scharekand SS: Wallie H.Q'Shinski,\ve, say that we were present and saw Testator • instrument as hs Last Will;that he signed willingly and that he • executed it as his free and voluntary act for the purpose therein expressed;that each of us in the hearing and sight of the Testator signed the will as witnesses;and that to the best of our knowledge the Testator was at that time 18 or more years of age,of sound mind and under no constraint or undue influence . •me ,1978. 11y Commission Expires: HENRY K,SAMPLES Notary Public,V:asl1ineton,'·hsioir.rton Co.•~~ J.1Y co.::m:,:,:;.I'v,~LX~1r;.;~I'(,..'/;.:.;;I:',.;r 19,,19/.;9r------- • •-,-~_.~_~•.-,+'-.".•••". I • A C K NOW LED G MEN T CO~~10NWEALTH OF PENNSYLVANIA COUNTY OF WASHINGTON ) )SS: ) the purposes therein expressed. executed the instrument as my Last ~...;rill;that I signed it fied according to law,do hereby acknowledge that I signed and willingly;and that I signed it as my free and voluntary act for I,Homer E.Gates,Testator whose name is signed the attClched or foregoing instruiuent,having been duly quali- I IiI d toIIIIi • Sworn or affirmed to and acknowledged before me Not'ry 'Pu 1ic ,:/. .(/. by the Testator'this Q?JL",&i r day of ,,1 <..:!~~~:".-,1978. zL~~4t~•My Commission Expires: • IiIi!1: I,.~."·.iI ,; (:1=-2 :.,!.1. . i.. '., Will '~'·"'.I~..•/; -'"(. Z<)I ,Homer E.Gates .s:{;1e 0/_.•PE'rITION FOR PIlOBA'I'E and GRAN1'OF I--JETTERS 63-81-1207~o .. ctfso J-,I?1I'n as ..To: ............-.................•................~__,. ........................__.................•..._, Socu,l Security No ..I..7.Q =Q!..J.JX.t?..~..Z .. Deceased. Hcgistcr of Wills for the County of \Vashington in the Commonwealth of Pennsylv::nh 111e petition of the undersigned respectfully represents that: Your petitioner(s)is/are 18 years of age or older and the executQr..s ·~..n:;llled in the !:1st \\ill of the bove decedent,dated .......;;r.~1.~~~..E?".19....?..?.X~Jx:'j«~~X~}E*.,:.. .............................................._,~_ _. ...................~;~.~~_.. .....................',___. (state relevant c1rcllm~tances.e.g.renullciation.d-:a.th or eXf"cutor.ctc.) Decdt'nt W:JS domiciled :It de:lth in 'V:Jshington County,Pennsylvani:J,with h.t:.>iast fmuily or principal residence at -. ..............?_O'.9.r;:.~..~..~~.:=.':l.~~.:!::E.~.~..~.r.~.~_~?~~.9..!::?.~L ~~.~.!.::.~x.~.y._~y.~..~~.?...~g.~. .(list street,number and municipality) Deceden~,then 75..years of age,died ,~gY..~.~.~E.?~.L 19.8...J.:__at . ._ _...........•.............•..--.._-__.....•..............................................-_...........•...........•................_.____. Ex.::ejJt as follows,decedent did not m3rry,was not divorced .md did not have a child born or adopted aiter execution of the will offered for prob~tt;""~5 not the victim of :I killing :llld was never :ldjudicated incompetent:____ ~cedent at dea:h own~d property with estimated va!ues as follows:_If domiciled in P:I.)All persond property (If not domiciled in Pa.)Personal property in Pennsylvania (If not c.o:niciled in Pa.)l'erson:J1 property in County Value of re:ll estate in Pennsyl\'ania situated :IS follows: y $(~..9/.q~.~.~o?..e .. $_.. $_ _ . $::::::::::::-. ••••••••__•••••••••_•••••••••••••••u ••••••••••••••••••_••••-•••••••••••••-._••••••••••_••••••••••••••••_••••••••-_••••••••••••••••_._-.--.___••••••••••••__-_••• OATH OF PERSONAL REPRESENTATIVE ~~~~~:~:~~~~~~.:..~~.;~.~~~;~~I.~__.....}.ss • 'nle petitioner(s)above-n:m1ed swe:Ir(s)or affirm(s)that the statements in the foregoing petition :lfe true :ll1d correct to the bt:st of the ;nowled6e and belief of petition'er(s)and that as personal representative(s)of the abo\'e decedent petitioner(s}will well and truly adminis. tel'the est3te according to law.A e Sworn to or affirmed :,md subscribed before me this I ~4-';"~~~~----- 21st Dec.81 ..~~----..""-..-._-_._..-.-.-..-~:~'IF::~;;I---~--••~·.:-:.··..':::::::::::::::••:::I /r',&__. )"10 \C'I I "C)J))('"-LD 0 0 ,J2. "". ~.....:-1·', ..... Page 4 .',-----.'r)..,.....-._..j .......- ."i Do not writeinthiscolumn BOROUGH TOWNSHIP CITY II Col'tor's II Accumu- 11 Penalty !i lated Int.ITax County I .County 'I (961.i,10 ll-r-;-~)/L,1-./,,"/.....:('.".f-.1 .".n..,,;(-7"...-...~,."1:.i':.".,.''-.~i ..!"'" I:"-,'.,J 1,1 !I!).,".J:...:'\..,.~-.,~.'"'.JIf' II ·I...~.:...!:I .//"~:- ;!I ·'·c I I,I ....l (""...,",,'..'I I ~...'.---.- 1'1'.'-":'.'.I'I'I -"t."·,I ".).III "~",~;,:,-J I ;i·':-":>".,!.:,.l !:1 l··'''':c·i ,.J .jIII't-....;.I',,i .il .I "-)l~.,:,~....-,,"'....I ..I,l 11:-~.~~..- I!57 <381i 5,74;:j"041 pc!.o1-/~--':td""Y.(~:'~")' :1 I':1 I'''->.-I ,I ". 'I "II Ii1'1 i,II!I I nIiI'!IIIIIi,I I'r'1"",.'..I.......J'Y'OF :',P,-,:d I'!,i ,-~.'.....,II.!il'V'lc:.j.~)/",:/leI':,I I'Ii'I"j:1 l County !i I Ii i -I il Ii I!,.:1 II.,1 I II II 'I II,' !i Ii i!II 1'1 II ;'I,·1IiII!.i ''i !ji I '.Ii n 'I ' COlmtY._!:7.651:77 11 !'"j I'''Iti1'-,i'-I '.-'.I:1 '"I '.,,.-.o- II '".;,--I .•~.J ! :1 I r'-'~'"II !'.,'I '-,,I I )II ji ~•...I ;/./':':I i!',c,"I (../.../,.r··Ii I:.I Ii -'.11 /J j /';.;.,!:n..·...."1"'/"':'.II i·!1 ~,,->,.,.~--'::I I:1 ,[I 1 --"._..': ",I.10 ':>0 '!1 02,I:. ...- /......~.,_.."'-I,.j ,.I,;....!i 'I I.....··.J ' . • '1;.....,I ,(.,:..,;,..:i···.11·..····~·,,·:··::,'.'.','/'/. I ",:.,". f I'r ;1 .,"'....,.'I .... R.S~ 200. 200~':-i':county fl.E. Item #345 DESCRIPTION OF PROPERTY (See instruction 3 on back of this sheet) S'Rm Fr HousePl(ltJ~1.~xl.50 '-'"'-'~... DB 934-627 AdJ·'0.a.:;kwood.'. ...............:lo,.-............~""- -o:,""!-............,.'""'-. I t em 11365'...·"....'. '-t.• Della H.IFraml'}House :ras 507-508 lD""756-26B-T H pi'··Pt...3 -......_-£-ots 9-10-11...... 4th Ave.I DB 90"9~456 f'.~arkell PI';"~"-':.I.t,""""'"!'\. ....~~'.,..... ''":''''l,;.•~~"···~·.."··,·-....,"""'.-A ~-..T...,~ It'3m i/'356....~ Jr.&DBL House-3M Hse k~t~~R"l\3 Lots 19-20 Riverview PI-Main st :'..Fa);........,.-........... ~"...•._~,... YEAR J 9 57 WASH INGTON COUNTY_----=.J1'T=e=·.v~E;"ca=g;o..:;l~e:...-..----__ OWNER OR REPUTED OWNERANDADDRESS Leech,Francin E.&France r,i:-;~~le,Pa.. "",-'""~,..~........,,,"- Ln~tit,AIQort & Box S4Q,R.D.illr.1ononeal~a:'>......!,a • , I 408 ~r Bldg. :&Grant SI 1 Pi ttsb'l'-~3h, II .Y' a\Kline,George J. (/r.~ain street New Eagle,Pa. vi' w U~ '"'"-::J:... Z• ..--" <I. -- Q\~ 0:. ..;.;. ", --'; , '/ , ~<J) -I-! ~ V·I -....;, " '.I ""- "'--4- -'\..~~. ./........'",,/ ~. ~~ ---J \-. 6,r-- .t-.,;,\~i',.<.):.f ;;i~';~59/u /Ijr;,S ,I/,,-I&..fYvt",/I-d P S II·~;~~U f ~O~i"-';~--.,.........I ._0" OWNER OR REPUTEO OWNER AND ADDRESS ".' \!.~Co hI /t.;?1·G t'sff FriJ-'~-~~$"'j,(-r~~&o~'-~-;71::'-H~-~s";. ....~<1,I.'P.~;r}~jrfJ ';::~::.~.p /~"YI ""5 "5 r"'"•. _...J: ,~J,t~'..i q:, "..."."'"--./'.'q;.'"V'_. 04·..l--_Ii I.~IL"¥'j,~~kit :,,~r:~~:1 ef.Jr.~7i,~;~7J~:1I~H.·;~~.~.S-;,.'-17][:-;·.~·-"-S<b~1 .II;~'0---;--J 0 i 610J ,4 02 .;-o:'-~d 14-#;;2 ",",'..'UP'....,!lie;.".J t ..:....'........._~f.,d~..~LV-j..0 .._.._.u .._......~~.....~73 /fJ....<f "I·6\l'~j ~.o<'"£':.,r/;(4-r%z, '.,-~....N 'e..vY../3 [],.s 1£J r~.'.~1?IYe..l'.V -'-~,Vi,.F..f.9...~..............--_...--,---...--:.'.'1"'"''...._.......I 'ioH"T ._In .{/1111 ~('Yl 8 T~'-''.'"...'Uf ,.,---,._.......-'..",..-,--....."-..---...._,..'A'YJ OF S.LE·..·I ..-~I-:,.~-;::':"..-~;-:~-''''-;TfFJ7r'''''''--'''}::II~o~'J-"~....;'2k"/;;:;.h...t)M /?>f;.((:-....t._L~~-...~.-..·Postec..........;;·lllf ....~I.ar/I/J b -'?. ......'"..":,Z....-.'/;h---'--_..(jJa/<..w ..~_~,d.:.:.J~_J.';l,:Y\,>-.......Boro ~ll.!J ~b.."..1(,i·tJ3~'I'd,.-<7 ...,-p 4c,pi'.J1 t:70./'......I I I ' ....''..I_I.e w..f:'i1)}~1 1 "_.......0(38.7t·,;1:7,p..'m ~~....I 1.········ .."t',.1----"..(J '.----,....-.-_-.,---,-..,~._J .-_...I I JV' ~·,~=-:<~14~~:~:sl~M,e7?1.0.~;c&v_;.]--;-'t;:~;;...-·~·.~..".'~L1E:·.~.·jo!I)JVI;!~5p~;{,IO?/Cs A ~~.I-{('1f('I.(..1 ~,~/~,I 11~=_.'".j')V,~~--.-.-',.'~/.,;::;P;~.H'_.'R ~s h-j ~B./€-'~1J I"~~:..B~ro oF--(;Uy I /./I~,.r:..Iii il i \.'...&y'(.-"--...I l'f ~,:. I ..A-;;Y/f.f~·:t..'",u>f'..~'"-.-_.:,'----.-..--------'..,,....7-:111,~11:1 YEAR .!..1.£..7.WASHINGTON COUNTY ffi..w..··.I.·tt·..!..~······..·······~ ,......--·------T'·----(S:O-·:-9SI~I-1~~No~~n~kR-~rii.-.r-STY-8h:e-t)--I:-x..."~;:<:l ~-~~-I~~'-ill~~~;.11 ~tJ'~tc~~~ __------11----------._.--I,U '---~vt ":1 I ;'===-Q<j}e v.>:'-/Ma Y\3-r Jf;.sf f;';;"(.iI.~~-e-:"'..Sohool I J l 0 I/~~V11:/tf .3 ...1t·~·14.ft ':>//3.,;.~..<-,,,r.Jtc,Ie?!~c Va r e..............;.,..fs..'Y..&2.::/..C:I_..............,..='''.:'."'...,.';J 7'1...I'I!I /6 li;"4'J -.>/."-1 A<-~">/1. i::~:'·"::.'u_--=~t~_'l?'!1_-~1../~/p•..=--•.=:.:..:(_IJ.,.~_~~-W_~.d ::~~~_?f_:-~=v.~:.~y-;';'2/;7 ..•..:ill .....,--' ~~J;I'·;~~~~~~,:':", {-.'~ \'(\'..-==e===--r= /'0~; ("'.,~,\J'..\: ""- "... 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'If.:...g ~~%"13 e~2;cr 13 f I ~Jf'.1/1 tV/i ~~::~/2.7 i:;0 ':1 dfjji f'-/-.s-Y~t7:-H~:;;L 7CY ;/I.~1v('.~~,a,')'~":./1'/8TkC-ll."U?{I ':i!.i:il'iI,.:,,._P,ff.s bU "r 9·f,)r 8.,08 Y'4 y>-/'tt5'Y 11.1 'I v'1 !~:i;ii "{/,(/,..5~~<:/).1..tJ,..}.1/-(3l.~9 -'/C)Jt 'i:·i j' ___________w.._~/?A.:-.OA_.t!.,ry -~6 ,-.r£~)J;!~_i ~_'T.1 ,/3-:li;:1 :i :t-<Jt-J -}.3'-).J 7--)..32-'I,..-.2-3 3 -;L 3 J ,/,..School :1 J-:~-()Ii ;I J ii/sf r?t jl_/r-.J,?~J?,2;:J 7t:J ,. ,'I ,..':'/./:'1,.~~;~i~~:!.2--!I 1-!i iI(II -<31.':(1,/-.JY /~c_'if;;.;J 7?J-'; ,K I"t:-r "lew T f 2 'l-\.y::,':.'!n:I'""I'"Ij/e 6/~-3/,f?.'II!ill'ii !,./'.,"..!~"I ":!.,,1 I 'I .. .J--e-"-V...2..J1 !!i I,:: I '.I';'I .,J:!1!1 :'..'I 'IIt',~!I ';," School !~g,."0 II If>O/!rr6fll d-/.f/~~ '1'6w,iUDp ','I 6,1 'J AI!/1 ./Boro o»-Qty::7J I rJl J:Gil'3.//"..d //O/VC' .,,!I :, (-vtfoUJ(c/III Ii i! PI:ostel'~iii ,II II:1 I I I.j I,t .,.,I i'iIill:1 ,/).:,~~~...II g:0 0 I"~I W.Ii:&'q,.7-.1'".,,£#.,2</-v'?/, '"Ii f.:,fo ,I..r11 4/!if?/.y-.,.l-/cJ ~#o?</~f/ IV'II •I II .~I Ii i'l II~_,I !I!.II I!•~._d.t.,1..u._:::..-.---l .;..v___.--------.--.-.---. ,,~;'..;::'Pol~<>r.,...-.••-U;,3;'f til(Ic;....·Ar--...en en-~ Z- ./..l-Y~3~:t i~,/),I It i ':jJ ~:. -7,,----"'.~),/: 96 '10 '_.~,.- I ; I j,i Ii II I ,[I,I:" "I !II I',I'I I'/;II I Ij -11·0-1b{",r"I!.;?,~.'"-.'/59 11 .'! II II Ii,I Ii Ii I IIiII I I Ii, i I:I II I II ' 38 I!5 7411 h "---,!15/;:PJ.~../rr4tJ d : Ii i "I I:II ,I'I IIIIII Ii IiI:!I~I::1 Ii Ii'I I: Ii II"":'nI'!:!'!1., I.i'i: 11 Ii Ccnmt;r I II • t--/ j:~·51-J~j~: Count"I!1 II III IiMVf-JZ-J~J31 I Count"Ii 57I ' 'Tl,.-,1_1'>-12'rl I'1-.'"(""-'I '...\';Ji~',-'-'--C!t/ ~-.7't-:J~Jl, ,Ii Count"11 Ii i'ii, !:! iSTA'fJ OE SA1.l;i Item 337 Item 329 DBL Bse-Sm Rse Oee 200 Lots 1~-20 Riv6rview PI-Main St. Item 328 _ -Lot~.231-232-232~-233-233~ Riverview PI DB 910-319 "Lots 9-1J-l1 &Db 709-466 Har~ell Fl 'C,<~~~~)AJj/-l!Iid Y7C:J;~I'/_ 0/3 YoY -Y/0" Kann,S.Lee 408 Berger Bldg,4th Ave &Grant St. Pittsburgh,Penna. Kline,George J.Jr.& Katherine Main Street New Eagl e,Penna. !Kann"S.Lee i 408 Berger Bldg,4tbAve Grant St. Pittsbur&h,Penna. / " ~,..~... I I "I " I'i i:I :,'I Ii I fJ~~,t I I i '1 I!I:I 'I ,.I I Ii II 1 I' .I':1 !I I I:Ii ~I, I,I,I:- i\I Count;y I il II II"~ i I,II I''~ ~)() I I (i Ii .'I "Ii 1Il I 'I I Ii I,,IIII ~0"- I ,J :,1 ,I I,,I ! ""'-. I /: I Ii i Ii i I : ::j! Ii " -- I ,I ,--.--- ...!.--.-=-.-.~-~,. ------..'. wU~'"tit-iE z-~DC /~,\J........ t-OZ 00 -....-J .,-.;...-.----.._~.~.. ;oj .~':'..;.-..-~;x L ..,__"-_ Ji--T__---~' ·'·1i .\ "~~. .~~ -~ .. {.Ag'3 !·1 ..~~., t- ;\i i!I.~!II I ~I i.,,~~;rI'.:.,;1 I -.l!.1 I IiI . I ,{il I ,:Countv i.i !!IJj; i ~:ii I ·1 ;:i II:1 .--.-----------.~-.-ltIllH1 1I UIIIIIIH II ~.1 ..~_.~'J"A. JBOROUGH T;e.WN5HIP ,.-CIlY'" YEAR 1'/&0 .WASHINGTON COUNTY /v ~VV ,....[J'q {L.-J ------- "-_._._--- ,p~~~~~r.L~.__n_-_....n I /,_.1...-__,__...__..~~~~.,.!i'I."I!I II I ;, .;~.,,",:",;:.,,.'._-_--_.'-...'7 f ~-,"-•...~":-..',....•'.'',...~il .',.. i.;..',..2.:"~:>:_....--"-'··X·'--/M···..·C~·Jr·········11 r:r-°flflb:l--LpO -.---"""'....."~IJ 7sl-'~"-!6·'1l····..-rv.f-lf~?L~lie.!!j2,'l/I,:i~~lh~#'f~::~::'{,._H__...."_"C W..f-_9()r:"('J .Z..._...du......_..~l<..)>>J.(I d._...I 0 ~............._._...~..__~.~:.,..iL....._.:..11'.....:'~-...:...... ~~~J!~l~·~t,'>.<,:,-I)11 9 '1 "-62..7 ii,1'/'i!w'i'1""~'!~'.I J/M ,J'1 I'I".<'J.>..".-.....-_-.........I··....,.._.......I·-.....-tPi:~V'd ;2.'Z2.I~, Ii::iT;:'I "I 6-·~il:.-~~-lt--+I---ll.:i--L-I"":-·~:--~----'-- ,)~...~=X-I L"~;.h,'?eJr I I~-tlPo 0;;''F;?:"X flo":>~Is,,';"l3 7:S'O j /Ioit j 't ~~,(:U-t J.~."ijJ'r.U .;;/,,----Ii ..'_-I .....I t;,ts -/-:-/;-'!-B /1(-/;]_P"::::~!i..F-:.n;/iZ til-/11~~-2h·CJ-~II'J..1y,r, ..,....·-H ·III/p iii!To.0J~'f·I /l'V!'_''{It_W f?1~--"."_~~OLSALtI~_JUN 3,0 19B!I:~.."-'...------~i·-.1-it)dif.-I/'{f .....4.~6--?~d-/iJ-I"1..11 --·..·..r='~i :YpSt~I·~.",I UL-.__ en ill I::I':I ii I :;.,-........;.,.....__...._~~lie 1 oY ,.cr'lj~-;.{o-}fIV,.!I·c,~·~.E·!·~···h-;:;"f'~1Jj L_.oj-·-··Tii ".....,I School 1'1'~~o I"1/.1 ii 1 I;7Y S=~/'-/;c ;ffi,-((''.:-'" ,f:.::.-.W .;vf /'11,f1'IO u'/'.•~~;,i:/~r /,-,,--c---~:i~"1./!7~,,-Iogii n ,~N·5-1-:~.:"z.~;~;' ._!II r ,r 2 ,t I ;,I ;_.~~~~_._._--'~=';:-;'~-=-----~-~--~~=-_._._.--~=--~------.,;,~._---~---- --- OWNER OR REPUTED OWNER I DESCRIPTION ~F PROPERTY'-'--r T~~'at 1 cortoT·.1 AccumU-:,:~no;~~t~._" AND ADDRESS ,(See InstrucUon 3 on back of this she~t)Tax 11 Face Ii Penalty:;Ialed Int.I.In this column I -!,I !I;.:::',._. I I I :1 I :,:,;I i. I ··I'.I';,I "I '...'" 1'<"":1,·--....:..~~..--.-vrl'f!tJ sf)·))·'~·~a.1 J 4-f I'd'~,bcf L I -0;;;1-"1':'1-=-·-1-·~9-'·-'-..-.'....-.......jSCh~OI·!,1 ~-:0 l'i:'··IJ-;~t·-1!/·~)'~i/fl..:~~-.;-'~~_,~.'L'~f,:;/'(:\', .--I ex .n ./ .c.....;....r..........I "I I:I ..-I.'L ••<'.I ~',,-.;(.'-•.'"(.' .-<.-I TGWftJhfp',!.;,fT"-..-_.-.(-.-..--t./0 't-_J ~~.._.R If ~...---......iftV..~_t:_YJ_.re.yJ~...J..8..~-..._._.-....Bora -ely I'0''f 0 Ii jl7 1 1....../0..,!}at:::..'$'y ,ft..~_/6e../<-:'[(I ;-,M h I I ..1.:.:':"l""II~1\.-~!i~i;..'----...--.',-'O'")1._C:~:'r5~_f"eJ a ..--..-.f)IJ.~:..9_Y-7..-:iJiJ ..~..;.-~~..~.......l..-,.-.--.--....-'-_......~!,i.,.........11 .__*...-_...-.-..~,.~~... .,;....",,:.':;,'-------~-----!!_-_........-.--....-..-.....-..-.-.........-...-.-....----.-.......-----,I ~f 11-.~:l I,..'....~-,,-~~---~-:-r-I C-,--!:-~;---·<i7 ~';·~7i·:_-_-..._......1j(1,?J~/ke.o~.eJ;.+-/(dfJ~.?::n~!.-:.--......_.......--._"(".._..._....._....1 II·11....I ,!.-.!!;1-'"....--'';)~\~~•••_....._d"~'.••n ,._._._'__._!.fli>/-If(J.us (?_!~~..~({../{o (]s5 1Sch~I ·1\/°_7 .ro:>~:;s-i.3g jL _~.t()UJli-:.tr/-/~~1/~/{I?-/0 I 11/\"+..J I L-J-.I a ~',1 TlJWfnobfp It I'',.,,f i;'/':>-i7!/v/B ~"X_.U l'~(:.'I ,Ol.~:-=-.I ~~q_.......iBor~~ly!!7I,,7C!~Ji!'!':({(v i!/~1.7)..(,yr f'471''/tJ?/O ~1 III evJ I=:0d-I <-/Po I I?V~T'If leW '{'1'8 '7\.-I ..Ii-.~.i ~I i: p''''--.····1··..-----_um ----•~••.•:-:-1·t~:-~f~~-~-~L_-_---e~~~f~~J~~~I~?f~9r2~----I--~n-----__n I ,.-~~,._--- :fui1 :;~. --l !.'lJ.>.,.',"..,..;"," ,,-/"..;/.". I "•.I ",-':'.."-.,.:;./_':' /9.i/, // --.,.~"-J-' i'.Id,/'/' ;.,',:.! -!.,".,:------------------ .'I.~'._,t:"~"','i'//".-,.•j~'."I IJ. ~~..,., /~~jy~~ol-t ;2;j£/tr /2../t) '-, .:~~~ 5 5 II1 •__•__M '1---····_'1·.-"t-._-"..__•"._..•-_.,_,•__• " ""\,,,; V,U,UE ON1-P~TE I :1;"",,11 .', 1- 15148 .--,":1 County County County County !..~..,. oce. occ. 200 1035. 750. 1785. 3.200. 646-222 County ...~ Item #344 ......'B t interest"-'1$0.I County " 2.3 acres 8ur-blk -J\.300."DB 193-634 ....." ~......,'"~, Item #354 ',. Item #399 l~y fr house lll~O.10.1'"1-2-3-4 Blk 13 360. A-l 2 sty rr house A J,STY FR HOUSE B 48-5-4 Y IItem #398 Ave. &M.utchisoh"Thomas Jr. arrlson Ex~Lenawee onessen,Pa.'" "'."'.\'. " line,George Jr.Jr.& atherine,Main Street ew Eagle,Pa. IT eech,Pearl ew Eagle,Pa.~ au /Ii \.~11ne,George Jr.&Katherlne structures on AL jLll ¥ain St...lots 19-20 ~~~New Eagle.Pa.48-5-4 DB \~, u~ton ton-:c... ~II~'''''''--'---_.- t-o Z g' -'>..::> " t, ~ I"~~; r-,,: -, ............ "-D ()---- '\_~ - ~- ~ i5r-- " r:L- --..J -"~:~ R .. I" L " Jj! }F:------...;,..... /7- Do not writeInthIscolumnAccUl:nu-latcd Int,Col'tor'sPenaltyTaxat FaceTax 7r~,'""<:.I}~(',',...,BOROUGHfile'AI E d 9'f T-€>WNSHIP1./...,~_.'.'"._-C~TY-·._...._-----....-....._.-. DESCRIPTION OF PROPERTY(See Instruction 3 on back of thIs shect) ..--T··..-.... II YEAR I 9&!WASHINGTON COUNTY OWNER OR REPUTED OWNER AND ADDRESS, }' (if .,~_..1 ...l.I I'.!;J;i :1 ,':.(t,. . '.......-:--I -.'I I'".II.,__f,IJ,Vllc!1f 5 "'1\/~hnl/i ,l ~.J ,-'f"/2-,-]II {(.,-('S Ii j School 'I J 1,3 0 ,i ;/7!:)loCI/,5-1·6..1-!f1tr.Mf/o.sy tIl ..":....,..~l\lt.~ef~·:-~.S/~/e )/(,fie>"~-IS 0 ')~~51";2..3··fie r e -s Su,...}:;)c '('I ~~;:~~I~lty Ii .J./0 II.!1 1((jl.;[IJ~5'/-'-1'-t&.//s¥o.s~f.!~111~1~i$.P E5f,f-c W i/U-n /1v (15//(-II .Ii !II ,!!I'~I, :...~)!L .J;if.sON .;>-1,;111t1 "r'S:;C'~l )P n 7'i - /Lj-3>~tJ~/'9 3 -t 3 f 'j ··11 lJ'!Ii r'i'..;. I.1£..~.1'1 /J...J I ,.I :I Ii i".;•.,'~-'«-'dUG ~~.I :,.i j';t , .',~_.,-21 ..-I ---Ii ,~:'I -.'.-.----.,:t i''.;{,'':"•II !',,'~':.:".",',-..I i:i ..!:.'!Fe ._.',I I·,·!!i'J IJ-,.,I......__.",.a:Tt''.c,'/(/..1"hII ,.};~-I C/1I .;,~II /,5/,/··/~~·;1 )11 r:/-(e (':.;c j School !:-/6 'I J;,.)i~·;::J.17t(i't"~7,:;If -trI.kk/JF17 J-::I; " ,~J'i TownshIp Ii V '..-. ....j' )".})'_r-(,.{;Boro or City '.i 0 f\J (..~i '::....,----.'-./"I ,-1 &..)1 I Ii",.;,jI ·Ii•1 I 'I I !' •.;:;AIr.vv r.~d 7-I ('.r)Q !Cls -Is'J..-,?~/-i (;-t:K I ii'i I'j i'i til!'·"7-'_.-.....---.,./'I I;i Il ::I;:t l I u-FJZ'-1(1-/1-../)'"g J./V -55 r I 'j i If "L 1'1','"".I ._-.....,--.....\)."7.I '('..'r:(..:.J ;n i!!,:!';Hfl'~.""'_..~,,",.I ._l,"_._..."-.-;----~---+--+-..;~-+-I .-----....-~ll' ttl);,>;:Ii;'.I'i I,/Ii I:4--1'JL.~.:f.L".\<__...~1'J:,Tc fC"'k ]~'h-vI J;.+e/~r-J (1).I-,!fs -;/7 -%'I .Ii School Iii Ii 7 %!:I/o Ii V2:'fj.1-;;;2 -?v .3%J 7/jl'f.;.,./.;..,,;.,'r -,....,.../-1-r'TownshIp AI ,__,/,J ,It~·,~~t+_·. .(j~il 7'I I/F-/1-,;(/IJ;jF~1..:..G..5.5 !BOroorCityll/y~N~Ii :!j !;".::1>,.;;:~f~\:f:lti;··!I/';:-.