HomeMy WebLinkAbout1517 File No. 71-51 CP
_ Est. Ruby Marshall
5. That the claim of Fort Pierce Memorial Hospital is stale
and unenforceable.
6. Petitioner has hereto filed a final accounting containing
a complete report of all receipts and disbursements since the
commencement of administration of this Estate, or since the date
of the last accounting filed herein, if any.
7. Petitioner has fully administered this Estate, by making
payment, settlement, or other disposition of all claims and debts
that were presented, and by paying or making provision for the
payment of all expenses of administration.
8. Petitioner has filed all required estate tax returns with
the Internal Revenue Service and with the Department of Revenue of
the State of Florida, and has obtained and filed with this court
'evidence of the satisfaction of this estate's obligations for both
federal and Florida estate taxes, if any.
9. Petitioner requests the Court to approve the distribution
of the remaining assets of this Estate which consist of the real
property, by an appropriate Executrix' deed, a copy of which is
hereby attached hereto and incorporated herein.
10. The only person having an interest in this proceeding and
her respective address is:
SARAH E. PEEK LEE, a/k/a SARAH E. PEEK LEE PATTERSON,
728 Avenue "D", P. 0. Box 2148,
Fort Pierce, Florida 33450
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11. Any objections to the report of receipts and disbursements
or the proposed distribution of assets must be filed within 30 days.
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12. Subsequent to the opening of this Estate, SARAH E. PEEK LEE
has since married, and her name is now SARAH E. PEEK LEE PATTERSON.
Petitioner requests that, after satisfactory proof has been
presented that distribution has been made in accor3ance with the
schedule of distribution and that claims of creditors have been
paid or otherwise disposed of, an order be entered discharging
Fetitioner as Personal Representative of this Estate and releasing
the surety on any bond which Petitioner may have posted in this
proceeding from ariy further liability on it.
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