HomeMy WebLinkAbout0561 ~T:'IUCIE COUNTY;
'80 SEP 8 P11 ~ : Sb 498'79Q
IN THE CIRCUIT COURT OF THE 19TH
ROGCIZp01tRAS JUDICIAL CIRCUIT, IN AND FOR
CLERK CIRCUIT COURT sT. LUCIE COUNTX,. FLORIDA
CASE No. _ _ 8 ~ 4 4 8 C
IN RE: THE MATTER OF
VINCIENT H. JONES, Incompetent.
PETITION ~'OR APPOINTMENT OF
GUARDIAN OF THE ~PERSON/PROPSRTY ~ Incompetent
The Petitiop of RUTH JONES respectfully shows:
1. The Petitioner resides at Route. 1, Box•405, •
Royal Fountain Motel, f't. Pierce, Flor~,da, and her post.
office address is the same.
2. The alleged incompetents name, age, residence
,and post office address are as follows:
NAME DOB AGE RESIDENCE/P. O. BOX
VINCIENT H. JONES March 30, 1913 Route 1, Box 405
age,67 Royal Fountain Motel
Ft. Pierce, Florida
Petitioner is the wife of the alleged incompetent.
3. The alleged incompetent is presently committed
at the North East Florida State Hospital in Macclenny,
Florida, and has been under the care of Petitioner since 1974.
Said alleged. incompetent is a disabled veteran, and is unable ,
~ to care for himself. Said alleged incompetent is 100$ disabled,
based on his mental condition.
4. The court has not, as of-this date, .adjudicated
the alleged incompetent.
5. The type of guardianship desired is one of the
person, and of the property. The approximate value of the
property of which Petitioner whichs to be responsible is
as follows:
I A. $1,000.00 benefit per month from VA for
I ~ ,
living expenses of both the alleged incompetent and Petitioner;
B. $210.00 Social Security disability benefits; ~
The Petitioner does not wish to be responsible for any
BLAYNE JENNINGS
e S MMeOUR CfiV lIVD.
~~i ~.BJUR/1E i{A 37~, property, real or personal, not situated in this state.
1051 7?3-0410
.e n 45TH STREET
,.ccpRO. fLO11cOA 379!0
L:i1~I1~ViIV rJ~G
1 ~
~ ~
.
°
„p.