-/.P'I I .III I I IF::tIl!ii~.:',..,~~~.e vV /-::.J 7 ,"I 'J !II 1;1 :i.I.)~.i~F'~~7:;~~:~::V':---"·--·..//'I !I~',I::::l'~)~~..;;".:.•,.,..+-......Xii I:Ii i Ii 1/:~'II',',..,....('L .I It.''I'II "V I 'I.'-....-..®~1~,,_ic,:;tU£5~~._:__.__._._.~._.::--.L---'.:---.i-L----------...-.-----------i.::1l l., V I·I'-f}r.:5 ,T -~"v I I..,.:,'j '.';I 7'$-.6 --t'/J1!1.1;"/(,-::L~:L.:.',!.':.:'.:;'i r:/;~1.el (i"d)r'.J.·~J~f>A~)f{.··"),r;-~,j:;/~/.(;.;]'h.e It (':;'.('....-!7 iSChOOl:.("~".'.«'I ;'.'.?k'lI.'I!/L~I tl5?,:l.&r-/<L;;/~Ve::/O l.J".;1 1I '/."-I _I 'I d.'F 'I --,,TownshIp I.•,I ~:'1-:/7 .niJ '-,-,./r/tJ to''.I/.;'(?/-),.~!'.T ;1-0;fY--i'~}")lt\'17~l!.;(--~/5 IBoroor-Clly!;i-!l i79 i;,I(/,i ilJ./Id:'l-~-?(/-/~?/!o;:;1 ·r ..i~lia:'.11/.'17 ) .,-'-.,"I t.,"",.~~~~~~~.:...'.1\f'VI E t'>"I~/':1 //',-.f i i/.j.,;'>-....._.d .I ii.i!I I:"ii 1;'Ji';:",j}-o.h~I //C l..-V I <::'/J /"'.//~.aA1-'"~.~..,."I::Ii i I'::.,1 ·.k::·";;,It·z..':~,;-._w ~(/Jfo -\.')-~V 6J(p 1(,-6'"'Jb.UU!Q£SALE::MUG 2 ....'I';o~b :!!d!i:I n :I',.•',>"•..•.u··:....!'I.S'tA I I'I "Ij'1-'~!n ft'0,",,:s;;I:I ,t;,t~.1...t .lk·:~..-!!~:II U "1 t ',~,.,e;---.---.-....-.---------.----..K-~..--.---.-----~.-------_..-.-..·-r------r---'--·--r-ii:·--+~--..--------..---..- V I I I··I .1 1 I'':/_..I I;i!I !I I .P .. .•,)I r-.-:I,':Ii :,I :,....rl';I L('(-r./~,/t.,1.,·(1/,)1;,'"r{)'~""!'/-!tJUJC I School Ii 3"-31:"1(.)1 1J ;,C./;1"..,l('G5:/lt:ft::,·'3f'f'..f :':' 111/('111 h '~"/~,/)0 i l/--'/-.1 -.1·,.I.7J1!r.·'/31~~~~~~ltyii )(r.~J ".5"¥/::C/%L/:.JI.~%.137.ff,JII ~---...._..•......_.....--- ~ ':~-- ~ ~. .~. ,--' c/ -(. \., I ---J s: ~ -.......:...-. i) =t:-..f. .~ ~..;'a-:,f ~~~ ;.. /__'o- N ("\ *- i ''1' :i ./ ';:,ii, .1 -"---- .--_.--._-'I··~,T{f.I 4-.,;23,"3 • ""-J'"jI"'- ~.' Do not write in this column "'-' lcu? .WI .....I~'..-.'-- 'f'-'S-b 5Ii 0")..---r --.j,.I"~·.li.--l,)'"J I//'!v·iF C'r o ,';.,..//.,/./,/-U.·~.,C _.)_.#.(.••(~.'/(o',';, ! 06 I Page'5 1199 1 319 0)'. Col'lor'lI I,Accumu- Penall;v I lated Int. 39 1 02 11Ii~jI, Tax at Face 1:,-:..•11 II -V ".'""1 .r. I,/. l~t/ Tax County Count» County County #318 45. .uo--uul-321 WASHINGTON COUNTY (See instruction 3 on back of this sheet) DESCRIPTION OF PROPERTY #355 48-9-66 9 2 Sty Frame Hse 1,310.0cc Lots ~1 110.1,420. 48-19-5-DB 92 Structures on Al 1,785.0cc 200. Lots 19-20 1,200.2,985. I'2 Sty F'r House a 1,035. I11 Sty Fr House b 750. 148-~DB 646-222 1 #uo8-~0 OWNER OR REPUTED OWNER AND ADDRESS YEAR 1902 New Eagle 37li ancock,I .1'.t.arie3~Ave. ughton,Palmer G.&Juani Ne~le,Pa. Kline,George J.Jr.& 1'1ain St. New Eagle,Pa. w!:: ·wU~ '"'"-:z:::t- Z \-.y .-'.<,~____.J ..."':" .::. Q :: " ·7 ':'- -J ":>< ...... ri 4 .() ---t-:-I ......;--- rC "-.9 e--.---- /~ .B. .....~'............. ?-~~..(y fLlf-.:1l?71 1-d.7-6y t1.e.*SfI 7/ i/li~{ i~(:&~ll ~06 2 ~25 1~26 I nl 11\'-"I~Uv ' t :I I i II "i;_.~...1., .'./:/I:Dr ;//A-::'o('-'/,/.4'l~t{~,.Yf';;;,...~.II•,./,JI"•.•••••••••I ",Y I ..i "",'I I,.I, I;;'!I j' 2 ~25 i',11 I'I,I!.i' 1.;..r i /;l· ln,p''''f .i·06 ~.'c.,:,,,-,.I(; a...'.....:.:,\"",1'1./v-~.,..l "'I :tt\ !~•~~:.-~~.~' School ~jJ('iBoraorCity j IIISchool , 11lOmMllCP IiInoraorCityII r !I!iIilJ,. School 'N1J!liXIiIPBoraorCity I Ii ! I'I " I'i I: I I '., ,j;,:;j: 1 I:I .I 1!,17 Jf 1/f1 c2163,I L.08:!i.Vet'.}-1...~(,u-G.-.'J c'17(;' No e 1,1,:1 i /'1II:i;I . I I':I :;,I 1 .d II I I.'I .i I:;i 'i 1.1 ',II,I:Ii I .., I I'I ,:I 1'1Ii,:i I 1 ;.I .I IIii:'i'fI3.ciSchool3001i.15'I I;fc.(J...1-~y;((t:-,:;f 7 ~1i1Xi~I Ii I::::IBora or City None II :.! i I I,I ,. i I ii"\/i!II,!;:: I I,I";I !~'q ..I I ii I :;I II I "I.I 'Iil';I Ii I I:I I!I II'i "I I[,'I,Ii')I;-~ISchool 74.63.:3.73 {/,~L/:r/9'~~-{.->-.it.:,:::/t.','t,,y'/-I I I:I ;,':',,'~.,y ,-y !'lXi~11 I:2'-{;--'/..,..Bora or City 4.79 :.09 ,,".'7 /l-;/::_c/o /.._.1/., I·I I'I "','v .'t "5·~L cI'Ii I''I' I I i:I'I :1 I ' "I j I'.: I l~.:Ii !Ii '1-~lc-r'SIAY OF L'L~I,..'...../,...I.,I ......:'I Iii _.I :1 IOROU~TA~COUECTORi~,,~:r5)j I I:I .'I I, I Ii";iIiII :1 ll"tf~///5'2- Ar;f#//67 A R%.Lots 11 Pt Lts 9 &10 Pt.Lots 231-232-232~-233-233t B.,Riverview Plan A. Lots 87-89 Kann,S .Lee 408 Be rge r Bldg. 4th Ave,&Grant Street Pittsburgh 19,Pa. K1ine,George J.Jr.&Katherine Main Street Structures on Al New Eag1e,Pa.A.Lots 19 &20 AI.2 Sty Fr Rse A 1 Sty Fr Hse B Lepovich,Anthony V.&Helen E • New Eag1e,Pa.Front Pt Lot 1 Louttit,A1bert &Della U.C/~1esh.Co.Tax Claim Lots 507-508 Bureau,Trustee C~urt House, Weshington,Pa.A.~ IoU!::DI:~ IoUU~tit &It~ Z- I-oz g -..... "'~ c'- \, .::,:; -' (;. u - ,r{.~....:, rC\ .X 6-r- --l .::. ~ ,.......-......?-__l '-- ,..''-..., ~:.~ ,/ Do not write in this column Posted ~-c-.l-=Z:;/&-1 -()?~~7L~- C,",;,~~~fi.fL r~44"-:'t'~~'~L 7,,'!'1 /0Sf~,:;•"";'660~J"jC.~tjJt'•11';,._"••.a....,. ,'.P ,-..,/...,L.O~·~·~_ /('(;-,-.',/yId.c'0"'·_~:)i.-L I_c~/-t q '~~.!:.S~:!_'-'\~.~\r<;...!.~-I :-I :·I~.~~. q(II}~!I 9-?.(SO',L~t/l-/l/IIff ,......... 15 II I '... 1106 3166 11 ",", I Page-5 Cortar'.II Accumu- Penalty lated Int. .'......... IU'~IY~~ Ii I II I 'IIII: :I LLL •J ~,..--.... Tax at Face ""'~o /60 'l~.~,.:147 I'". Tax County County County County Y II 36 l5 7 2,<;185.II Ie -k)31~j I c;~1'-~~ST~'t',~F SALe county f/II 18 38 1 84 1 865. 1,035 750 1,785. 1,200. ....-._..--_....New Eagle,Pa. 428 4600 (See instruction 3 on back of this sheet) DESCRIPTION OF PROPERTY Item Structures On AI. Lot 19-20 48~5-4 DB 646-222 233-Z33~ivervi8WPl. 48-14-4-1 DB'9~0-319 '-''''.~,.~ ~, ..~,~ Item 2 Sty Fr Rse 1 Sty f'r Rse Item ,439,&4~0 1 Sty Fr Hse.1,140. Lots 1-2-3-$B1k 13 360.1,500 48-17-18 DB 889-489 &522-108 ,,-,.):,ot 11 Pt.9 &10 48-'::;13-6,DB 909-466 "~"'-....'~ ..~............. ~, Item 427 ~ Pt Lots 23i-2j2-232~"i~ • A-I YEAR 1963 WASHIt-J(';TON COlJNTY OWNER OR REPUTED OWNER AND ADDRESS Kline,George J.Jr.&Kath erine A. Maine St. New Eagle,Pa. Leech,Pearl Estate New Eagle,Pa. -S. 408 4th Ave Pittsburgh, "',~,S Lee 408~~~~dg. 4th Ave:_~~t St. Pittsburgh,Pa. ,'t. ,~" VI en-:z::...',.I----'---- -. ,..--...;."\C', \/) ~ ~ ~ ~ -S:' (L- .......' ('t) '.9 (J'-.. --J '>~f-~ .Jr"".'.,~\.' t -i--, .~- ("'!' ,f,-I,"I.'-7"-.~t,.': "~~ .!'1'I,l! i~ "iq, !/ j 1,1 fil'rI ., I II f ',t JI~.:\i',I \. ~~.";i' 10•.1,'("Ii,; 1\I~(i II'il" I [! iI';,, J ~.r ;'l',I ii ,1'1'~{il I'Ii;!:iF;j !!rro',ili~'~~_.n'"ii:;'I'1;'1q;.~\i~"Ialii,ii Wi) \.1':~rr !r.i,I,;;! ~- #5 Do not write in this column "~I'J)fL.C;-[-(j--r<--,;If lIf'I t.;C "r 1!.f/,9 :t -~,s/-J!L ~''-#$I t(if C(£. BOROUGH lOWNDlJBC aIUX ~, /'/II .'/--,,1 -:0'/-,.,-./.,·i;.,~"/•;'.;,J_.-,.~~//-/~t-·...;;;.j t"~/ ,),;'/\~'III'I'?-)'),'.I"-/.,~I'}/''. ''.-,,',.~,-"Ij.(,~--,;;•'),!I / I'IOT '".S~~~I:~/;:~~L:J ·ih1.;)AL::r.c.;d," II Pos1ecl I~rll ,f]: 46 2~1 13 06; I 2~10llod Col'tor's II Accumu- Penal1;y lated Int, 3:t;~1I0F.s~L~11 Posted 9!24 416" 2JS2 1.126 Tax at Face 42 100 21 00 ,_:.1'_J ':'~II -;1/l)J'1....J-:-:f/T- :,~...::... Tax School School ~I!I ;'('/alB~~~r.~~~lI •.II.,-, School ~X Boro 0Jr'1i!~ ~Bora lX~ School ~ BorolX~ School ~~x Boro lXXJIy --...... '----'-,',- jJ,rr 7I--l~~l.u '01;1#/.)if'! (See instruction 3 on back of this sheet) DESCRIPTION OF PROPERTY Lots 87-89 1 Sty Frame Bldg Plot. 1 Sty Fr Hse Lots l-2-3-~Blk 13 YEAR 1963 WASHINGTON COUNTY New Eagle OWNER OR REPUTED OWNER AND ADDRESS '" Louttit,Albert &Della M. B~ra 540 R.D.#l Monongahela ,Pa. ......... Kline,Gitorge J.Jr.&Kathe ins Main Street A.Structure!!on Al New Eagle ,Pa.Lot!!19-20 41 2 Sty Fr.Hse A 1 Sty Fr.Hse B Leech,Pearl Est~t. 0/0 tntonio R~llo "New Eagle ,Pa. , New Eagle ,Pa. Jurof'cik,John Jr.&Clara New Eagle,Pa.B. '!w U~en en-J:to-• I:M)._ q -~ --':y ,, tJ N \.-. ~ ;,--"').........._~ x., ....or" J- (, ---.1 ,--"',' c::+- (''1 --. -- "f'-'.:' C''- ~ejo2-fJ- YEAR 1964 WASHINGTON COUNTY NEW EAGIE----------- BOROUGH ~ ~5 / " Do not write in this column....,..... ..... 1;)../;27/"',5" ~o~tp.d _.~.Cfi .<-,.&. '/./ OLT\~;.'T;',f!/J 4 ~-il ,,:,......./.~P :tJ •.i.i •.i~u~tL~~~e.~ IPosted _?~~eEl LLj' -_'J....~....._.__-.. I II''/I " '.• I I ".~ ••..1'11. ~.",;;..-1 -"',I ..·t J rio'.l ..··."...',."..,..'..".1~49 /'-:;-t~'.I'~~""~'·;~:.:1_/',f-,,,',/~:>/.;,:~~."'I .,.."',....~,07!",,"I!'_",./.•.'..P J ,;I \II.,.".'."...'.. Cortor'.II Accumu- Penalt;y lated Int. 2'97 IJ44 Tax at Face 98 47 49J50 24 1°0 Tax School ~'~_Jt t.(e -w&7~Boro~. School ~ Doro~ School ~Boro~ School X1Jm'%~1Boro~R.II.i (See instruction 3 on back of this sheet) DESCRIPTION OF PROPERTY Kropf Trailer M'! Marlette Traf'ier ~iL~{#./'l.-F II SchOtlI .>~"*'t""1,.,;.-~__.L':: !x:'..;vr1ti-1.3/7 Boro~- Lots 87-89 ¥~,//?-7_/ 1 Sty Fr.House Lots 1-2-3-4 Elk 13 L/E--'.11-/,( erine Structures on Al Lots 19-20 2 Sty Fr House -A 1 Sty Fr House -B £fp-~--lj Al &:Kat A. e~V<?LI11 Jr.&:Clara ~,. OWNER OR REPUTED OWNER AND ADDRESS Il{"cKleH:fi,Ge orge J.Jr. Main Street New ESfE1e,Pa. (t't/-' elly,Earl &:Shirley C. J~~Ys Trailer Court New ~le,pao New Eagle,Pa. ste te r,Franc is Ro~e 88 New Jurofcik,John Box 76 New Eagle,Pa. /PCS-',/~(",..,,,,.'-'( :rf .-:~..j ('"•I \.I 111r·(~)~....-,~\--l.......c.tt¥-3'-11 Ie Leech,Pearl Estate c/o Antonio Rullo w U~V) V)-:J: t-• s -::;.... '-D ~ \.,, (1' 1- - QJ -....;:.. ,>( (i' ::. ---.J --t-- q., ~ ~nt ::..~ ......y ~ -) ~ ~..-.' :- ~~,"'. ~ / Page $ -Cj//- YEAR 196h WASHINGTON COUNTY NEW EAGLE "',-}~.lIIiiiiiiliiilllliliiiiiil_~_lIIIIIIIIiiiiiiiiiiiiiiiiiiiiiiiiiiiliiilll- I ;--..,\',j~\;\()'..:.i.."-\.......,: -.J ---- Do not write In this column Posteu~~A:~.__" ·t'101 1)~~F 7/1 ~6/D ~-!lJ :1:AX sALtSl~,4 ~•., ,.I Po~te-(1 ~~C-d'J-~~.- //iI/I.~>_/;'./._.;.;/,/.'c-0.ow,'~.·o 'j /" SOTn ·SEE W~A.J -.--,~.~"""/;i\LES:.J../.,"",•,..,'"I~....~U ....posted __~.-/~~~_.' [ 27 11 Col'tar'.II Accumu- Penalt;y lated Int. 2~1 4 P4"!40 Tax at Face 18 138 II 1 184 Tax County County County ...... ,;/I County .... / ./ ,.- ......- "...• .... 330. (See instruction 3 on back of this sheet) DESCRIPTION OF PROPERTY Item .524 ~t8 248-249 220.~8~4Il5 &66 DB 1033-661 48 Dr,.Run Ro ad 1 Sty Fr Hse 1,140. Lots 1-2-3-4 Blk 13 360. 48-17-18 DB 889-489 &522-108 ? 1,.50~. _.....Item 468 ... 1 Sty Fr Bldg 30. Plot 300. Jr.&Katherine Lota 19-20 1,200.I, ;2 St,.Fr H••A 1,03.5. 1 Sty Fr Rae B750. 48-5-4 DB 646-222 2.98.5. (2/f~.3f1 ~.,_1~tem~4 7 $448 _ C~f-.1177 ·1 I'.:•.-.:.f~-:-(.,t ~..~_. OWNER OR REPUTED OWNER AND ADDRESS Marraccini,Velma Mary 3rd &Wood St. Kline,George J. Main Street New Eagle,Pa. Leech.Pearl Estate %Antonl~Rullo New Eagle..Pa. /./-../~rt.".}"...~/,f f "..(:,."../ .'(>~//:.,:3if11___.__._.___ _(.,?_r..~_....__~_ Louttlt,Albert &Della M. Box .540 R.D.l Monongahela,Pa. 1/~(~r ..\::'t..,.I'"to Yt1t:.r-· w U~ &n &n• }_._----._----------_._--------~_•..j _.-'-_. 'I i I ~36 ~,/,,-,"!1",----~"", '.~ ~ ~ " ,~l_.__ ~...I '.,-(',\..);~\:,,-'l, I !r ....~;~i J ,;-":;~.~'.~~:/. j ./(.-;"-',l.~~.c·I~+------.--;~r~~~~ln~.~~~~~:~:~7!~m~-~--~;~;I;~m;:~4---1~325.--~-~;;.--;---T2~k--;~2--;'.c1;rr--s--lC ~;;Y?d :~ )~, New Eagle #Pa.Lots 245-246-247 32.5.... .".48-9-67 DB 688-337 1,6.50 \~ \~\r,~]-1~'i> 0·.,I~J 1\,.~~~,,~_~'t\ ~ t.:: ~..::. Notary Public COMMONWEALTh OF PENNSYLVANIA SS: OF WASHINGTON My Commission E~p~~~s:~'g\\PI <6 $"' BEFORE ME,a Notary Public,in and for said County Kline,are true and correct to the best of her information, Sworn to and subscribed before me this ~day of ~1.!.Q)\1:'1983. ~;00f\A.~D4~ knowledge and belief. Petition for Removal of Guardian of the Person of Katherine who,being duly sworn according to law,deposes and says that the facts set forth in the foregoing Answer to the and Commonwealth,personally appeared MARTHA LEE JUROVCIK, COUNTY • • • ..- ( "•-i ~ \ ~P f'"J :> [Ll fr';:.'- 1,,";a....'.I -:~~1,-..-:;! L.n .., ~. ~....~-..,~,, ~.,-:;I ; '~I -,~.-..~r~ c:;:).. • « IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF KATHERINE KLINE, an alleged incompetent. .. : No.63-71-887 PETITION REQUESTING APPROVAL OF PRIVATE SALE OF REAL ESTATE UNDER SECTION 5521 OF THE PROBATE,ESTATES AND FIDUCIARIES CODE AND NOW,this .2::--t/II;day of ,/lflJrlfCIf ,1986,comes First National Bank &Trust Co.,Washington,Pa.,guardian of the Estate of Katherine Kline,an incompetent,and states as follows: 1.By Order of this Court dated December 14,1981,the petitioner was appointed successor-guardian of the Estate of Katherine Kline,an incompetent.A copy of said Order of Court is attached hereto and marked Exhibit "A". 2.The petitioner files this petition under section 5521 of the Probate,Estates and Fiduciaries Code to obtain an Order of this Court authorizing the petitioner to sell real estate. 3.The real estate which is the subject of this petition is described as follows: ALL those certain lots or pieces of ground,with buildings and improvements thereon erected,situate in the Borough of New Eagle,Washington County, Pennsylvania,near the mouth of Mingo Creek,known and designated as Lots Nos.19 and 20 in the plan of the Town of Riverview,as laid out by Bentley,Lawrence and '. 1------lL-~__ Co.,and of record in the Recorder's Office of said County in Plan Book Volume 2,page 91,bounded and described as follows,to wit: Said lots front together 100 feet on Main Street and extend back 170 feet to Broadway,along Howard Street. BEING the same premises which Home Owners'Loan Corporation by deed dated April 11,1941 and recorded in the Office of the Recorder of Deeds of Washington County,Pennsylvania in Deed Book 646,at page 222, granted and conveyed to George J.Kline,Jr.and Katherine Kline,his wife.The said George J.Kline, Jr.is deceased. 4.The petitioner has entered into an agreement with Charles D.Angel and Barbara J.Angel,R.D.1,Eighty-Four, Pennsylvania 15330,for the sale of the subject real estate for a consideration of $22,000.00 payable in cash upon delivery of deed.Attached hereto and marked Exhibit "B"is a copy of said Agreement of Sale. 5.The subject real estate is improved by a building con- taining a storeroom and two apartments,three car garage and trailer pad.One of the apartments is presently occupied by a tenant.The current gross monthly rental on the subject property is $220.00.When the property was last fully occupied by tenants the gross monthly rental was $445.00. "6.The incompetent is presently 75 years of age and a patient at Humbert Lane Health Care Center.The monthly expenses to maintain the incompetent are approximately $2,200.00.The incompetent receives a monthly social security payment of $267.00,rental income from the subject real estate,and income -2- earned on the liquid assets of the guardianship,which assets presently total approximately $14,000.00.The incompetent is also a beneficiary of the Estate of Homer E.Gates,deceased, which beneficial interest has an approximate value of $2,500.00. 7.In considering the incompetent's estate's current income and expenses and liquid assets,if the subject real estate is not sold the guardian will have no assets from which to pay the incompetent's expenses in approximately eight months. 8.The petitioner believes and therefore avers that the proposed sale is in the best interest of the incompetent and is necessary and desirable for the proper administration of the incompetent's estate and further avers that the sales price is more than fair and adequate and is more than could be obtained at a public sale of the property. 9.An inventory filed in the incompetent's estate included the subject real estate at a value of $10,000.00.The current tax assessment value of the subject real estate is $6,082.00. 10.Attached hereto and marked Exhibits "e"and "Oil are the affidavits of Donald E.York and Dolly P.Wagers,two competent persons,setting forth that they have inspected the real property which is to be sold,they are acquainted with the value of real estate in the locality of such property,they are not personally interested in the proposed sale,and in their opinion the pro- posed consideration is more than can be obtained at a public sale of the property. -3- 11.The sole heirs of the incompetent if she were to die intestate are her daughters,Martha L.Jurovcik,R.D.1,Box 248, Bentleyville,Pennsylvania 15314,and Jo Ann Ward,1410 Difford Drive,Niles,Ohio 44446. WHEREFORE,your petitioner respectfully prays an Order to be entered authorizing it to sell the real estate which is the sub- ject of this petition to Charles D.Angel and Barbara J.Angel, husband and wife,upon the terms and conditions set forth in the Agreement of Sale attached hereto,subject to the rules of this Court providing for the approval of a private sale of real estate. BECK and DeHAVEN .. By '~c==&~I'J.Lyn DeHaven 7 ~ Attorneys for Petitioner -4- -- .........'.;....~.,(,,"".':.~I"·,'"'1'"'.",".,', .".I ,'',':"~•., U1 THE COUP.T OF Cmfr10N PLEAS OF vJASHINGTON COUNTY,PEN!'~SYLVkNIA ORPHANS'COURT DIVISIO~ IN RE: ESTATE OF KATHERU;F KLINE, AN ALLEGED INC0t1PETENT ) ) ) ) ) f\10.887- 1971 AY.ENDED ORDER OF COURT And now,to wit,,this J:i day of December,1981,UDon motion of Mark F.Geary,Esquire,Attorney for Petitioner,Martha L.Jurovcik,and upon consideration of the First and Final Account of Barrett G.Greenlee,Guardian,having.been filed with the Court and with the consent of First National Bank and Trust Company,it is hereby ordered that the First National Bank and Trust Company of l...Jashington 'Coun ty,Penn sylvania,is appointed Successor Guardian of· the Estate of Katherine Kline,An Incompetent,as of the date of this Order. BY THF.:COURT. J. THOl-1AS J.TFhJ'i .£..-':'>'1',:. , \Exhibit IIAII ~---~---~------------------------------....., !....~.........'..w; "','-.;1 i+. TELEPHONE:941-.1)57 ,:,~),',.' (Names,marital status,mailing address and municipality ofdomicile) .',."",'J::';'hereinafter collectively called "Buyer";"r;0"",",,I:':',', i ·Covenant to Sell:WITNESSETH THAT:'Seijer ~ndB,uyei,iiltedding't5be legally boun~hereby,co~enant and agree ,as follows~Seller shall,~>n':ihel,date hereinafte'r specit1ed,by deed of ..8peei41'~';",",',:,',!..war~anty •.well and sufficient g~allt and convey unto BuYer"lin fee simple,c1eaLofallliens and encumbrances,except as·hereinafterset forth,good and:marketabletitle (and such,as will be insurable by any responsible title insurance company at regular rates)to the following (hereinafter referred to as "the Property"): 3.:,Description:(Maybe continued in Paragraph 24:)Alhthatcertain'lot'or'parcel of land,located'in the Dorooch/iI ""!In!:;;t of '.'New Eagle ,County of Wallh!ugtoQ "".,:;'Commonwealtf{o[Pen~nsYlvania, more particularly described as follows:3 fadly house.aAd lot v1th tuiler pad witb 8 postal 4lddrell8 '''''',0£'431 Mdft'StrMt,New 'Rsgle,'Penasylwu1a"and further bow.s Lots'Nos.'19 bet 20 1a o •the lUaiCof (Loiilltnown .a.S .the toltn of,l!ver'View",ud .-14 Plan Is of rec:or-d h ,dla·,if 'heonierc •Off1c.e of Washington County.1n Plan Book.Volm.,IIt Page 91...),~i., !•.•..;',,/'td'Il ",-1 'i ;~,,, I 4.Title 'Referenc~:Deed Book Volume 646 ,Page ',222 ;.,Block and Lot ":'-~__"----,_ 5.Items Included in Sale:The conveyance will be made together with all and singular the bUildings,improvements,easements and appurtenances whatsoever thereunto appertaining,it being agreed that this sale and purchase includes:(a)all plumbing,heating and electrical systems,and fixtures .appurtenant thereto and forming a part thereof;(b)all built·in:cabinets,cooking units,dishwasher,laundry tubs and other permanent fixtures;(c)all trees,shrubbery and plants;and (d)unless specifically excepted,all stonn doors,windows and awnings, screens,shades,venetian blinds,drapery rods and fixtures and TV antenna.Also included in this sale and purchase are: Cash or certified funds on delivery of deed.$---;2ir.ll-r.4-!,~5ilJiJ......yO.yOL.--------- r I'',.. 7.Settlement:Unless otherwise agreed,settlement shall be held on -_II:":pp.ri~..Ll_.,J3""G,,--------,19#--.By written notice to Seller,Buyer may designate a definite time within five (5)days of said date and a definite place in --\o;;:~a~$j.t:hH1bfOiiFw\7l"t~e~u;r-------­ County,Pennsylvania,for settlement. 8,Proration Items:Water and sewer 'charges,municipal garbage and rubbish removal charges,rents,interest and rcal estate taxes shall be prorated as of sert],..,ent .Real estate taxes shall be prorated for the calendar year of settlement based upon real estate taxes levied or estimated to be levied in that,year by each taxing body (without regard to the date ofthe levy or the fiscal ye'afofthe-taxingbody):'"'Jl"::':':,'';",'.''.,_'..'.",' <'The cost of realestate'transfertax'es shall be borne equally between Seller and Buyer'." ,. • "...•1".;:l •,~•'.".'•II'•\,\ 9.Possession:Possession of the Property shall be delivered to Buyer (broom clean,free ofdebris,and the lawn and shrubbery in trim)~ at t1rw of ht:tl1,X~Qt,'aub1Qct to All l •••@s '.tftf)t)~t8th1~.'gel1er~h~!1-~4.~-Al1--19'.1tf;"'(if"to(Ifany part is uccupied by a tenallt,'specifv each lease and provide Jor assignment.;.' buyer at the settlement.EXHIBIT "B"lL-_ All of the foregoing shall be delivered to Buyer at the time of delivery of possession of the Property.CHECK LISTOFITEMS TO BE INSERTED IF INCLUDED:wall·to-wall carpeting,rugs,draperies,mirrors,'chdJidelif!rs,refrigerator,deep freeze,washer,dryer,portable dishwasher,stoves,window air conditioners,radiator covers,'fireplace items,bars and bar stools,china closet,lawn mower,garden tools, work bench,water softener,automatic door opener,fuel in tank 6.Consideration:.Buyer'will purchase the Property and pay'therefor the 'sum of: --....a'i'we..-.~a~t~y~'1'$.1.1OQ·-'i'b~'lA'oliJlC,1~.lIola~~.acd~Dc,IQ.,Jl...l~a~r;l!iI!t'-----"------·-:-·$--,2!<,;2;"".o,jQ~,OOC>!..l.u,OI..l..Q!--_ Payable ,as follows:., Earnest Money Deposit 'upon signing this Agreement to be held in escrow by Broker pursuant to applicable'law and regulation:Cash 0 ,.Check fItJ Note p,Other $Sl...)t:.O"..•..J..Oi.O.OL--_ (If a Note is given,the time specified for payment therein shall be of the essence and any default in performance by Buyer shall be a default under this Agreement.),(INITIALS)" ,;.<'.,' Additional earnest money deposit payable $_,_ /)1 Additional financing,ifany,per paragraph 24.$_-'--_ <--i l15.Sl!.2 ----""wC::l'h"'·';,."",....,.",..'{~."....,."'''',''':s.;:;,------------------------------------------------- 12.Seller)Expense:>$eller shall be responsible for cost of deed'preparation and all matters of the title clearance and a reasonable charge .for making msbursementson behalf of Seller.~;.;'.1;'J L,.'. f:1-+:1)!j :.;':.',.'':!"'~L'~..;,','''i~/.;',,'J.J 1,1;,-.:.~w •~,J 13.MuniciP!l1 Improvements:.Seller,shall pay for all,wo~k:and improverpents for which a municipal claim may be tiled against the Property where ali ordinance or resolution authorizing such w'ork'or improvement is adopted prior to the date of this Agreement.Buyer shall pay for all work aiid4mprovcments for which such a claim'maybe filed wilerean ordinance or resolution authorizing such work or improvement is adopted on or after the date of this Agree·ment."','.,t,\:,'.. 14.Real Estate Broker:Whenever the tenn 'Broker'is used in this Agreement it shall mean,collectively,the real estate brokers or real estate brokerage finns whose names appear on the first page of this Agreement.It is understood that the Broker is acting as agent of Seller only in bringing Buyer and Seller together and will in no case whatsoever be held liable to either party for the performance of any tcnn or covenant Qi.this Agreement or for damages for non-perfonnance thereof. ~~},('. 15.Default:,In the event of default:· (A)By B~ye~:Seller may,at Seller's option,elect to:'(1)retain the earnest money and all monies paid on account of the purchase price as liquidated damages,in which event this Agreement shall become null and void and both parties shall thereupon be released of all further Jiabil ity hereunder.It is hereby agreed that,.without resale,Seller's damages will be difficult of ascertainment and that the earnest money and all monies paid on ac~unt oJ the purchase price constitute a reasonable liquidation thereof and not a penalty,or (2)apply said monies toward Seller's damages,including,but not limited to,loss of bargain,consequential damages and attorney's fees,provided,however,that no such election of (A)(2)~f;re.of~naIl be final ,or exclusive until full satisfaction shall have been received. Further,'jh the event of default by Buyer,all monies paid on account by Buyer shall be divided equally between SeHer and Broker,but in no event s6ill,th'¢ku'm paid to Broker be in excess of the commission due Broker if no default had occurred. :,,\.'.'I • (B)By Seller:Buyer may,at Buyer's option,elect to:(1)waive any claim for 'loss of bargain,in which event Seller hereby ~grees to repay to Buyer the earnest money and all monies paid on account and,in addition,reimburse Buyer for all direct,out-of-pocket costs and expenses including,but not liIlli{~d 'to,'title'examination,survey and attorney's fees..'., In lieu thereof,however,Buyer may elect either or both of the following remedies:(2)an action for specific perfotmance;(3)an action at law for damages including,but not limited to the items in subparagraph (B)(l)Hereof,consequential damages,loss of bargain and attorney's fees,provid~,however,tha't'no such election of (B)(2)or (3)hereofshall be final or exclusive until full satisfaction shall have been received.' _.:...J\.,.j ~_;•..'•\~ 16.Modified Time of Essence:Iffull perfonnance ofthis Agreement is not completed by the date set forth in paragraph 7,either party shall have the right after that date to declare time to be of the essence of this Agreem,ent by giving written notice to the other paJty.Such notice shall contain,a declaration that time is of the essence and shall fix the time,date and place of final settlement,which date may not be sooner .than fiftee!!J15)4!lys nor late~t,han thirty (30)days following the effective,date of giving such notice..~.'.. 1i.iilSUi1iDce:·Seller understands that to protect Seller's own inte~est,Seller should retain or place in force adeq'uate fire and casualty insurance:viith extended coverage on the Property as of the'effective date of this Agreement.Buyer understands ,that (i)risk of loss passes to Buyer,at,the_Jime se~f.orth in p3!flgraph9;(ii)Buyer may have an insurable interest in the Property upon the signing of this Agreement;and (iii)Buyer understands that to protect Buyer's own interest,Buyer should retain or place in force adequate fire and casualty insurance with extended coverage on the Property as of the effective date of this Agreement.-(''''..~)'..'.JJ ~.t •.•..."':•.I , . .rr·'\ft-t.. . ,_.I.' 18...,Unde~;and Subject:Buyer shall take title to the Property SUBJECT to the following:(a)building and use restrictions of record;(b)vehicular or pedestrian'easements of record affecting the Property and being contiguous to the front,rear or side lot lines;(c)water,sewer,gas,electric, cable television,and telephone lines or easements therefor of record or as presently instaJIed,provided,however,that said lines or easements shall not adversely affect the use of the Property for residential purposes or at any time require the removal or /.,alteration of the presently existing dwelling(s),or appurtenant structures thereon;(d)prior grants,reservations or leases of coal,oil,gas,or ottter~min~ra.lJ,asshown by ins~rumt<nts,of record;~nd,(e)easelJlents apparent upon inspection of the Property, 2 JL.ri·hJ£:hu¥.~;o;", '19.Inspection of Property:It is hereby understood between the pa'rties'hereto that the Property has been inspected by Buyer or his agent, ,that th~sameis being purchased solely in reliance upon such inspection andthat there have not been and are no representations or warranties, .eX'pressed(,or implied,with respect to the physical condi tion ofthe Pr0per.ty,made by Seller or Broker except those provided in this Agre~ment \ or those Set forth in this p'aragraph: _.-i·:·('..r~.).,;~·,..f~~._:;:'T';"Nozle 20.Pr~aosing Inspection:Prior to closing,Buyer shall be permitted on reasonable notice and at a reasonable time to enter the Property and to inspect the same and its plumbing,heating and electrical systems and the items included in the sale in Paragraph 5. 21.Notices Relating to Broker:The Broker is required by law to provide the following notices and disclosures: (a)THE RATE OR ,AMOUNT OF COMMISSION FOR THIS SALE (UNLESSPREVIOUSLY NEGOTIATED IN THE LISTING CONTRACT)/:,15 NEGOTIABLE BETWEEN·THE BROKER AND SELLER.Seller,for selVices rendered,agrees to pay Broker a commission OJ'l:l p200.00and hereby authorizes the Settlement Officer to pay the same out of the settlement proceeds._ (b)Unless otherwise disclosed in writing,the Broker is the agent of the Seller,not the Buyer. (c)The Real Estate Licensing and Registration Act (Act of February 19,1980,P.L.15,as amended)establishes a Real Estate Recovery Fund.The purpose of the Fund is to give persons who obtain money judgments against persons licensed under said Act an opportunity under the tenns of said Act to seek recovery from the Fund. (d)Further infonnation concerning the Real Estate Recovery Fund can be obtained by calling the Pennsylvania Real Estate Commission at 717 783-3658.- 22.Zoning and Other Ordinances:Seller warrants that theProperty has the following Zoning Classification -~31-/p&;.--------­ that the present use is_:__in compliance therewith;and that there exists no notice ofany uncorrected violations of housing,building, safety or fire ordinances.(For closing,obtain statements as to compliance and non-violation,ifrequired.), 23.Sewage Facility:The Pennsylvania Sewage Facilities Act of January 24,1966,No.537 P.L.1535,as amended,requires 'that there be a statement regarding the availability ofa community sewage system.Check the appropriate block: iJ (a)The Property is serviced by a community sewage system.(Ifthe Property is not so serviced check (b)or (c)below.) o (b)Buyer is hereby advised that there is no currently existing community sewage system available to the Property.There is a permit for the operation of an individual sewage system for the Property,and said permit has been exhibited by Seller to Buyer; 0,(c)Buyer is hereby advised that there is no currently existing community sewage system available to the Property and that a pennit for an individual sewage system will have to be obtained from the appropriate local agency pursuant to the Pennsylvania Sewage Facilities Act.,. Buyer should contact the appropriate local agency which administers the Pennsylvania Facilities Act,which is the _ --',before signing this Agreement to determine the procedures and requirements for obtaining a permit for an individual sewage system. 24.Additional Provisions:1.This agreement is subject to the approval of the Orphans'Court Division of the Court of Common Pleas of t14shin8ton County,Perms)"lvania.and the anies of Court applicable to-Obtaining said approval. 2.this agreement is subject to the Buyer obtaiuina an inspection report from a reputnbla ter~ite exterminator indicating that the dwelling and premises a.re free of any infestation of ten:Jites or other pests.III the event the ~a.id report discloses lnfesUllio~,s the Seller rohall bear the cost of ex-termination up.to a mQximum of $350.00.Cost of the inspection aud report is to be paid by the Buyer. _________3 _ 25.Waiver ofTender;Notkes:Fonnal tenderofdeed and ofpurchase prie,.·;,(1:hereby wuhed,Except ,I,oiilerwise pruVllk.:ilerc'in,any notill:~betWeen the parties hereto shall be in writing and may be served in the manner provi~kd by law for the servj,'c or'process in equity or may be maikd by certified # orregistered mail to either party at the respective addresses above set fOlth.Ifmailed,such notice shall he dce!1l~d effectively given as of the secllnd business day,after the date of posting...·,.(' 26.'Entire Contract:This Agreement constitutes the entire contra~t bet~ee~the parties hereto and there are no other understandings,oral'~r 'writte~: relating to th,e subjectmatter h~reof.This Agreemen~may not be changed,modified or amended,in whole or in part,except in writing,signed by all purties. Whereverused in this Agreement,the singular shall include the plural,the plural the singular,and the use of any gender shall be applicable to all genders. Paragraph headings are inserted for convenience only and shall not fonn part of the text of this Agreement. 27.Covenant not to Record:'Buyer will not record this Ag~em~nt and'any such recording shall constitute default by Buyer hereunder. 28.Binding Effect:This Agreement and all of its terms and conditions shall extend to and be binding upon the parties hereto and upon their respective heirs,executors,administrators,successors and assigns.. ;-:. 29.Coal Notice:NOTICE -THIS DOCUMENT MAY NOT SELL,CONVEY,TRANSFER,INCLUDE OR INSURE THE TlTLE TO THE COAL AND RIGHT OF SUPPORT UNDERNEATH THE SURFACE LAND DESCRIBED OR REFERRED TO HEREIN,AND THEOWNER OR OWNERS OF SUCH COAL MAY HAVE THE COMPLETE LEGAL RIGHT TO REMOVE ALL OF SUCH COAL AND IN THAT CONNECTION,DAMAGE MAY RE~V.J..T TO·THE SURFACE OF THE LAND AND ANY HOUSE,BUILDING OR OTHER STRUCTURE ON OR IN SUCH LAND,THE INCLUSION OF THIS NOTICE DOES NOT ENLARGE,RESTRICT OR MODIFY ANY LEGAL RIGHTS OR ESTATES OTHERWISE CREATED, TRANSFERRED,EXCEPTED OR RESERVED BY THIS INSTRUMENT.(This notice is set forth in the manner provided in Section I of the Act of July 17,1957,P.L.984,as amended,and is not intended as notice of unrecorded instruments,if any.) Unless the foregoing notice is stricken,the deal shall contain the notice as above set forth and shall also contain,and Buyer sh-all sign,the notice specified in the Bituniinous Mine Subsidence and Land Conservatiori Act of 1966. (SEAL)c;M!~-=--cU~/~.F"-=.-U_~....--:=-"•_.~,_ Buyer THIS IS AtEGALLY BINDING CONTRACT,IF NOT FULLY UNDERSTOOD,CONSULT YOUR ATTORNEY PRIOR TO SIGNING. WITNESS the date execution hereof this 2 c;day ~~6J -Lr..f;,19 R""6u--__ WITNESS ;EMOVEALL CARBON AND SIGN ALL CO~.~: ~6-A"A"""&'-< Charles D.Angel __________________(SEAL) Buyer --'-(~""':::"/7+·<~~"<•.:::::;'~/C.<="!O';,~.....k1::.::...~_~__'~"___._'?1IL-:/.:..-=.;~_,'."---"----'-'-;AL~!J c'Y----(SEAL) Barbara J.Angel __________________(SEAL) Buyer .~... THIS AGREEMENT shall become null and void and the earnest money deposit returned 10 the Buyer.at the option of the Buyer,unless a copy hereof signed by Seller shall have been delivered to Buyer within .days from the date hereof. ACCEPTANCE NOW,this.~day of February ,19 -.BD....-,the foregoing Agreement is hereby accepted by Seller. Assistant (SEAL) Trust Officer,First National Bank &Trust Co.,Washington Pa••Guardian of the ESr§1tQ of Katherine Kline,merincompefenf--A) ____(SEAL) Se\ler _______(SEAL) Seller ©Greater Pittsburgh Board of Realtors -Allegheny County Bar Association 1985 4 ..'.. ~--~----------------------------------r---, AFFIDAVIT OF VALUE COMMONWEALTH OF PENNSYLVANIA : COUNTY OF WASHINGTON ..SSe Before me,the undersigned authority,personally appeared DONALD E.YORK who,being duly sworn,deposes and says that:he has inspected the real property which is to be sold by the Estate of Katherine Kline,an incompetent,to Charles D.Angel and Barbara J.Angel,husband and wife,he is acquainted with the value of real estate in the locality of such property, he"is not personally interested in the proposed sale,and in his opinion the proposed consideration of $22,000.00 is more than can be obtained at public sale of the subject property. Sworn to and subscribed before me this ~day of"~$&ed'") ,1986 N,ARY ,/\,'f ....:N,j\lorory Plibilc Washington,Washington Co.,Pa. My Commission Expires May 23,1988 :eXHIBIT "e" .".. AFFIDAVIT OF VALUE COMMONWEALTH OF PENNSYLVANIA : COUNTY OF WASHINGTON : SSe Before me,the undersigned authority,personally appeared DOLLY P.WAGERS,who,being duly sworn,deposes and says that: she has inspected the real property which is to be sold by the Estate of Katherine Kline,an incompetent,to Charles D.Angel and Barbara J.Angel,husband and wife,she is acquainted with the value of real estate in the locality of such property,she is not personally interested in the proposed sale,and in her opi- nion the proposed consideration of $22,000.00 is more than can be obtained at public sale of the subject property. ~~vPtu rv-JDo~Wagers ~ Sworn to and subscribed before me this ~day /' EXHIBIT "D" (, .~i , ·..(I VERIFICATION I verify that the statements made in the foregoing document are true and correct to the best of my knowledge,information and belief.I understand that false statements herein are made sub- ject to penalties of 18 Pa.C.S.§4904,relating to unsworn falsi- fication to authorities. Assistant Trust Officer First National Bank &Trust Co., Washington,Pa. I I .-. '.\ .-, ~.- .,. 'r" ..j ,.~ ....".. •'< ........T.t-,.,""..,.., ~..." .....-, " ') t .. _~.r " .1"' ,. '.. ,." IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PE~~SYLVANIA ORPHANS'COURT DIVISION IN RE: " ESTATE OF KATHERINE KLINE, an alleged incompetent.•• No.63-71-887 PRELIMINARY ORDER AND NOW,this ~m day of ;J1~,1986,in con- sideration of the annexed petition and on motion of attorneys for petitioner,a notice by certified mail,return receipt requested shall be given to: Martha L.Jurovcik R.D.1,Box 248 Bentleyville,PA 15314 Jo Ann Ward 1410 Difford Drive Niles,Ohio 44446 to show cause why the premises,431 Main Street,New Eagle, Pennsylvania,and as fully described in said petition,should not be sold to Charles D.Angel and Barbara J.Angel,husband and wife,for a sales price of $22,000.00 under the terms of agreement of sale attached to said petition.A hearing on said petition shall be held on ~I~,1986 at If:SI')fm.in Courtroom NO~,Courthouse,Washington,Pennsylvania,at which time the Court will consider approval of the said private sale and will entertain other offers of sale for the subject real estate in accordance with the applicable rules of court. BY ~rHE COURT, .. IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS COURT DIVISION IN RE: OUNTY OF WASHINGTON SS AFFIDAVIT OF SERVICE No.63-71-887 Before me,the undersigned authority,personally appeared OMMONWEALTH OF PENNSYLVANIA STATE OF KATHERINE KLINE, n incompetent. nd "saY$that he is the attorney for First National Bank &Trust tta~hed hereto,together with a copy o£the subject Petition and .Lynn DeHaven,who,being duly sworn according to law,deposes rder,by certified mail,to the following: 0:,~ashington,Pa.,guardian of the Estate of Katherine Kline, n incompetent;that pursuant to Order of Court dated March 24, 986~h~did mail on March 24,1986,a Notice,a copy of which is "Martha L.Jurovcik R.D.#l,Box 248 Bentleyville,PA 15314 Jo Ann Ward 1410 Difford Drive Niles,Ohio 44446; hat said Notice was received by the addressees as evidenced by he return receipts attached hereto. /L~av~ Attorney for First National Bank &Co.,Washington,Pa., guardian of the Estate of Katherine Kline,an incompeten . ).worn to and subscribed ,', ",))I '.,'h:n:j:i1 Co.Pa. .:xpircs Mel'23.1988 \;r:<~ Nt.,;Corr·.:ili~ -I->'--4£~4P:..:se:"j'U'1:-.-,1986. ?3%'cU-~ f efore me this /IJ tJ,.day IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE qF KATHERINE KLINE, an alleged incompetent. NOTICE No.63-71-887 This notice is given to you pursuant to the Order of the Orphans'Court Division of the Court of Common Pleas,Washington County,Pennsylvania,dated March 24,1986,a copy of which Order and annexed Petition is enclosed herewith.Please be advised that the Court has directed you to show cause,if any, why the premises,431 Main Street,New Eagle,Pennsylvania, should not be sold to Charles D.Angel and Barbara J.Angel for a sales price of $22,000.00 under the terms of an Agreement of Sale qttached to the enclosed Petition.The Court will hold a hearing in this matter on April 14,,1986 at 1:30 -P.m.in Courtroom No.~,Courthouse,Washington,Pennsylvania,at which time the Court will consider approval of said sale and will also entertain higher offers for the purchase of said property in accordance with the applicable rules of court. ". BECK AND DElIAVEN ATTORNEYS AT LAW SO SOUTH MAIN STREET.SUITE 103 WASHING!TON.PEN.NSYl;VANIA 1!l301 TELI:~HCI'l£C4~·2),2215.15270 . j " ,. ~c~/./#-<'??zl O~'~//~~ /.-:;... l ," " "":[ .', 'J 711.EMPLOYEE'S INITIALS AJlTICj,E NUMBEII P308108~A6 7.UNABI.£TO DEUVER BECAUS~ 8.ADDRESSEE'S ADDRESS (Only ifrequtSler1) (Always obtain signature ofaddressee ~r agent) ToTAL L..-:.·1 I have received the article described above;'": 51 RE 0 Addressee 0 Authorized agent ~~ ~AR'TICI.£~~Tl): Jo Ann Ward 1410 Difford Drive ...TYPE OF SERVICE:oREGISTEReD 0 INSUReD gCERTIFJED 0 CODoEXPRESSMAIL •5EIIDER:Complete items 1,2,3,and 4. Add youraddress in the "RETURN.TC!'6pa~ on reverse. (CONSULT POSTMASTER FOR FEES) 1.The following service is requested (check one),rn Show to whom and date delivered ~7LoShowtowhom,date,and address ofdelivery ,.-¢ 2.0 RESTRICTED DELIVERY _¢ (The'restricteddeliveryfee is chQrged in addition lQ' th~return ~ipt ftNh). ...i~__.._.....-" II \ I ~.t ~I ~ flIi1 t 0'1 0'\0IJ-l •SENDER:Complete Items 1,2,3,and 4...::.--\..Add your address in the "~ETURf\tTO"space on reverse..(CONSULT POSTMASTER FOR FEES) 1.The following service is requested (check one). Ga Show to whom and date delivered .....................7.Sl¢o Show to whom,date,and address of delivery......:...4 2.0 RESTRICTED DELIVERY -..Jt(The restricteddeliveTfee is charged in Qddition tothereturn,receipt fee. TOTAL L- .3.•ARTlCLE~TO:Martha L.Jurovcik R.D.tIl,Box 248 Bentleyville,PA 15314 .c.TYPE OF SERVICE:ARTICLE NUMBS'oREGISTERED oINSUReD BCERTIfIED D~D P308108480oEXPRESS'MAIL (Always obtain signature ofaddressee oragent) I have received the article described above:. ~";;'"'0 Add""",0 A,thoriud>gent 5 A-r-iJ..oJ (J.u A A ~'-,~:4 VDATE OF D£UYERY'tf'POSTMARK 3 -z.r;F ,6 6.ADOR~'S 400RESS (Only ifrequested) 7.UNABLE TO DEUVER BECAUSE:7a.EMPLOYEE'SINmALS 1 0'1o \0 IJ-l P 308 1108 480 RECEIPT FOR CERTIFIED MAIL NO INSURANCE COVERAGE PROVIOED- NOT FOR INTERNATIONAL MAil (See Reverse)L-609 P 308 '108 446 RECEIPT FOR CERTIFIED MAIL NO INSURANCE COVERAGE PROVIDED- NOT FOR INTERNATIONAL MAil (See Reverse)L-609 CERTIFIED FEE .75 ¢ en SPECIALDELIVERYw ¢~ oc:RESTRICTED DELIVERY ¢ lr ""en w SHOWTO WHOM AND ¢w w <.>DATEDELIVERED...<.>en :;::;:~7_0cE"":::E oc:w SHOWTO WHOM.DATE.w en...en AND ADDRESS OF ¢en E:f -'DELIVERYcEi!i !:i z <.>=w SHOWTO WHOM AND DATE ::::l ii:""DElIVERED WITH RESTRICTE ¢en =z DELIVERYz""=::::><.>t:i SHDWTDWHDM,DATE AND oc:ADDRESS OFDELIVERY WITH ¢ 10 RESTRICTED DELIVERYr-~~.O/..:0-« 800.... E...0~ ellc.. SENTTO Jo Ann Ward STREETAND NO. P.O.Mi-~W-t&l%d-l}l'-i-ve~---l I--~l.!,..w;;.i:)-+-~l-M~='-'-r::----;::t..,.--t ¢ ¢ .70 .75 ¢CERTIFIED FEE SENTTO ~rtha L.Jurovcik STREET AND NO. R..Jl.JtL Box 248 P,O.,STATE AND ZIP CODE e ville PA 1531 POSTAGE $ en SPECIAL DELIVERYw~ oc:RESTRICTED DELIVERY=... oc:en w SHOW TO WHOM ANDww<.>DATE DELIVERED...<.>:;:en :;:cE oc: :Ii oc:w SHOW TO WHOM.DATE,w en...en AND ADDRESS OFen-'E:f cE i!i DELIVERY !:i z <.>=w SHOW TO WHOM AND DATE ::::l ii:oc:DELIVERED WITH RESTRICTEenz=z DELIVERYoc:=::::l<.>t:i SHOW TO WHOM.DATE AND oc:ADDRESS OF DELIVERY WITH 10 RESTRICTED DELIVERYr-0\ ..:0-« 800.... E...0~ ellc.. --_._--- IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION J IN RE: ESTATE OF KATHERINE KLINE, an alleged incompetent. : .. ORDER No.63-71-887 AND NOW,this 14th day of April,1986,after proof of cer- tified mail notice in accordance with order of court dated March 24,1986,and in consideration of the foregoing petition and furthe~in consideration that no other person has offered a higher price for the subject real estate than that to be paid by the proposed purchaser named In the petition,it is ORDERED and DECREED that the sale by First National Bank &Trust Co., ,. Washingt~n,Pa.,guardian of the Estate of Katherine Kline,an -.. incompetent,of real estate known as 431 Main Street,New Eagle, Washington County,Pennsylvania,to Charles D.Angel and Barbara J~Angel,for a sales price of $22,000.00 under the terms of agreement of sale attached to the foregoing petition,is hereby approved and the said guardian is authorized to consummate said sale under the terms of the said agreement of sale. BY THE COURT, ~/)------~..:..-:..-_r:._r_------J • " .,. •r I I _f .', ,l ~'. ,, ::tJ /'71 G) (') ,-i I'll::u N1o .'-'f ~.~-.r ". ''(. t.,"" Recei\l8d From: R.D.lll Box 248 BECK and DeHAVEN U.S.POSTAL SERVICE CERTIFICATE OF MAILING BentleYVille,PA 15314 MAY BE USED FOR DOMESTIC AND INTERNATIONAL MAIL,DOES NOT PROVIDEFORINSURANCE-POSTMASTER ~~:?9~~3817 .."'""'.i:s.GOVERNMENT PRINTING OFFICE:1984 .756-B6s ------ :.u , •l.~~_.•I.("") --------- Jo Ann Hard U.S.POSTAl~SERVICE CERTIFICATE OF MAILING 1410 Difford Drive Niles DH 44446 MAY BE USED FOR DOMESTIC AND)NTERNATIONAlFORINSURANCE-POSTMASTER ~~:?:,~3817 "'u.S.GOVERNMENT PRINTING OFFICE:1984 _756-868 0\o Recei\l8d From:'"~BECK and DeHAVEN 30 South Mai.a £tn~et' ------- •i ...~... 1 ,~":::: 'J):r: ---(J)C:"«~~ t :;;: ,.t.:) c::::0_a: wCD ,, ,j IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA KATHERINE KLINE, AN INCOMPETENT ORPHANS'COURT DIVISION NO.63-71-887 FIRST AND FINAL ACCOUNT "CODE GUARDIAN " FILED ON BEHALF OF FIRST NATIONAL BANK AND TRUST COMPANY OF WASHINGTON,PA, SUCCESSOR GUARDIAN COUNSEL OF RECORD MARK F.GEARY,ESQUIRE PA 1.0.#00589 STEGENGA/GEARY FIRM # 516 WASHINGTON TRUST BUILDING WASHINGTON,PA 15301 (412)222-4880 ,...."•••"gLOIl l:,)\~nj;",~.), d 'f tJ at I hav"uiven Legal notice to all persons10certty1.... ..the manner pre-concerned of the fiting of the Wi-.,:";i.;:count £n .R I .',.'as evidenced by proofs'bed b Statue ,r••d .u~e OJ ,-,VI,"', sm ,_"~ tllereof filed to No.~.l3 -9tJ ()j W ha"""'·'d officiaL seal this 9?~.~d.<L~itness my ••~>v,,. f'(11 ~,19.f..t!.••'·--T'U ..·....··!fl A.&p-.-.~...J-JA"'11 ..~...~._..~~..._~l,f.....~•.•.~f :J.n..:···-~··,]',:.•I .......•~Iister~,,~:.r-..•\ \\ \ \ ~--_."---- I !.__-1 BECK AND DEHAVEN ATTORNEYS AT LAW SO SOUTH MAIN STREET •SUITEIO~ WASHI~GTO~:PENNSYLVANIA I!S30 \ TELIll'HONE '4'2)U!5,jZ70 cf ...: .' i"'°"',4 •{~";I .'., I l.l.'"...... •'f I ••• KATHERINE KLINE,AN INCOMPETENT FIRST AND FINAL ACCOUNT OF FIRST NATIONAL BANK AND TRUST COMPANY SUCCESSOR GUARDIAN STATED FROM DECEMBER 22,1981 TO MAY 2,1990 (DATE OF DEATH OF KATHERINE KLINE JULY 1,1987) SUMMARY AND INDEX J• PRINCIPAL -PERSONALTY RECEIPTS NO GAIN OR LOSS ON CONVERSIONS LESS DISBURSEMENTS BALANCE BEFORE DISTRIBUTIONS LESS DISTRIBUTIONS FOR WARD INVESTMENTS CAPITAL CHANGES PAGES 3-5 5-6 SUB-TOTAL 6 7-8 9 9-10 $52,278.54./ 0.00 $52,278.54 /7,008.09 $45,270.45 ./44,267.07 PRINCIPAL -PERSONALTY BALANCE REMAINING INCOME -PERSONALTY $1,003.38 ..-- RECEIPTS LESS DISBURSEMENTS BALANCE BEFORE DISTRIBUTIONS LESS DISTRIBUTIONS FOR WARD 10-11 12 12-14 $33,978.95 / 9,266.83 $24,712.12 23,244.42 /' INCOME -PERSONALTY BALANCE REMAINING 1,467.70 c/ "-" KATHERINE KLINE,AN INCOMPETENT PRINCIPAL -REALTY RECEIPTS NET GAIN ON CONVERSION LESS DISBURSEMENTS SUMMARY AND INDEX (CONTINUED) PAGES 14 15 SUB-TOTAL 15 $4,000.00 14,960.83 $18,960.83 18,960.83 PRINCIPAL -REALTY BALANCE REMAINING INCOME -REALTY $0.00 RECEIPTS LESS DISBURSEMENTS INCOME -REALTY BALANCE REMAINING COMBINED BALANCE REMAINING 15-16 16-19 $17,410.50 17,410.50 0.00 $2,471.08 ----------_._------------------------, KATHERINE KLINE,AN INCOMPETENT COMPOSITION OF NET BALANCES ACCOUNT VALUE PRINCIPAL -PERSONALTY TEMPORARY INVESTMENT $1,000 FEDERATED TRUST FOR SHORT-TERM UNITED STATES GOVERNMENT SECURITIES FUND (TREAT AS CASH) *CASH TOTAL PRINCIPAL -PERSONALTY INCOME -PERSONALTY *CASH COMBINED TOTALS *NOTE:ALL CASH IS INVESTED IN FEDERATED TRUST FOR SHORT-TERM UNITED STATES GOVERNMENT SECURITIES FUND -2- $1,000.00 3.38 $1,003.38 1,467.70 $2,471.08 KATHERINE KLINE,AN INCOMPETENT PRINCIPAL -PERSONALTY RECEIPTS PRIOR AWARD 03/05/82 BARRETT G.GREENLEE,GUARDIAN OF THE ESTATE OF KATHERINE KLINE,AN INCOMPETENT LIFE INSURANCE PROCEEDS CHECK FROM PRUDENTIAL INSURANCE COMPANY ON THE LIFE OF HOMER GATES,DECEASED $552.47 03/05/82 BALANCE OF FUNDS IN GUARDIAN'S CHECKING ACCOUNT AT FIRST NATIONAL BANK AND TRUST COMPANY, FREDERICKTOWN OFFICE 1,976.82 $2,529.29/ SUBSEQUENT RECEIPTS 04/01/82 REFUND OF CREDIT BALANCE ON EQUITABLE GAS COMPANY FINAL BILLING #1-29-165-274705-3 04/14/82 REFUND FOR SERVICE AND EQUIPMENT NOT USED FROM BELL TELEPHONE #412-258-7959 01/13/83 REFUND OF CREDIT BALANCE ON WEST PENN POWER COMPANY FINAL BILLING #4-265001 11/04/82 CHRISTMAS CLUB CHECK RECEIVED FROM EQUIBANK 06/03/83 ERIE INSURANCE COMPANY CHECK FOR CLAIM P-522-212 JAY MCCABE ACCIDENT 05/13/83 ~09/07/83 CHATTAWAY AGENCY (FAIR PLAN) REFUND OF INSURANCE PREMIUM PENDING INSPECTION OF PROPERTY -3- $29.04 2.85 28.48 8.00 1,775.00 100.00 KATHERINE KLINE,AN INCOMPETENT RECEIPrS (CONTINUED) SUBSEQUENT RECEIPrS (CONTINUED) RECEIVED AS BENEFICIARY OF HOMER E.GATES LIFE INSURANCE POLICIES AS FOLLOWS: METROPOLITAN #8052662A 04/13/82 $1,129.43 PRUDENTIAL #188-0016840 04/13/82 578.13 EQUITABLE #X1531037 OS/20/82 3,746.83 1/2 INTEREST IN VARIOUS POLICIES 11/04/82 3,616.41 EQUITABLE #04574047 02/11/83 500.00 $9,570.80 L MEDICARE REIMBURSEMENT HOSPITAL AND AMBULANCE CHARGES 08/17/82 -06/12/86 228.48 BLUE SHIELD REIMBURSEMENT HOSPITAL AND AMBULANCE CHARGES 05/14/85 -06/19/86 34.12 COMMONWEALTH OF PENNSYLVANIA 1982 RENT REBATE 08/10/83 $56.00 1983 RENT REBATE 07/20/84 384.00 440.00 -- PAYMENT FROM MR.AND MRS. JOSEPH FILTZ FOR PURCHASE OF HOUSEHOLD GOODS: REFRIGERATOR 03/04/85 $75.00 BEDROOM FURNITURE 09/04/85 75.00 WASHER AND DRYER 11/04/85 100.00 FREEZER 11/07/85 75.00 TELEVISION 02/06/86 75.00 COUCH 03/07/86 50.00 -4- 450.00 ~ KATHERINE KLINE,AN INCOMPETENT RECEIPTS (CONTINUED) SUBSEQUENT RECEIPTS (CONTINUED) FIRST NATIONAL BANK AND TRUST COMPANY OF WASHINGTON,PA, SUBSTITUTED TRUSTEE UNDER THE WILL OF HOMER E.GATES, DECEASED FUNDS TRANSFERRED FOR EXPENSES 04/04/84 - 10/09/85 $18,131.65 $30,798.42 $33,327.71 FROM PRINCIPAL -REALTY ACCOUNT AMOUNT TRANSFERRED FOR INVESTMENTS TOTAL PRINCIPAL -PERSONALTY RECEIPTS PRINCIPAL CONVERSIONS INTO CASH 18,950.83 $52,278.54 GAIN/LOSS $12,658.35 FIRST NATIONAL BANK AND TRUST COMPANY SHORT-TERM CERTIFICATES OF DEPOSIT PROCEEDS REDEMPTION 03/30/82 -06/02/82 CARRYING VALUE $15,128 UNITED STATES GOVERNMENT SHORT-TERM SECURITIES TRUST PROCEEDS REDEMPTION 07/08/82 -12/14/82 CARRYING VALUE $76,229.47 FIRST NATIONAL BANK AND TRUST COMPANY MONEYMARKET MONEYTREE ACCOUNT PROCEEDS REDEMPTION 12/16/82 -OS/29/86 CARRYING VALUE -5- $12,658.35 12,658.35 $15,128.00 15,128.00 $76,229.47 76,229.47 $33,954.47 33.954.47 KATHERINE KLINE,AN INCOMPETENT PRINCIPAL CONVERSIONS INTO CASH (CONTINUED) $33,954.47 FEDERATED TRUST FOR SHORT-TERM UNITED STATES GOVERNMENT SECURITIES FUND PROCEEDS REDEMPTION 06/03/86 -05/02/90 CARRYING VALUE GAIN/LOSS NO GAIN OR LOSS TRANSFERRED TO SUMMARY PAGE PRINCIPAL -PERSONALTY DISBURSEMENTS 04/05/83 FIRST NATIONAL BANK AND TRUST COMPANY OF WASHINGTON,PA TAX PREPARATION FEE FOR 1982 INDIVIDUAL INCOME TAX RETURNS 06/20/86 GREENLEE,DERRICO,POSA,HARRINGTON AND ROGERS PROFESSIONAL SERVICES PER STATEMENT DATED 11/24/82 09/21/87 GREENLEE'S FUNERAL HOME,LTD BURIAL SERVICES CLERK OF ORPHANS'COURT OF WASHINGTON COUNTY,PENNSYLVANIA COST OF FILING THIS ACCOUNT $ $ 0.00 75.00 2,210.00 2,500.00 105.00 FIRST NATIONAL BANK AND TRUST COMPANY OF WASHINGTON,PA GUARDIAN'S FEE 12/21/81 -03/10/83 BALANCE DUE ACCOUNTING SERVICES TO INCOME -PERSONALTY ACCOUNT AMOUNT TRANSFERRED FOR DISBURSEMENTS -6- $628.77 1.14 500.00 /1,129.91 $6,019.91 988.18 $7,008.09 KATHERINE KLINE,AN INCOMPETENT PRINCIPAL DISTRIBUTIONS FOR WARD DISTRIBUTIONS IN ACCORDANCE WITH ORDER OF COURT DATED 09/23/83 FAIRVIEW VALLEY RETIREMENT HOME CARE AND MAINTENANCE 11/01/82 -05/31/85 $17,663.06 HUMBERT LANE HEALTH CARE CENTER CARE AND MAINTENANCE 06/01/85 -04/30/87 21,063.81 CENTERVILLE PHARMACY PRESCRIPTIONS 01/19/84 -12/27/84 256.75 STANDARD PHARMACY PRESCRIPTIONS PER STATEMENTS DATED 05/12/84 -05/07/85 467.63 MONONGAHELA EMERGENCY PHYSICIANS EXTENDED SERVICE 04/18/85 80.00 BENTWORTH AMBULANCE SERVICE SERVICE RENDERED 04/18/85 -OS/21/85 180.00 RICHEYVILLE AMBULANCE CORPS SERVICE RENDERED 04/26/85 -OS/29/85 144.00 BLUE CROSS OF WESTERN PENNSYLVANIA PREMIUM PAYMENTS 03/01/84 -05/01/84 11/01/84 -03/01/85 05/01/85 -07/01/85 354.50 HALL-COPPULA ASSOCIATES MEDICARE DEDUCTIBLE 03/11/87 51.00 PENNSYLVANIA DEPARTMENT OF REVENUE 4TH INSTALLMENT 1984 ESTIMATED INDIVIDUAL INCOME TAX 9.00 -7- 661.00 KATHERINE KLINE,AN INCOMPETENT PRINCIPAL DISTRIBUTIONS FOR WARD (CONTINUED) DISTRIBUTIONS IN ACCORDANCE WITH ORDER OF COURT DATED 09/23/83 EXPENSES RE PROPERTY SITUATE 431 -433 MAIN STREET,NEW EAGLE,PA LOTS 19 AND 20,WITH TWO STORY FRAME HOUSE PAUL R.DELVITTO HOUSE REPAIRS DUE TO DAMAGE FROM 05/13/83 ACCIDENT 06/03/83 -06/24/83 $1,775.00 TAYLOR ROOFING ROOF REPAIR 09/07/84 425.00 DON RUSCHAK AGENCY FIRE INSURANCE 10/15/83 -10/15/85 752.00 JOHN F.YONEY,TAX COLLECTOR WASHINGTON COUNTY REAL ESTATE TAX 1984 -1985 111.23 WEST PENN POWER COMPANY ELECTRIC SERVICE AND EQUIPMENT 01/30/84 -02/29/84 03/29/84 -06/28/84 07/30/84 -11/28/84 153.09 EQUITABLE GAS GAS SERVICE 03/13/84 -07/11/84 09/10/84 -12/11/84 -1 FIRST NATIONAL BANK AND TRUST COMPANY OF WASHINGTON,PA, SUBSTITUTED TRUSTEE UNDER THE WILL OF HOMER E.GATES, DECEASED FUNDS TRANSFERRED FOR EXPENSES 120.00 TOTAL PRINCIPAL -PERSONALTY DISTRIBUTIONS TOTAL PRINCIPAL -PERSONALTY DISBURSEMENTS -8- $44.267.07 $51,275.16 KATHERINE KLINE,AN INCOMPETENT PRINCIPAL INVESTMENTS $12,658.35 FIRST NATIONAL BANK AND TRUST COMPANY SHORT-TERM CERTIFICATES OF DEPOSIT 03/15/82 -05/18/82 $15,128 UNITED STATES GOVERNMENT SHORT-TERM SECURITIES TRUST OS/27/82 -12/07/82 $76,229.47 FIRST NATIONAL BANK AND TRUST COMPANY MONEYMARKET MONEYTREE ACCOUNT 12/14/82 -05/15/86 $34,954.47 FEDERATED TRUST FOR SHORT-TERM UNITED STATES GOVERNMENT SECURITIES FUND OS/29/86 -02/16/90 CASH DISBURSED TO PURCHASE THE ABOVE ASSETS PRINCIPAL CAPITAL CHANGES $12,658.35 15,128.00 76,229.47 34.954.47 $138,970.29 138.970.29 $0.00 FIRST NATIONAL BANK AND TRUST COMPANY SHORT-TERM CERTIFICATES OF DEPOSIT $12,658.35 PURCHASED 03/15/82 -05/18/82 12,658.35 REDEEMED 03/30/82 -06/02/82 UNITED STATES GOVERNMENT SHORT-TERM SECURITIES TRUST $15,128 PURCHASED OS/27/82 -12/07/82 15,128 REDEEMED 07/08/82 -12/14/82 FIRST NATIONAL BANK AND TRUST COMPANY MONEYMARKET MONEYTREE ACCOUNT $76,229.47 PURCHASED 12/14/82 -05/15/86 76,229.47 REDEEMED 12/16/82 -OS/29/86 -9- $12,658.35 12,658.35 $15,128.00 15,128.00 $76,229.47 76,229.47 ------------------------------------, KATHERINE KLINE,AN INCOMPETENT PRINCIPAL CAPITAL CHANGES (CONTINUED) FEDERATED TRUST FOR SHORT-TERM UNITED STATES GOVERNMENT SECURITIES FUND $34,954.47 PURCHASED OS/29/86 -02/16/90 33,954.47 REDEEMED 06/03/86 -05/02/90 $1,000.00 INCOME -PERSONALTY RECEIPTS PRIOR AWARD BARRETT G.GREENLEE,GUARDIAN OF THE ESTATE OF KATHERINE KLINE,AN INCOMPETENT $34,954.47 33,954.47 $1,000.00 SOCIAL SECURITY CHECK FOR FEBRUARY 1982 03/05/82 FUNDS HELD ON PERSON OF KATHERINE KLINE UPON ADMISSION TO MON VALLEY HOSPITAL 12/29/81 $221.10 269.00 BLUE SHIELD MEDICARE PAYMENT 04/22/82 EQUITABLE LIFE POLICY #04574047 ON HOMER E.GATES,DECEASED INTEREST 02/11/83 DIVIDEND 02/11/83 JOHN A.AND DAWN S.FRAGELLO PROCEEDS FROM PURCHASE OF ELECTRIC KITCHEN STOVE 03/27/85 STALE DATED FIRST NATIONAL BANK CHECK #40853 DATED 05/04/84 PAYABLE TO MARTHA JUROVCIK 04/17/86 $79.29 334.14 14.00 413.43 150.00 0.81 FIRST NATIONAL BANK AND TRUST COMPANY OF WASHINGTON,PA,SUBSTITUTED TRUSTEE UNDER THE WILL OF HOMER E.GATES,DECEASED FUNDS TRANSFERRED FOR EXPENSES 04/25/84 -10/02/86 -10- 2,044.72 ---------------------------------, KATHERINE KLINE,AN INCOMPETENT RECEIPTS (CONTINUED) TREASURER OF THE UNITED STATES SOCIAL SECURITY PAYMENTS 03/01/82 -05/31/82 3 MONTHS AT $221.10 PER MONTH 06/01/82 -11/30/83 18 MONTHS AT $237.00 PER MONTH 12/01/83 -12/31/83 1 MONTH AT $243.00 PER MONTH 01/01/84 -11/30/84 11 MONTHS AT $250.00 PER MONTH 12/01/84 -11/30/85 12 MONTHS AT $258.00 PER MONTH 12/01/85 -11/30/86 12 MONTHS AT $267.00 PER MONTH 12/01/86 -06/30/87 7 MONTHS AT $268.00 PER MONTH FIRST NATIONAL BANK AND TRUST COMPANY SHORT-TERM CERTIFICATES OF DEPOSIT $12,658.35 03/15/82 -06/02/82 FIRST NATIONAL BANK AND TRUST COMPANY MONEYMARKET MONEYTREE ACCOUNT 12/14/82 -OS/29/86 UNITED STATES GOVERNMENT SHORT TERM SECURITIES TRUST OS/27/82 -12/14/82 FEDERATED TRUST FOR SHORT-TERM UNITED STATES GOVERNMENT SECURITIES FUND OS/29/86 -04/30/90 FROM PRINCIPAL -PERSONALTY ACCOUNT AMOUNT TRANSFERRED FOR DISBURSEMENTS FROM INCOME -REALTY ACCOUNT AMOUNT TRANSFERRED FOR EXPENSES TOTAL INCOME -PERSONALTY RECEIPTS -11- $663.30 4,266.00 243.00 2,750.00 3,096.1)0 3,204.00 1.876.00 $16,098.30,....- 106.12 1,254.12 570.17 1.585.91/, $22,727.68 988.18 10,263.09 $33,978.95 ~ KATHERINE KLINE,AN INCOMPETENT INCOME -PERSONALTY DISBURSEMENTS KATHLEEN FLYNN REDA,REGISTER OF WILLS AND CLERK OF ORPHANS'COURT OF WASHINGTON COUNTY,PENNSYLVANIA FILING FEES AND COPIES OF ORDERS OF COURT 12/22/81 -04/16/86 04/30/84 FIRST NATIONAL BANK AND TRUST COMPANY OF WASHINGTON,PA 1983 INDIVIDUAL INCOME TAX PREPARATION FEE 09/11/85 FIRST NATIONAL BANK AND TRUST COMPANY OF WASHINGTON,PA FILM PROCESSING FOR PICTURES TAKEN OF PROPERTY 12/18/89 FIRST NATIONAL BANK AND TRUST COMPANY OF WASHINGTON,PA ANNUAL ADMINISTRATIVE CHARGE BECK AND DEHAVEN PROFESSIONAL SERVICES RENDERED 05/31/84 -06/02/86 FIRST NATIONAL BANK AND TRUST COMPANY OF WASHINGTON,PA. ANNUAL PRINCIPAL COMPENSATION TAKEN 04/10/83 -04/23/90 $24.00 75.00 10.00 100.00 3,034.58 '- 3,774.17 FIRST NATIONAL BANK AND TRUST COMPANY OF WASHINGTON,PA INCOME FEES FOR PERIOD 03/31/83 -05/02/90 INCOME DISTRIBUTIONS FOR WARD MONONGAHELA VALLEY HOSPITAL SERVICES RENDERED PER STATEMENT DATED 12/24/81 02/23/82 -04/05/82 CENTERVILLE CLINICS,INCORPORATED PAYMENTS ON ACCOUNT 04/21/82 -01/24/86 -12- $151.22 249.32 2,249.08 / $9,266.83 KATHERINE KLINE,AN INCOMPETENT INCOME DISTRIBUTIONS FOR WARD (CONTINUED) MONONGAHELA EMERGENCY PHYSICIANS PROFESSIONAL SERVICES RENDERED 12/31/81 -04/22/82 $52.00 FRED S.KLEIN,M.D. PHYSICAL EXAM AND BLOOD SUGAR,OFFICE CALL 03/19/82 OFFICE VISIT 07/13/82 $195.00 25.00 220.00 WILLIAM M.REILLY,JR.,M.D. EYE EXAM VISIT 05/03/82 HALL-COPPULA ASSOCIATES PAYMENT PER MARCH STATEMENT 04/01/86 MEDICAL HOME CARE SERVICE MEDICAL EQUIPMENT RENTALS 04/15/82 -03/18/85 TRI-COMMUNITY AMBULANCE SERVICE PAYMENTS PER INVOICES OF 10/12/81 AND 12/16/81 04/15/82 WASHINGTON AMBULANCE AND CHAIR SERVICE MEMBERSHIP 02/20/87 FAIRVIEW VALLEY RETIREMENT HOME CARE AND MAINTENANCE 02/01/82 -06/30/85 HUMBERT LANE HEALTH CARE CENTER CARE AND MAINTENANCE 08/01/85 -09/30/85 CENTERVILLE PHARMACY PRESCRIPTIONS 12/24/81 -05/31/85 STANDARD PHARMACY PAYMENTS PER STATEMENTS 07/02/84 -06/18/85 -13- 35.00 24.70 477.25 68.00 40.00 14,036.94 3,099.01 927.51 496.89 918.15 KATHERINE KLINE,AN INCOMPETENT INCOME DISTRIBUTIONS FOR WARD (CONTINUED) BLUE CROSS OF WESTERN PENNSYLVANIA PREMIUM PAYMENTS 08/01/83 -09/01/87 $1,748.00 REFUND 08/13/87 44.00 $1,704.00 AMERICAN GENERAL LIFE INSURANCE COMPANY PREMIUMS ON LIFE INSURANCE POLICIES FOR THE YEARS 1982 -1987 03/16/82 -03/02/87 $27.00 33.00 70.00 154.00 375.00 BELL OF PENNSYLVANIA SERVICE AND EQUIPMENT 03/01/82 -03/31/82 CENTRE VIDEO CABLE TV PAYMENT 03/05/82 PENNSYLVANIA DEPARTMENT OF REVENUE INDIVIDUAL INCOME TAX FOR THE FOLLOWING YEARS: 1982 1983 1984 1985 1986 FIRST NATIONAL BANK AND TRUST COMPANY OF WASHINGTON,PA,SUBSTITUTED TRUSTEE UNDER THE WILL OF HOMER E.GATES, DECEASED FUNDS TRANSFERRED FOR EXPENSES 09/29/86 TOTAL INCOME -PERSONALTY DISTRIBUTIONS TOTAL INCOME PERSONALTY DISBURSEMENTS PRINCIPAL -REALTY RECEIPTS 11.40 5.70 659.00 .--- 68.33 $23,244.42 ------- $32,511.25 PROPERTY SITUATE 431 -433 MAIN STREET,NEW EAGLE, PA LOTS 19 AND 20,WITH TWO STORY FRAME HOUSE $4,000.00 -14- KATHERINE KLINE,AN INCOMPETENT REALTY CONVERSIONS INTO CASH GAIN/LOSS 05/14/86 PROPERTY SITUATE 431 -433 MAIN STREET,NEW EAGLE,PA LOTS 19 AND 20,WITH TWO STORY FRAME HOUSE PROCEEDS CARRYING VALUE k~\gr;; TOTAL GAIN TOTAL LOSS NET GAIN PRINCIPAL -REALTY DISBURSEMENTS EXPENSES RE SALE PROPERTY SITUATE 431 -433 MAIN STREET,NEW EAGLE, PA LOTS 19 AND 20,WITH TWO STORY FRAME HOUSE $18,960.83 4,000.00 $14,960.83 $14,960.83 0.00 $14,960.83 '----- 05/14/86 FEE FOR PREPARATION OF NO-LIEN LETTER $10.00 TO PRINCIPAL -PERSONALTY ACCOUNT AMOUNT TRANSFERRED FOR INVESTMENTS TOTAL PRINCIPAL -REALTY DISBURSEMENTS INCOME -REALTY RECEIPTS RENTS RACHEL A.KUZIO 12/81 -05/86 AT $60.00 PER MONTH 18,950.83 $18,960.83 $3,240.00 DORINE PANSERI 02/82 -02/86 AT $125.00 PER MONTH 03/86 -15- $6,125.00 62.50 £--6,187.50 KATHERINE KLINE,AN INCOMPETENT RECEIPrS (CONTINUED) RENTS (CONTINUED) ANNA HOUSEHOLDER 03/82 SECURITY DEPOSIT 03/82 -12/85 AT $100.00 PER MONTH LESS REIMBURSEMENT OF 1/2 OF SECURITY DEPOSIT 01/30/86 JOSEPH AND PAT FILTZ 1/85 SECURITY DEPOSIT 02/85 -05/86 AT $160.00 PER MONTH $100.00 4,600.00 $4,700.00 50.00 $185.00 2,560.00 L $4,650.00 2,745.00 GATEWAY OUTDOOR ADVERTISING COMPANY BILLBOARD LEASE #49 1982 -1983 AT $15.00 PER YEAR $30.00 1984 -1986 AT $35.00 PER YEAR 105.00 COMMONWEALTH OF PENNSYLVANIA 1984 RENT REBATE 135.00 288.00 COMMONWEALTH OF PENNSYLVANIA INFLATION DIVIDEND ON RENT REBATES FOR THE FOLLOWING YEARS: 1982 $ 1983 1984 TOTAL INCOME -REALTY RECEIPrS INCOME -REALTY DISBURSEMENTS EXPENSES RE PROPERTY SITUATE 431 -433 MAIN STREET,NEW EAGLE,PA LOTS 19 AND 20,WITH TWO STORY FRAME HOUSE 30.00 60.00 75.00 ~_--=1~6~5~.~0~0 $17,410.50 t../" WEST PENN POWER COMPANY ELECTRIC SERVICE 10/30/81 -01/01/85 LESS REFUND -16- $660.53 24.23 $636.30 KATHERINE KLINE,AN INCOMPETENT DISBURSEMENTS (CONTINUED) EXPENSES RE PROPERTY SITUATE 431 -433 MAIN STREET,NEW EAGLE,PA LOTS 19 AND 20,WITH TWO STORY FRAME HOUSE (CONTINUED) EQUITABLE GAS GAS SERVICE 11/09/81 -02/01/85 WESTERN PENNSYLVANIA WATER COMPANY WATER SERVICE 12/07/81 -06/07/82 ,, $1,748.79 25.36 BOROUGH OF NEW EAGLE WATER SERVICE 12/10/82 -06/10/82 SEWAGE CHARGE JOHN F.YONEY,COUNTY TREASURER WASHINGTON COUNTY REAL ESTATE TAX FOR THE FOLLOWING YEARS: 1982 1983 EVELYN M.COLOCCIA,TAX COLLECTOR NEW EAGLE BOROUGH REAL ESTATE TAX FOR THE FOLLOWING YEARS: 1982 1983 1984 1985 1986 EVELYN M.COLOCCIA,TAX COLLECTOR RINGGOLD SCHOOL DISTRICT REAL ESTATE TAX FOR THE FOLLOWING YEARS: 1982 1983 1984 PENNSYLVANIA MUNICIPAL SERVICE COMPANY 1982 RINGGOLD AREA SCHOOL DISTRICT PER CAPITA TAX -17- $38.00 38.77 $53.65 53.65 $76.72 76.72 70.82 73.91 91.79 $305.37 311.20 333.43 76.77 107.30 389.96 ---- 950.00 '--- 9.80 KATHERINE KLINE,AN INCOMPETENT DISBURSEMENTS (CONTINUED) EXPENSES RE PROPERTY SITUATE 431 -433 MAIN STREET,NEW EAGLE,PA LOTS 19 AND 20,WITH TWO STORY FRAME HOUSE (CONTINUED) FEDERAL INSURANCE COMPANY PREMIUM ON POLICY #FIP035086037 07/23/82 CHATTAWAY AGENCY 1 YEAR PREMIUM FOR FAIR PLAN FIRE INSURANCE 05/16/83 DON RUSCHAK AGENCY FIRE INSURANCE POLICY #MCI-26501 10/03/85 DEPENDABLE SALES COMPANY FURNACE REPAIR 10/09/85 PAUL JUROVCIK REPAIRS TO HOUSE PRIOR TO 03/22/82 04/15/82 FRYE LUMBER COMPANY,INCORPORATED MATERIALS FOR REPAIR IN 1981 10/21/82 THEODORE NECCIAI ROOF REPAIR 07/19/83 FIREDEX OF WASHINGTON,INCORPORATED REPAIRS FOR DAMAGE TO PROPERTY 12/27/83 CHARLES R•DAVENPORT ELECTRICAL REPAIR WORK 09/30/85 -11/07/85 TRI-STATE SUPPLY COMPANY,INCORPORATED ELECTRICAL MATERIALS PURCHASED FOR REPAIRS 10/11/85 -18- ,, $10.00 100.00 373.00 21.20 81.84 83.37 35.00 50.00 944.33 193.44 KATHERINE KLINE,AN INCOMPETENT DISBURSEMENTS (CONTINUED) EXPENSES RE PROPERTY SITUATE 431 -433 MAIN STREET,NEW EAGLE,PA LOTS 19 AND 20,WITH TWO STORY FRAME HOUSE (CONTINUED) MAIN STREET HARDWARE FIRE EXTINGUISHERS 01/22/85 DAVIS LOCKSMITH SECURITY SYSTEMS LABOR AND PARTS FOR LOCK INSTALLATION 02/12/86 BARTMAN PLUMBING AND HEATING PLUMBING WORK 08/29/85 CHRIS PATTERSON PARTIAL REIMBURSEMENT FOR REPAIRS 03/07/86 -05/02/86 KEZNOR AND SONS,INCORPORATED KITCHEN FAUCET REPAIR 01/17/86 JOSEPH D.SEVICK COMPANY PARTS AND LABOR FOR REPAIRS 01/22/86 -03/07/86 MERICO S.LIGNELLI APPRAISAL FEE AND INSPECTION 04/15/82 -05/10/83 $47.26 33.48 125.00 150.00 31.99 538.22 200.00 CHARLES D.ANGEL TRANSFER OF SECURITY DEPOSIT OF JOSEPH AND PAT FILTZ OS/23/86 TO INCOME -PERSONALTY ACCOUNT AMOUNT TRANSFERRED FOR EXPENSES TOTAL INCOME -REALTY DISBURSEMENTS -19- 185.00 $7,147.41 10,263.09 ~$17,410.50 '.< CGMMONWEALTH OF PENNSYLVANIA ) )SS: COUNTY OF WASHINGTON ) DONALD M.GAVETT,Trust Officer of FIRST NATIONAL BANK AND TRUST COMPANY OF WASHINGTON,PENNSYLVANIA,Successor Guardian of the Estate of Katherine Kline,An Incompetent,being dUly sworn,deposes and says that the foregoing First and Final Account,both as to the items of charge and •',~r·:discharge,is Just and true to the best of h1S knowledge and belief. FIRST NATIONAL BANK AND TRUST COMPANY Trust Officer Subscribed and sworn to by ~~D M.G~~~'before me2JhiSdayo~'-.J"t·fLg ,19 ~Sdf,~~.!Notary Public ;..:rr-_--:~~~-_---, NOTARIAL SEAL .,MICHELLE M.SAWCHUCK,Notary Public .Washington.Washington County My Commission Expires Jan.7.1991 REQUEST FOR DISTRIBUTION ... Accountant requests that distribution be determined by the Court in accordance with the Petition for Distribution to be offered in evidence at the audit of this account. FIRST NATIONAL BANK AND TRUST COMPANY . t·',".:__,..- ~-----..,.,.."....,...,.....,..,~",.....,..~~="","",",=r-=-...",.....-=-~-~----c:~----~~~~,..~,".:.,<"~~.~~,::,,,-,.J:<,'~~.~.~'f ~'.:~......•., -,.",#...~.-"";11'...-" .........,..~..~..._,"'''•.~:_-.......-._":",.C:--....r '\.. ESTATE of KATHERINE KLINE ,......;,......,,"./'7- In the Court of Common Pleas of WASHINGTON COUNTY,PA. ORPHANS'COURT DIVISION 71-0887No._ j \.0C) <-c::r- PRAECIPE FOR APPEARANCE WITHDRAWAL TQ Register of Wills Enter appearance for _ Please withdraw my appearance since Edward Morascyzk,Esquire now represents the estate. DATE:__J_u_l_y_1_0_,_1_9_9_0 ->-_ 516 Washington Trust Bldg.ADDRESS:_ Washington,PA LD.#589 15301 ".~ IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY, PENNSYLVANIA ORPHANS'COURT DIVISION ESTATE OF No.63-71-887 KATHERINE KLINE, AN INCOMPETENT In the matter of the First &Final Account of First National Bank and Trust Company of Washington,PA, Successor Guardian ADJUDICATION AND DECREE And now January :l ,199I~this matter having came on for hearing,audit and distribution and testimony taken;upon due consideration thereof,the balance for distribution in the hands of the Accountant is determined to be $1,781.21 and the account is accordingly confirmed;and it is ordered,adjudged and decreed that the said balance be paid out by the Accountant in accordance with the schedule of distribution hereto attached and made a part hereof,unless exceptions hereto, be filed sec.reg.or an appeal taken herefrom sec.leg. BY THE COURT,~(XI'~ THOMAS D.GLADDEN,P.J. SCHEDULE OF DISTRIBUTION Balance per account First and Final Account Filed $2,471.08 Additional Debt (Income) Additional Credit (Principal)$801.00 (Income)2.21 $113.34 $803.21 $2,584.42 Balance $1,781.21 Attorney J.LYnn DeHaven ... No.63-71-0887 To:Joann Ward and Martha L.Jurovick, Administrators of the Estate of Katherine Kline,Deceased Principal cash $202.38 Income Cash 1,578.83 -2- $1,781.21 NO BALANCE lu t4e <trnurt nf Qtnmmnu 'letts nf IItts4iugUtu <trnuuty (@rp4ttus 1 <trnurt mittisUtu In the matter of the Audit of Account in I Estate of,__.-IKI.lo,'Ac,A..Io,.,UH....EL.l.:R,l,oII...NlUE-......Ku.LoIoUIoIJ,JNL.oIoE~,'--_ an Incompetent TO THE AUDITING JUPGE: 88.7 ...1971No._-'--'--_ Enter__-'Qo.L>olll....r~---'appearance for__--=B:.::a~r~-=r..::e::..;t::::..t=--..::G~,o!.--G=r:...;e=..e=.n=l:..;e::.e=.'.L'_·...;.G::.u=a..::r:..;d;;.;L:::,·,..;:.:a=.n::.-_ ::Emm DERRICQ &PQS" 4th day of February .19~ N.B.-Counsel shall,by separate paper,present a concise statement of each claim,with supporting calculation of any interest claimed.Objections to an account as filed,shall be concisely s'tated in a separate paper. Council suggesting proper distribution shall file a separate concise state- ment in that regard. No.887 -1971 In re Audi,t of Account in Estate of KATHERINE KLINE, an Incompetent. AUDIT 'rarripr fnr J\ppraraurr FOR Barrett G.Greenlee, Guardian Attorn&;y GREENLEE,RICHMAN,DERRICO &POSA ATTORNEYS AT LAW WASHINGTON TRUST BUILDING WASHINGTON.PENNSYLVANIA 15301 of., " I.,.,.). Fonn for Guardian orTrustee "lition 8ur Aubit 1Jn m~t (@rp~an!i·<t!aurt af lIa1i~ingtan <naunty KATHERINE KLINE,Estate of .. For ~g ~9.-.s::S?~l?.~~.~g~. minor-incompetent-lite tenant Date oftmsx or guardianship 0.C.tQ.b.ex:l9.."l.9..7.l... If there have been former accounts filed iIi this,estate,l~st:",NONE Filed at No.....~.S..7..:::J..~.7.J....efX~...... .,Barrett G.Greenlee,FIducIary .. Guardian.... Place o~record 887 of 1971ofappolntment.. Reason for filing this account........Q§IJy..~.fy.....9..t.....~.§.§§.t..f}.....t.9......§.~E..§.~.~~.~.t.§....9.~.~E.Sl:,~?,!},!.,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,,First National Bank &Trust Company of Washlngton. All persons having any interest,vested or contingent (including claimants),in the fund now before the Court, with the nature of their interests are: Barrett G.Greenlee,Guardian Greenlee,Richman,Derrico and Posa First National Bank &Trust Company .~. For Commission Counsel Fees Substitute Guardian All of said parties have received notice as required by the Court Rules except as follows:No exceptions... "',... \':' The fund now before the Court is subject to the following taxes:None Set forth any legal problems requiring adjudication by the Court or difficulties that must be met in distribution: 1,•.C~nunission payableto Barrett G.Greenlee,Guardian: The Guardian has neither billed nor has been paid any conunission for administration of this Estate from his appointment on October 19, 1971 to date,a period of over ten years.Although his commission at a.xate of five percent'(5%)would amount of $3,245.00,he requests that the Court approve a-commission of $2,500.00,payment of which he would waive and would ask that said sum be paid instead to Greenlee Funeral Home for pre"':payment of the funeral expenses of Katherine Kline,and that said sum be held and invested by said Funeral Home forsuchpurpose.(Continued on attached statemenE) Balance for distribution per acco~lllt,Principal $.. Additional debits not shown in account: (Indicate whether income or principal) (SEE ATTACHED STATEMENT) Income $. Additional credits not shown in account: (Indicate whether income or principal) Balance for distribution Tofal additional debits Total additional credits Principal $.. Income $.. Total $. $. $. If the balance for distribution is not in cash,list items held in kind with carrying value designated,and if this is a distribution account,file elections to take in kind for all items so listed: BALANCE CQNSrSTS OF THE FO LQWlNG; - ,"'- Realty Personalty Cash in Bank TQTAL $10,OOO ..OD 1,200.00 l,~59.12 $13,159.12 ~cI- 2.Counsel Fees: The firm of Greenlee,Richman,Derrico &Posa has acted as Counsel to the estate from its inception to date and has been paid the following: " 1)October 19,1971 --fee for preparation of Petition for Appointment of Guardian and Hearing thereon 2)August 4,1972 --fee for preparation of Petition to Approve Loan to Estate $ $200.00 150.00 350.00 Counsel requests payment of a fee of $250.00 per year for the period from January,1972 to February 4,1982,a total fee of $2,500.00,less credit for the above payment of $350.00,or a net balance of $2,150.00 3.Katherine Kline is the beneficiary of approximately $9,000.00 of Life Insurance which is payable on the life of Homer E.Gates, deceased.These funds have not yet been received. 4.Katherine Kline is a beneficiary under the Will of Homer E.Gates, deceased,which was probated in December,1981,under which no distribution has yet been made. ..;; Balance for distribution,per First and Final Account Principal Income $11,200.00 3,503.93 $14,703.93 Additional Debits:(All Income) 1.Rents Received --Dorine Panseri for Beauty Shop,Dec.1981 and Jan.1982 2.Katherine Kline -Social Security, Nov.and Dec.,1981 3.Medicare payment received TOTAL ADDITIONAL DEBITS $215.00 442.20 75.84 $733.34 Additional Credits:Disbursements DATE PAYEE 1981 Dec.24 Mon Valley Hospital PURPOSE AMOUNT 10.60 700.00 207.54 259.87 51.86 38.00 12.14 23.64 27.50 25.00 700.00 Gas through 12/11/81 Electric service Quarter ending 12/10/81 Service 9/4/81 to 12/7/81 Two months service Drug services Physician's services 11/5/81 Nursing care 1/24/82 2/24/82 Gas service 12/11/81-1/11/82 Arrangement for brother in Hospital Hospital Expenses not covered by Medicare for services rendered--injury from fall $204.00 Nursing care 12/24/81 1/24/82 Fairview Valley Retirement Home Equitable Gas Co. West Penn Power New Eagle Sewage Western Pa.Water Co. Bell me1ephone Co. West Pamin Pharmacy Fred S.Klein,M.D. Fairview Valley Retirement Home Equitable Gas Co. Village Flower Shop Jan.25 Jan.25 Dec.24 1982 Jan.15 Jan.15 Jan.15 Jan.15 Jan.15 Jan.15 Jan~15 Jan.25 Jan.31 Tri-Community Ambulance Service Ambulance service 12/16/81 18.00 TOTAL ADDITIONAL CREDITS $2,278.15 NET BALANCE FOR DISTRIBUTION $13,159.12 ORPUANS'COURT DIVISION The following is an Inventory of the assets in NO.887 of 1971 ) ) ) ) l ) ) INVENTORY IiIIIIIII IN THE COURT OF.COMHON PLEAS OP WASHINGTON COUNTY·,PENNSYLVAHIA I I i1IiIi fiN RE:~STATE OF ~ATHERINE KLINE, Ii~n incompetent. I L I' I~he Estate of Katherine Kline,an incornpetent,of the II worough of New Eagle,Hashington County,Pennsylvania: II I.REALTY ·;A .T,,,o-story frame 1'louse and Lot Nos.19 and 20 in the 'rown of Riverview,noVl Borough of New Eagle,Washington County,Pennsylvania, having frontage of 100 feet on Main Street and frontage of .170 feet on Hmvard Street, and as more fully described in .the Deed of Home O\"ne.rs'Loan Corporation to George J. Kline,Jr.and Katherine Kline,his wife, dated April 11,1941,.and recorded in the v.Recorder's Office of ~1ashington County, Pennsylvania in Deed Book 646,Page 222. ;10.1 a.- II I 1 III! I I'I I I I,I I Ii~ll~. .Il-··----t· II II· I Ii 1 I I II":i ..'.... II.PERSONALTY A.Household goods and furniture. III.ESTI~mTED MONTHLY INCOME A.Rentals from real estate. B.Monthly contribution for support from son,Scott Kline. C.Social Security benefits TOTAL $182.00 $87.00 81.20 "35,0,?-.-.[~._- $11,551°.('. I I I 1.II II 1 II, I ,(I .... Set forth accountants suggestion as to manner and form of distribution to be made,awards to be stated in pro- portions unless specific amounts or items are designated by instrument under which estate is being distributed: The entire balance is requested to be awarded and transferred to First National Bank &Trust Company,Succe'ssor Guardian,for further administration per Order of Court,dated December 14,1981,with further directions to the Successor Guardian to pay such Counsel fees of Greenlee, Richman,Derrico and Posa,as may be approved by the 'Court,and to pay in lieu of commissions to Barrett G.Greenlee,Guardian,the sum of $2,500.00 to the Greenlee Funeral Home,Bentleyville,Pennsylvania,as prepayment for the funeral expenses of Katherine Kline,to be held and invested by the Greenlee Funeral Home in trust for such ,purpose. COUNTY OF vVASHINGTON,-COMMON\VEAr;rH OF PENNSYLVANIA, The above named Fiduciary or representative thereof, being duly sw.ar.n.doth depose and say that the facts set forth in the foregoing petition are true to the best of...his knowledge and belief. .s.w.arn to and subscribed before me ~55 ou,peti600e,will em p,ay,~ .... ...f.,...Greenlee,Guardlan Title of Officer ·SHERR,·,'I...SO'AlWltr N ft'Y'.pUBtle .. WASHINGTON,WASHINGTON Y Office expires M:t.CO.MMJSS1aN..EXf.tRES.~P.R...~.O 1~8~. Member.Pennsylvani'A~~ociation of Notaries I r I •! . 'rtitinn 8ur 1\.ullit IN TJ.4E ORPI-IANS'COURT OF WASHINGTON COUNlY FORM USED FOR GUARDIAN-INCOMPETENTS -OR TRUSTEES No.....s..8..7...:::.~9..~1l9 ...._..... ESTATE OF KAT.HE.RINE KL.INE.. FOR 9.=n J.P.:.9..9..m.I:?§.t..!?.n.t.... _••_n ••..minor-Incompetent-life tenant Barrett G.Greenlee Guardian....................................................................................1 . Counsel for the accountant shall submit herewith the following,if pertinent: 1.Will or trust instrument-attested. 2.Inventory. 3:Signed elections of items to be taken in kind- if distribution account. 4.Stipulation or certificate by minor approving account. 5.Praecipe for those represented. 6.Brief-for any question of law raised. rf;. . \ GREENLEE,RICHMAN,DERRICO Be POSA ATTORNEYS AT LAW WASHINGTON TRUST BUI-LDING WASHINGTON,PENNSYLVANIA 15301 : -----------------------------------------, t •-) QtnuntyofIJun11ingtnn miutntntt Qtnmtuntt 'Irun Qtnurt of (@rpijuun' Qtnurt • In the matter of the Audit of Account in Estate of Katherine Kline, an Incompetent .-1 I) TO THE AUDITING JUDGE: Enter -"'o""ur=--appearance for First National Bank and Trust Company of Washington,PA,Successor Guardian ----------- BECK and DeHAVEN /JJL~~'------' -#-day ocAugust ,19~ N.B.-Counsel shall,by separate paper,present a concise statement of each claim,with supporting calculation of any interest claimed.Objections to an account as filed,shall be concisely stated in a separate paper. Council suggesting proper distribution shall file a separate concise state- ment in that regard.. .• No.63-71-887 In re Audit of Account In Estate of Katherine Kline,an Incompeten_t . AUDIT ~r~rripr for i\ppruraurr f FOR Firf?t Natipnal Bank and Trust __~y of Washington,PA, Successor Guardian • ~ _._-------_.-.._-_.-.._- -_.._-----.---------- J.Lynn DeHaven ~2 Attorne:y • -( ,0 ,",.,-il,~,.-11.~.'" J~. "Ii',..,• IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA KATHERINE KLINE, AN INCOMPETENT ORPHANS'COURT DIVISION NO.63-71-887 PETITION FOR DISTRIBUTION "CODE " GUARDIAN PRESENTED ON BEHALF OF FIRST NATIONAL BANK AND TRUST COMPANY OF WASHINGTON,PA COUNSEL OF RECORD LYNN J.DEHAVEN PA I.D.#15576 BECK AND DEHAVEN 30 SOUTH MAIN STREET SUITE 103 WASHINGTON,PA 15301 (412)225-5270 1-'",," j'~ Petition Sur Audit In The orphans'Court of washington county Estate of KATHERINE KLINE, AN INCOMPETENT Filed at No 63-71-887 Fiduciary FIRST NATIONAL BANK AND TRUST COMPANY OF WASHINGTON,PA SUCCESSOR GUARDIAN Place of record of appointment noted Court of Cornmon Pleas of Washington County,PA Date of guardianship Order of court dated December 14,1981 If there have been former accounts filed in this estate,list: The First and Final Account of Barrett G.Greenlee,Guardian was fi:l;.ed Reason for filing this account Katherine Kline,died JUly 1, 1987 All persons having any interest,vested or contingent (including claimants),in the fund now before the Court with the nature of their interests are: iMr~.Martha L.Jurovcik,daughter and Co-Administrator of the Estate of Katherine Kline, Deceased Box 248 R.D.#1 Bentleyville,PA 15314 Ms.Joann Ward,daughter and co-Administrator of the Estate of Katherine Kline,Deceased 1410 Difford Drive Niles,Ohio 44446 All of said parties have received notice as required by the Court Rules except as follows: NONE The fund now before the Court is subject to the following taxes: NONE Set forth any legal problems requ1r1ng adjudication by the Court or difficulties that must be met in distribution: NONE Balance for distribution per account,Principal Income $1,003.38 $1,467.70 c Additional debts not shown in account: (Indicate whether income or principal) Principal -Personalty Conversion of Asset Into Cash $1,000 Federated Trust for Short-Term U.S.Government Securities Fund Redeemed 7/5/90 $1,000.00 Carrying Value 1,000.00 $0.00 Income -Personalty Federated Trust for Short-Term U.S.Government Securities Fund 5/1/90 -11/30/90 113.34 Total additional debts Additional credits not shown in account: (Indicate whether income or principal) Principal -Personalty $113.34 First National Bank and Trust Company of Washington,PA Reserve for One Orphans' Court Receipt Beck and DeHaven Attorneys'fee Income -Personalty First National Bank and Trust Company of Washington,PA Income fees for period 5/3/90 -7/5/90 $1.00 800.00 2.21 Total additional credits $803.21 Balance for distribution -2- Principal Income Total $202.38 $1,578.83 $1,781.21 --------------------------------------------, 4 , ,<. If the balance for distribution is not in cash,list items held in kind with carrying value designated,and if this is a distribution account,file elections to take in kind for all items so listed: Set forth accountants suggestions as to manner and form of distribution to be made,awards to be stated in proportions unless specific amounts or items are designated by instrument under which estate is being distributed: To:Joann Ward and Martha L.Jurovick, Administrators of the Estate of Katherine Kline,Deceased Principal cash $202.38 Income Cash 1,578.83 $1,781.21 COUNTY OF WASHINGTON, COMMONWEALTH OF PENNSYLVANIA, SS The above named Fiduciary or representative thereof,being duly sworn doth depose and say that the facts set forth in the foregoing petition are true to the best of his knowledge and belief.Sworn to and subscribe before me this ICf./14 day ofM<V\H/~IVL ,1990. And your petitioner will ever pray,etc. Donald M.Gavett Trust Officer -::.._-.~. Signature of Officer t===~~~~~~~~~~~~--~-~:-----~- Office Expires Title of Officer ----t-~I'l:ftI~m+-!i_!¥':l~~1":r"fl~e---+------------,-,. -3- I ( ~ Petition Sur Audit in the ORPHANS I Court of Washington County FORM USED FOR GUARDIAN-INCOMPETENTS -OR TRUSTEES No.63-71-887 ESTATE OF KATHERINE KLINE,AN INCOMPETENT Counsel for the Accountant shall submit herewith the following,if pertinent: 5.PRAECIPE FOR THOSE REPRESENTED. J.LYNN DEHAVEN,ESQUIRE Counsel for Accountant ...... --~----- ----------~_._--~-_. ----------._---_._------------ -." IN THE COURT OF COMMON PLEAS OF WASHINGTON COUNTY,PENNSYLVANIA ORPHANS'COURT DIVISION IN RE: ESTATE OF KA THER INE :K};IN:F1 , an alleged incompetent. ) ) ) ) ) ) ) No.t)t)7 of 1971 ..f",,," :..~r'~of HEARING ON PETITION FOR APPOINTMENT OF -GUARDIAN BEFORE : APPEARANCE S: TIME: THE COURT: ceeding? MR.POSA: THE HONORABLE P.VINCEN:T ,MAR-IN0 ,Judge ofthesaidCourt..- ) PAUL p.POSA,ESQ.,of Washington,Penna., representing the Petitioners. Monday,October 5,1971,at 10:00 o'cloc~ A.M.,EDST. Mr.Posa,are you ready with your pro- We are,Your Honor.If the Court please, this is the time that has been set for a hearing on the Petition of Martha Jurovcik and Jo Ann Kline Ward,asking that a guardian be appointed for Katherine Kline,an alleged incompetent.Service of the Citation was made by the Sheriff on the alleged incompetent,and she is present in Court this morning. THE COURT: testimony? MR.POSA: Mr.Posa,are you going to have any medic~l Yes,Your Honor. THE COURT: MR.POSA: When is your medical witness ready? Our medical witness is here ready to 2 .-testify.We'd'like to call him first,Your Honor . ,THE COURT:You may do so.First let us cite for the e ~z«>...I>-l/lZ ZIIIII. i 0l-I'ZXl/l«:= ~!:10:I-l/l Qe...I«~ Q::J.., J:t-....(II aiII:IIII-0:0II.III0: I-0:::J00...~0ii:II.0 e record that the Return of the Service of the Citation and Petition are in conformity with statutory requirements and with the Interlocutory Order of this Court made on August 30,1971.You may call your witness. MR.POSA:At this time we would 'like to call Dr.Ca~~o Sirri. DR.CARLO SIRRI IS CALLED AND SWORN. EXAMINATION BY MR.POSA: Q Dr.Sirri,what is your profession? A I am a medical doctor and I am specializing in Psychiatry,working n Monessen. Q Where do you practice? A In lVlonessen.I'm connected with the Mon Valley IWental Health CentE r . Q Do you have any private practice ou ts ide of that? A Yes,I do.I have an offtce in Monongahela. Q What educational background have you had to prepare for your profe sion? A I studied medicine in Italy and since in the United States,I passed the Board of Medicine,Pennsylvania State,State of Pennsylvania; and then I did specialize in the training in Psychiatry,one year at Heidelburg State Hospital and two years at Mayview State Hospital. 3 Q How long haveyou been practicing your profession? A 'Psychiatry,I've been practicing---I finished my residency five years ago. Q And you have continued to practice? A I've continued practice since then,yes. Q In your present position,in the Mon Valley---Is that the Mon Valley Health Clinic? A Yes. Q What are your duties? A Well,I do psychiatric analysis,psychotherapy.I also do work in t e Charleroi-Monessen Hospital,the In-patient Care of psychiatric patients. Q Do you belong to any professional organizatio~s? A I belong to the lAtestern Pennsylvania'Psychiati'k Association. Q In your present position,did you have occasion to examine Mrs. Katherine Kline? A Yes,I did.I saw her the 16th of June,'71 in my office.Mrs.Juro cik and her husband were in touch with me in regard to the ITO ther..··D~.. Klein is the fam ily doc tor of Mrs.Kline.Dr.Klein is K LEI N. It's spelled a different way.Mrs.Jurovcik had talked to the family doctor;you know,to obtain an oration for her competency,and Dr.Klein referred them to me,so they came to my office the 16th of June,and they gave me some information,many informations,a a matter of fact,concerning the mother.They felt that the mother had not been functioning intellectually in a normal way all her life. They told me that while Mr.Klein,the father of Mrs.Jurovcik, had been alive,he had taken care of all the economical and financial affairs and all the important decisions.And following the death of Mr.Kline,almost four years ago,Mrs.Kline ha,d started to get Social Security Hospitalization.But after the psychological test had been given to her by Mr.Larry Smith,Psychologist of the Social Security Department in Washington,these checks had been allowed to be cashed by Mrs.Jurovcik.·In other words,Mrs.Kline had not received directly any money and had not been spending herself outside of small amounts of monies.And Mrs.Jurovcik herself w~ taking care of the shopping,was providing supervision for her moth=-r. Mrs.Kline lives with a son who is mentally retarded from what the. told me'. Mrs.Jurovcik and herhusband asked me to see Mrs.Kline for an oration in regard to her competency,so I gave her an appointment for the following week,the 6th of Septembe , ~71ll.Mrs.Kline came to my office,came accompanied by Mrs. Jurovcik.and her husband,Mr.Jurovcik.And I interviewed her. I gave a psychiatric examination to Mrs.Kline.I found the intellect al capacities of lVlrs.Kline are certainly below the average.Her judgn ent and grasping of reality appeared weak and inadequate.I asked the Dr.William Hambacher,PHD,who is a teacher of Psychology at California State College,to do psychiatric tests'on Mrs.Kline. 5 The doctor saw Mrs.Kline on July 1,'71.He gave heranintelligerce care interview,and he found that she falls in the mental defective range.And the test of Dr.Hambacher revealed also some speech fliiffkulties of long standing and suggested the possibility of some organicity.And the conclusion of the psychologist was that the test results suggest that the client will need help in managing her affairs and the appointment of a guardian appears advisable.This is what the psychologist had to say,and I agree completely on these papers. In my opinion Mrs.Kline should not be allowed to handle significant amounts of money and I think also that somebody could manipulate her in,what could I say,if a big amount of money,significant amou t of money was involved,they could take advantage of her. You mentioned organicity.Would you explain that pleas e? Organicity is signs of,for example,impaired mentality;at least the memory is not as good as it normally is.The judgment also is belov what we would constitute as normal.And there are signs of limited functional capacity as far as the intellectual capacities are concerneh. Are you aware of what tests Dr.Hambacher performed? Yes. What tests were those? The Wexler Adult Intelligence Care. And what do you mean by full-seale 1.Q.? I mean that he has a score,including both the verbal and the perforlpance I.Q.,which comes to the result in this case of 63,which is well belpw average. Q What is the average I.Q.? A The average 1.Q.•the borderline 1.Q.is between 68 and 83.So 84 would be the bottom of the average. 6 -e Q A ~z«Q::>.J>-UIZz AIII0. i0 Q..CIz iUI A«~ ..:Q0ii:I-UI 0 A..I«0i5 Q::l., %..A"N uiII:IIII-a: 00. 11/a: I-a:::l00 ~0ii:'"0 By borderline.you mean---? In this case,we have an I.Q.of 63.which is below the borderline. By borderline you mean borderline on mental deficiency. That's right. What is Mrs.Kline's age.do you know? 61 years old. What is her mental age as'far as your opinion is? I don't know how to answer this questioD;. Would it be of an average adult of 61 ? Certainly not.The 61 year old,the normal existence the way we understand it,she is certainly below that.But obviously.these sign~ of organicity could be related to old age.although 61 is certainly not 60 be considered old age.There are signs for the psychological testing indicating that there is the possibility of some organicity and these may be related becau se she is also diabetic.Mrs.Kline. She is on medication.But it's possible that these also.these are so roe of the things of organicity that the psychologis t has spotted. Q Did J9.~put as much emphasis on your own examination on Mrs.Kli e as you did on Dr.Hambacher's report? A I didn't quite understand. Q Did you rely as much on your own obs ervations of Mrs.Kline with respect to your opinion? A The opinion of Dr.Hambacher was important to confirm my opinion. I based my examination on what I saw myself. Q Then based on your observations and your examinations and the tests of Dr.Hambacher and your analysis of all these factors,have y you then formed an opinion"as to Mrs.Kline's level of intelligence? Do you have an opinion as to her intelligence? A I say it's below normal range.And I agree with the finding of Dr. Hambacher that it's mentally defective,the mind. Q Do you have an opinion as to the cause of this deficiency? A I expect from the social history which was given to me by Mrs. Jurovcik,this is idiopathic. Q By that what do you mean? A I mean that she's been that way since birth. Q What,in your opinion,would be the prognosis of her condition? Will it improve,remain the same or get wors e? A No,I do not expect any improvement.The present scientific knowledge, there's no way I can see in my opinioq any way there is no possibilit:r of any improvement. Q Could she be trained to take care of her property or other financial affairs? A No,i don't see how this could be done. Q Would you say ten years from now her condition would be the same 7 ------------------- 8 as it is today? A At least the same.It may be worse,unless,as I say,science doesn t come up with something. ,Q Would she have the capability of doing anything beyond the basic needs of her own personal'comfort such as dressing and feeding herE elf? A I think she could handle a small amount of money. Q But it is your opinion she cannot handle large sums of money or property. A Yes. Q You mentioned before that you thought that if she handled property th3.t this might cause people to manipulate.'fDo you,in effect,mean that .you are concerned that designing persons might deprive her of her property or that she herself might dissipate that property? A This is possible. Q In your professional opinion,do you think a guardian should be appo n ted by this Court to administer her property? A Yes. Q I have no further questions,Your Honor. EXAMINATION BY THE COURT: Q I didn't understand the doctor's explanation of the cause of this cond'Lion. Could you explain that a little rno re fully to the Court? A Yes.As I said,this person,there is below average intellectual functions and there are also signs of orgnicity to a mild extent.As far as the intellectual capacittes are concerned,I agree with Dr. Hambacher's finding that the range is in the mental defective mind type.As far as the signs of organicity are concerne,d,an impairme tlt of the memory,orientation,intellect,adjustment in effect,and in t l1i§i particular case,the memory seems to be somehow,not to a great extent,nothing traumatic,but there is evidence of some tlifficulty in remembering certain things.As far as judgment is concerned, the judgment is clearly inadequate to what we would say is normal. Q Doctor,could we say in layman's language that this condition is congenital? A Well,from the information that was given to me,I have never known the patient before,so I have to rely on the information that was given by Mrs.Jurovcik and the doctor.And she told me that sh 's been functioning in the mind that way most of her life.And I am ~J convinced that this has been congenital. Q The Courthas no other questions. 9 MR.POSA:In elaboration of.w hatyou just said,your opinion is that it is not caused by truma to the brain or hereditary reasons. A Oh,I'm not able to say.I don't think so.I am convinced from the information again,given by Mrs.Jurovcik,that it's been a congeni al condition. MR.POSA: THE COURT: (Witness excused). MR.POSA: Jurovcik. We have no further questions. You are excused,Doctor. I'd like to call as my next witness Martha 10 MARTHA JUROVCIK IS CALLED AND SWORN. EXAMINATION BY MR.POSA: Q Would you pleas e s tateyour full name ? A Martha Kline Jurovcik. Q And where do you live? A R.D.1,Bentleyville,Pa. Q Are you one of the petitioners on the Patition for the Appointment of a Guardian for Katherine Klin e ? A Yes,I am. Q And what relation is Katherine Kline of yours? A She's my mother. Q And the other petitioner is Jo Ann Kline Ward,and what relationshiI is she to you? A She is my sister. Q Doyou live with your mother? A No,not since I was married in 1961. Q Where does she live? A lVla'j.hl Street,New Eagle in the home where she's lived ever since I wlis 11 born. Q That is in Was hington County? A Yes. Q With whom does she live? A My brother lives with her at the present time. Q .And who is your brother? A George Scott Kline. Q Does your mother own the house that she is living in? A Well,when my dad passed away it was left it?-my mother's name. Q She is the owner of the property? A Yes. Q Are you familiar with your mother's condition and how long it's existed? been A Ever since I've known my mother,my mother has always/looked after by someone else.My father always did all the shopping and taking care of all the business affairs. Q And where is your father now? A My father passed away on November 8,1965. Q And since that time,who has taken care of the financial affairs of YDur mother? A Myself,mainly.My sister lived at home for twoyears and together, we'd get together and work out the money that was coming in and the money that was going out.But she has since moved on to Ohio at d I take care of the rent income and make sure that all the bills are pc id. L--_ 12 Q While your father was living,was he doing this? A When my father was living he did everythi.ng he could;even the grocery shopping. Can you relate for the Court some of the opportunities you have had to observe your mother's behavior with regard to things other than financial? I'm not sure I understand,Mr.Posa. Does she engage iri conversation intelligently with other people? To a limited deggee,yes ~She likes to talk about the obituaries and who's been born and who died. Do you and your mother carryon conversations?' Yes.We talk,but whenever I try to explain to her about,like the fire insurance,when my father passed away,he never carried fire insurance.We wanted to get fire insurance.She said,"You don't need fire insurance."She doesn't understand and she would say ~ like if the taxes aren't paid,we tried to tell her that the house was up for taxes for six years,and we tried to tell her these back taxes had to be paid,and we had to continue paying taxes.And she'd say,"Nobody can take my house."And we'd say,"A sheriff's sale can take your hou~e." And she'd say,"Nobody can take my house." Does your mother read? She can pick out some ,things.She couldn't read anything with a lot of comprehension,no. Q Does she read books of any type? 13 A No.She likes to look through flower magazines and catalogs. Q Pictorial---she"likes to look at pictorial catalogs you me:tn? '.A Montgomery Wards,Sears catalogs. Q Doe s she wr ite? A I've never seen her write a letter.She can write her name. She has on occasion ordered flowers from a flower company, even when my dad was living.It would come back;it wasn't a complete explanation of what she wanted and they needed more informatiQl • Q Can you describe her handwriting? A It's not---you'd th1nk:pr6hablY·a.firstJ.Or second grader had written it. Q It doesn't appear to be the writing of an adult you mean? A No. Q Have you discussed household matters with her?That is thE basic necessities of taking care of a house,like washing,ironi:g and so on? A She takes care of the washing and ironing,but my sister can confer on this,like,I VDuldn't want to wear what ShE had ironed. Q Have you ever talked to her about these things?, A You can try to,but you don't get anywhere. Q Does she cooperate with you when you try to discuss matte s 'of this nature? A She becomes very hostile to me. Q Now with regard to her property,does she understand fina cial matters in your opinion? A No. 14 Q Has she ever taken care of the income from her property or a ther income that she may have? A She never took care of any income while my dad was living. After he passed away I took over,being the oldest daughter and she has had money left to her by her father.And she,at this time,the money was left to her,she would not even show the check to my father;even though the house was up for taxes and my Aunt Mary says she doesn't--- Q Let's not bring anybody else in this.Does she or did she or did she disclose what she did with that money? A No. Q Do you know the sum that she received? A It was around $1200.00.I can't remember exactly.My Aunt Mary said it was more. Q Just what you know. A All right. Q You think it's about $1200.00? A Yes. Q And is there any evidence that she ~ill has that money? A Not to my krowledge. Q At the time she had this money,you indicated that taxes were due on this property? A Yes.The house had been up for taxes for a number of years, at least four years at the time. Q Was she asked to use the money for taxes? A My father asked her,yes. Q What was her answer? A It was her money. 15 referred to and an upstairs apartment and of course,the shop that he had used himself for his own busiress was the vacant and then my mother lives--has her own bome right Riverview,which is now the Borough of New Eagle.The property is assessed in the Assessment Office of Washington County And how many rental units are there in this property? When my dad passed away there was a little house that you as Lots 19 and 20,a two-story frame house and a one-stor frame house,and bears a total assessed valuation of $2,985.00 • Mrs.Jurovcik,this real estate is located on Main street and Howard stree t in New Eagle,is that .correct? That is correct. Q She refused to use it you mean? A Right.It was her money. Q In your petition you have listed certain items of propert , including real estate,rentals and other income.The house referred to,for the purpose of the record,and not stated in the Petition,is property conveyed to George J.Kline, Jr.,and Katherine Kline,his wife,by the Home Owners Loan Corporation by deed dated April 11,1941 and recorde infue Recorder's Office of Washington County,Pennsylvani , on April 17"1941 in Deed Book 646,Page 222,wherein the property is described as Lots 19 and ~O in the town of -. • :!z0(>..J>-1II Z ZIII0. i0I-~ziUI 0(~ ..=~ 0:I-!!! Qe..J0( U C:J., :I:I::N iii0:IIII-0:0.. III Aa:: I-a:::J Q0U ..J0(Auii:...0 -e in the same house. Q And the other three are rented for income purposes,is that correct? A Yes. Q Did your father rent ithese properties during his lifetime. 16 A My father rented the upstairs apartment and the little house and then he used the shop for his own business. ".Q And following your father's death who took over the adminis- tration of the rentals and maintenance of the property? I took care of the money that was coming in and paying the bills and utilities,taxes. Why did you take it ·over? It just seemed to fall into my hands;no one else took car9 to=0iii!I-en 0e.Jc( Uii:J., :tI::til uia:IIIl-ll:0Liiill: l-ll::J00 .Jc( Uii:... 0 -e of it. Was your mother taking care of it? No,she never did. Did you discuss this with her ast6{wh~~her she should take care of it at that time? A Yes,~lt wasn't felt by any of the family that she could take care of it. Q Did she offer to take care of it? A I think she would have liked to have had the rent money coning in,but I do not think she would have understood that the utilities and everything had to be paid;that the lights and soforth would have been turned off if the bills wouldn't have been paid. Q So since 1965 you have maintained the property.Is that correct? A Yes.. Q And have the rents from the property and other income been sufficient to preserve the property? A The house was in very poor condition;it needed a complete new roof.The tenants upstairs moved out because there was a coal furnace and when my dad was living he'd get up in the middle of the night and heat up.We had to put a ga~ -furnace in in order ~o keep tenants upstairs.We had to borrow the money. Who borrowed the money? We borrowed ~l$]>;m:G)loan from Western Pennsylvania and paid it off within two years. Who are we? The first $1,000 loan myself and my husband,and they had my mother co-sign.The second loan we went for,for the $2,000,when we were honest with the bank and told them that she was getting Social Security because of mental disability at age 5~,they would not accept her signature. My husband and I had to sign our own names. So you and your husband borrowed the money to preserve this property. Yes. Are you paying off this note then? Yes. 17 I I I And how are you paying it off? With the rent money and with the money that is coming in. Was this discussed with your mother at the time you borroved the money? We told her that in order to make the improvements we wou d have to get the loan and we explained to her that the banI would not accept her signature. Q Did she comprehend the problem? A I don't know. Ib Q Now in addition,.first of all,are all three of these rent~l units still rented? A Right now,the man in the shop has moved out.Also,since then we have added on three garages.The side of the house was falling in,so when we did this we just added on another wall and it increased her rental capacity and now she A The lady is on public assistance and we receive $22.00 a month from her. A Yes,definitely. Q Now in addition to that,what rent is received for the sma~l house which is not setforth in the Petition? Q Now in addition to the rentals ,.which total $lb4 .00,incluiing the rent received for the shop and in addition to the real estate,what other property or income dqesyour mother have? A The Social Security.check comes once a month. Q Under what circumstances is she receiving Social Security at the age 61 as far as you know? ~z~..J Q>-mz·~A II. Are the rents set forth in the Petition for these properties also has an increased rental income from the three garages. the correct rentals as far as you know? When did the shop tenants move out? Yes. The last of September,the last day of September. 1971? Q Q A i0l-t' Z XIII«~ ti ii1I-m Cle..J«0 Cl:J., :I:~01 viIl:IIIl-ll:0II.IIIIt l-ll::J0U ..J«0iLII.0 -e A When the law came out that you could receive Social Securi,vy not only for physical disability but mental disability,we went over to Washington to the Office in Washington and • -e Q A ~z Q0(>...>,f/)z AzIIIII. i Q0I-~Zx AIII0(~ .,:Q !:1ll:l-f/)ACl ..I0(U Cl:J., Xto"(II vi Qll:IIIl-ll:0..IIIll: l-ll:':J A0U ..I0(UiLII.0 Q we talkedwith the interviewer there.They,in turn,sent letters to Dr.Klein,who is her family phys ician,and he sent them directly to them.Ws had nothir:g to do with it.And she was examined by Lar 7 Smith,who is a Psychologist.He came to the home and examined hely.. He was a Psychologist with the Social Security Administration? Yes., And based on his opinion she was awarded--- His and Dr.Klein's. She was awarded Social Security for mental disability,is tha t corre<t? Yes. Who has been receiving'her checks in her behalf? The check comes in my name and I have to fill out a form once a year. I've had to go up to the Charleroi Office and show them all what I have been Hoing with the money. What haveyou been doing with the money,essentially?Has it been used for he r pu rposes ? For taxes,for utilities,for food,for clothing,for the loan that has been taken out to improve the hous e.When you rent you always have things that need repaired,for repairs and maintenance.She has beeP. given small amounts of money for her own personal use. Has she shown 'any interest in her property or income during the fiv or six years you have been administering it for her? 19 A We have done all the work and made sure she's had a home and she's accepted that as it is. Q Has she ever expressed any desire to dispose of the property;-t fA'We wante d at one time,we approached her to sell the house and buy her a traile"r.We have 15 acres ourselves,and put her out in a trail r out at our house.And she laid on the bed and cried;she did not wa t to leave her home,and I don't blame her.This is where her friends are.She knows everyone in t\e wEagle. Q Are you mainly interest ed then in preserving this property as a ho ne for her? A For her and for my brother Scott. Q And your brother Scott lives with her? A Yes. Q Is he em ployed ? A He works for Star Upholstering :on Walnut Avenue in McKeesport,Pi. Q Does he contribute anything towards the care or maintena ce of the property? A Yes.He contributed $16.00 a week for about five years and in the last yearhe's contributed $41.00 a week. Q Why hasn't he undertaken the financial administration of the propert. as you have done? A Scott himself was taken out of school at the age of 16 because of mertal retardation. Q Can he read or write or make change? A When my dad first died we had to show him how to write his name. He can make change if you give him a $5.00 bill,he III give you five ones.But not small change. 20 21 Q What would happen iryyour opinion if your mother were permitted to take care of her prope rty and income?. A I feel that in time,in a short period of time,she would lose it; it would be back to where it would be up for taxes again.And it e :'!:z ~..I). IIIZZIIID. i0 QI-ClZ :tIII<C3: ..:Au Il:I-UI Qe..I<C§ Q Q:I., :rl-I'.N uiII:IIIl-ll:0D.Id AIl: l-ll::I0 Qu ..I<CU Aii:...0 Q.e A Q A Q would be like when my dad was living and he was constantly going to have the water turned off or the electric or something,etc.She would lose it or someone would talk to her and get her to sign some hing that she would not be able to read. You are concerned abo ut some9riel~;with designing 'purposes taking t e property away from her. Yes.And I want her to have a home for the rest of her life.Iwant her to have a place to live. Haveyou sought professional aid o:r care for y~ur m ether besides the tests by the Psychologist for the Social Security Administration, medical? She sees Dr.Klein regularly.She goes for---she's a diabetic. Who is Dr.Klein? He's a medical doctor at Monongahela Hospital. And is he any relation to Mrs.Kline? No relation. How long has he been taking care of your mother? Since my father passed away. Was he asked to come to Court this morning to testify as to his knowledge of your mother's behavior and condition? A Yes,he was. Q Is he present today? • ·e A Q A ~zc(Q>...>-Ul Z Z 1&1II. i A0l-I!) Z :r:QUlc( ~ '"Auil-UI 0...c( Q Q0 :J.., :tI-"til oja::AIIII-a::0II.QIIIlI: l-ll::J A0u... c(u QiLII.0 A .- Q No,he is not. Has she had any other examination or profess ional care as far as you know,any other doctor? " She went to Dr.Early,was the family doctor when I was a child growing up,and after Dr.Early passed away there was an intermittent time there was no family doctor. n as she had any examination for physiological reasons,other than the problem that we are discussing this morning by a medical doctor? She's been in the hospital on two different occasions with fractures. Who attended her at that time? The first time it was Dr.Parent and the second time it was Dr. Veseley,plus Dr.Klein was always the medical doctor on the case. Were either of these two doctors,Dr.Parent or Dr.Veseley,aske for an opinion in this matter? Dr.Veseley was approached. And haveyou received an opinion from him? He gave us his opinion. Has he given.us a written opinion? He said he would,but he hasn't. In consideration of all you testified to,is it your opinion that a guardian should be appointed by this Court to administer the property of your mother? 22 A Yes. Q Would you,as an heir,have any objection to the appointment of IEarrt;tt 23 G.Greenlee as a guardian of this estate? A No,I would not have any objection. Q I have no further questions. EXAMINATION BY THE COURT: Q Nl.rs.JiUrovcik,where do you live? A R.D.1,Bentleyville,Pa. Q What does you rhus band do? A My husband is a teacher. Q Where? A tn:artiers-Houston School District. Q Doyou have a family ? A I have two daughters;one in second grade and one that's 21 months old. Q Where does Scott work? A Star Upholstery in McKeesport. Q Now if a guardian is appointed for your mother's estate,it might evenntually be the case where the Social Security money which you are now receiving would be received by the guardian.That is up to the Social Security Administration.Would you have any objection to hat? A I recognize that fact.I know that I am to at once let them know.It stated on the card and the instructions that you were to let them kno IT if there was ever a legal guardian appointed. 24 Q So that there is a possibility that that fund would be administered by him also.That is by Mr.Greenlee,and you would have no objection to that? A No. Q How much of the $2,000 loan that was last made by the bank to you and yourhusband is still unpaid?What is the balance due on that loa 1, do you know,approximately? A It's around $1600.00.But,sir,it started out to be a lain of $1,000. And then,as I said,we have made improvements and as we made the im provements we would borrow more and then make the monthly payments.It's never been a late payment;never an overdue balance; never any problem there.And we have,on occasion,had to pay the taxes with the money that we have borrowed,etc. Q But you feel now that there is approximately $1600 still due on that lown? A Yes. Q And how much are you paying a month? A It goes anywhere---with the interest and everything,it's anywhere l:etween $90.00 and $96:00.But the interest is usually $17.00 and the princi;:>al is seventy some dollars. Q Well,paying it at that rate,each month,doyou know how long it would take to liquidate the loan,to pay it all off,the balance?How do they propose--wa.S1.lthis set up as a two-year loan or three-years or how? A The first loan that we took out for $1,000 was paid off within twoyea s. 25 It was $43.00 every month:Whl€n we went back to the bank an asked for a loan again and because they would not let my mother sig because they said she could not be held res ponsible becaus e of getting the mental disability,Social Security check,theyaOdv.is edJus to.take out a charge account checking account.Because we told them of th€ improvements that had to be done and they said,therefore,we can borrow and pay that without having to come to the bank. Q As a result,you and your husband signed up for this loan. A Yes. Q And you are now responsible for it.Could you work out something w th Mr.Greenlee where he would pay the balance off on that loan,dOYou feel? A 1 feel that it would be paid off with the income that's coming in because,Your Honor,right now,the hous e is improved.It was in terrible condition.It's improved and with the rent that's coming in now,and as long as any unforeseen things do not occur. Q But you wouldn't be getting the rent? A But I mean Mr.Greenlee could pay it. Q Well,as I say,you feel you could work something out with Mr. Greenlee where he would make the balance of these payments and that eventually you and your husband woo ld be absolved of liability on that loan. A Yes. Q And you feel that Y01..!T mother should continue to live in the house where she is now living? That's v.h ere she wants to live. And that your pro~her should continue to live with her. That's where he wants to liye also,and it's also--if he would be rig t there on Main Street in New Eagle,heIS right there for trans portatic nt He can catch the bus,etc.He's right where he can get around and get to his job on time. And you fee1 that there is enough income from the property to justify holding on to the properties for her benefit? Yes,with all the improvements that have been made,I think that it will even be easier in the future. So thatyou feel that with proper administration of the funds that are received as rentals,plus the Social Security,the guardian should bE able to give her enough money,that is your mother,for living expenses and to take care of taxes and repairs on the property and still to ha'e enough money left to payoff this loan.Do you feel that coo ld be donE? Yes,I do. You have a sister living in Ohi1:)? Yes.Jo Ann,she's in the Courtroom now. She is in Cou rt toda y? Yes. Does she,as far as youknow,have any objection to administering this estate in that manner? A No,she has no objection. 26 Q What does her husband do? A Greg wo~ks for Packard ElectriC,.in Ohio.They make the electrical parts for cars. 27 Q •A' Q ~.z.<>..J>-1lI Z ZIIIII. i0I-~z i A1lI<~ ..:0~I-UI Cie..J<ij Ci:J"l :I:..."(II iii 0:III.1- 0:0LIII0: I- 0:::I Q00 .J<0 Aii:...0 ·e Q Do they have childre n? They have a son who is three years old.He will be four in May. Do you feel that the rentals for the various units as they are now set up are adequate and proper rentals for that type of property?In othE r words,.here is the apartment six rooms and bath that brings in $70.00 a month.Do you feel that that is --- Your Honor,when the girl rented this apartment it was in poor condition and she's been there four years.So we have not raised the rent on her in four years.But she didn't have.a gas furnace;we put a gas furnace in for her.She didn't have a utility room iin;;we.lput a utility room in for her.We've made so many improvements that I think if she ever moves out,the following tenant could be asked for more rent. Doyou feel then that she wmld probably continue to lease this proper ty? She has two children of her own.I imagine some day she is going to want a home of her own too.She has been there four years. Now the shop that is leas ed at $40.00 a month,do you feel that tha is adequate? A In the condition that it's in,that was all we co uld ask for,yes. Q And the three-room house that is leased at$i20..t.OO a m~nth,the lady is on Public Assistance? 28 A The lady is on Public Assistance and she's been there for three year. And yes,I think that would be the most probably that would be asked Ifor it.Your Honor.there is,like I said,we added the garages and there are three garages.There's $10.00 a month each from each garage.This is an added income of $30.00 a month. Q ~z~..J>-00zZIIIII. ig A CIz i00; ..=u ii:..00 Q Q ..J«lj C A:J., x /::01 ai0:III~oII.~Q..~oU ..J« U Aii:...o I understand.Now doyou know of any debts or obligations that your mother might have that are not mentioned here in the Petition?Does she owe anyone any money that you know of? Not at the present time.About a year after my fathe r died I receive< some bills that had to be paid.like a coat that was charged for over a year and had never been paid for. Is that local or in Pittsburgh? That was local,That was a local store and we,in turn,informed the In that she,you know,we would not accept responsibility for any chaq es made. And has she been going out and making pu rchases unknown to the family in any way that you know of? No.not that I know of. ·e Q ThatIS all the questions we have.You are excused. (Witness excused). MR.POSA: Gatz. At this time I w wld like to call Mr.Homer HOMER GATZ IS CALLED AND SWORN. EXAMINATION BY lVlR.POSA ~ Q What is your full name,Mr.Gatz? 29 A Homer Euggne Gatz. •Q And where do you live? A Clarksburg,West VLpginia. ~z~Q Are you employed?,.I>-UI~A Reti:rndllas of July 1st with 50 years service with the Consolidated lL iol-t'ZiIII Q; .:Au~IIIQ Q ,.I 0( ij Q ::l"l :t "AN vi0:E Q oL~A I-0:::l8 Q ..J0( ij Aii:II.o Q A Gas Supply Corporation. Are you related to Mrs.Katherine Kline? I'm her only brother. Are you familiar with the background of her condition wbich has bee testified to here today? I am,throughout her entire life. Are you familiar with her educational background? Yes,sir. Can you tell the Court the extent of her education? A dropout from gradeschool,early gradeschool;I believe third or fou rth grade. Doyou recan wha t her age was when she dropped out? Approximately 14. Q And she was still in the fourth grade at the age of 14? A Yes,third or fourth.Those grades she was passed on. Q Did she drop out or was she taken-out of school by her parents? 30 A She was considered a dropout. Q And was she making normal progress of a third or fourth grader at the time she dropped out? A No,sir. Q Do you recall what the reason was assigned to her condition at that time? A .Well,retarded mentally. Q lliring her childhood following dropping out of school,what,if anyth'ng, did s he do of a respons ible nature ? A She never had any res ponsibilities.Her father--my father took entire care of her and he'd always said that when he passed on,that it was up to like myself and two sisters to look after he r. Q Have you always been prepared to take care of her and had to take care of her? A She was married and her husband took those res ponsibilities. Q During her marriage,as far as you know,did she undertake any responsibilities with respect to property or financial matters? A She took no responsibility at all;never had any responsibility. Q And have you been familiar with the situation since the death of Mr.Kline t?;..,1 c.•"C'l :~.t'.t '::-; A I have,through her daughters.I've been away. Q Would you have occasion to visit with your sister since 1965? A I have,quite often. did you Q During that time/you observe her taking care of her property or.an~ 31 financial matters? Q I have observed'her two daughters taking care,and their families, their two daughters and their husbands. Q Can your sister read or Jwrite with intelligence of an adult? •A Q ~AI-eIZx QIn.«~ ~A 0:I-~Q .I~2 Ac:J., :tt::til I would say that she could read her name and write her name. During this time you were away did she correspond with you at all? I never had a letter. When you are with her do you have conversations with her? I do.I ask her how she is feeling and her health. Does she condu~t an intelligent conversation as far as you are conce trned ? Yes.along her health.and that's about the limit. Didyou ever discuss financial matters with her? No,I never have,because I knew tha t that wou ld be not the proper thing to do. ui~Q From your observations doyou have an opinion as to whether or not I-0:o~a guardia~should be appointed to take care of her property? I-0:5 A I would recommend a guardian be appointed to preserve what balanc o .I~u could be there and to preserve a home for her and the nephew on he b:ILo ·e Q side. Thank you.No further qu estions. THE COURT: are excused,sir. lVIR.POSA: testimony. The Court has no questions of Mr.Gatz.Yo . If the Court please.that will conclude our ---fl--------------------I--I I----------nr-------------------------~---------~-·~~ 32 THE COURT: lVIR~POS,A: THE COURT: lVlr.Posa,is lVlr.Greenlee here? ~Yes,he is here. I think we ought to ask him a question or two • ~z«>.I>-til Z'zIIID. i0I-elZ ::tUl«~ .:0ii:I- ~.Ulae.I«Qa::J., 1:.."N iiiII:IIIl-ll:0D. IIIIl: l-ll:::J00 .I«UiLII.0 ·e We should inquire briefly as to his qualifications.to act as a guardia . BARRETT G.GREENLEE IS CALLED AND SWORN. EXAMINATION BY MR.POSA: Q Your name is Barrett G.Greenlee? A Yes,sir. Q Where do you live? A 503 Washington Street,Bentleyville. Q What is your profession? A I'm a funeral director. Q How long have you been in business? A Ten years. Q Prior to engaging in this business,did you have the necessary educational background and qualifications? A I did. Q Are you also the manage of the business? A IIm a partner along with my brother. Q As a partner,do you handle financial transactions? A Yes,sir. Q Doyou also own real estate? A Yes,sir. r-----.....,....----n--------------------------~-~-----------------.---- 33 Q Do you manage this real estate for income purposes? A Yes'. Q And areyou familiar with all the problems tihat necessarily must be solved with respect to rentals of properties such as insurance and maintenance and taxes? A Yes,I think so. Q Areyou related to any of the par:ties here today? A Yes,I am. Q And what is that relationship? A I'm a nephew of Mrs.Kline. Q If the Court should find it necessary to have a guardian appointed,a e you willing to act as guardian of the estate of Katherine Kline? A lam. Q Are you aware of the res ponsibilities of a guardian in handling an estate? A Yes,sir. Q Have you ever acted as a gua rdian or an administrator or an Execut r of an e stat e in the past? A Yes. Q On numerous occasions? A Sever~l occasions. Q Have you ever been a gua rdian of an estate before? A No,I haven't. Q Are you aware that you must account to this Court for all property • 5zoct>,.I>-lI!ZZIII 11- i0I-~Z :tlI!«,,'~ .,;'uii y l-ll! Cie,.I oct § 0 :J., :tl-I'ClI iiiII:IIII-a:0II.IIIa: I-a::J0U ,.I«ij ii:~, ·e 34 and income that you handle in b~half of Mrs.Kline?Are you aware oftthat? A lam. Q Areyou aware thatyou must also account to the heirs or to the executpr or administrator of he r estate upon her death? A lam. Q And with all these realizations,you are willing to accept this position as a guardian of the estate? A Yes,I am. Q Does the Court have any further questions? ExAMINATION BY THE COURT: Q !VIr.Greenlee,areyou prepared'to keep separate books of account for all of the matters concerning the administration of this estate? A Yes,I am. Q And will you,during the administration of the estate,consult with counsel as to whatyou mayor may not do in the way of expenditures and investments and soforth? A Yes,I will. Q Where do you live,Mr.Greenlee? A 503 Washington Street,Bentleyville. Q You are well acquainted with Martha,who testified here,are you nc t ? A Yes. Q And will you consult with her and the others if necessary,m detern "mmg '-• ~z«>...>-!IIZZIIIQ. i 0I-I!l"Z X!II« 'f ~ .,:uitI-,-~ Qe...«§ Q :l... I:I-"N vi0: IIII-0:0LIII0: I-0::l0U...«0ii:... 0 -e what might be adequate and proper in the way of expenditures for MJ.~. Kline? A Yes,I will. Q Doyou feel that you can come to an agreement with Martha and her husband as to how this indebtedness will be taken care of that she spoke of to the bank?· A Yes,I do. Q You realize that that indebtedness was originally made with the bank on the basis of a note or other obligation signed by Martha and her husband and that the incompetent here or alleged incompetent would have no liability in and therefore you would have no liability.Doyol unders tand? A Yes. Q But it WO uld not be fair to ha ve them carry this obligation and see that it is paid as it should be with their own monies when the money was borrowed to enhance the es tate and to fix the properties.Do yo~, understand that? A Yes. Q Sb thatyouwo.uld make arrangements with Martha and herhusband to see that this indebtedness is paid as required by the bank. A Yes,I will. Q Areyou married,sir? A No,sir. Q And with whom do you make your home? A My mother. Q What has been the extent of your formal educat ion? ~. A I graduated from Bentleyville High school and Allegheny College of Meadville for two years,and Pittsburgh Institute of Mortuary Scien(e and passed my State Boards in funeral directors in 1960. <Q Have you been in the funeral business since then? Z<:i AYes. >-UIz ffi Q That's all the questions we have.0..i . ~THE COURT:I might inquire at this time in the Courtroom zx~whether or not there is anyone present who desirest(to be heard in th ~ ~ te ..:uiI-UI Q ....<~ Q::l., xI::l'<I matter of this alleged incompetency.If there is,the Court may entertain their testimony at this time.We hear no res pons e. That will conclude our hearing.The Court will take the matter under consideration. (Proceedings Clos ed). I hereby certify that the proceedings and evidence are contained full. that this copy is a correct transcript of the same. a,ct:Y;te'n~~~"'phWC.&vY><IMA.., The foregoing record of the pro ledings upon the hearing of the abo"e aiII:IIIl-ll:oLIII1I: l-ll:~and accurately in the notes taken by me on the hearing of the above cause,and u ....<ij ii:ILo cause is hereby approved and directed ~be filed. V!6~~_- \.. ~ I J. --~--------_...._-----------------------------------------'