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  • IN THE MATTER OF THE ROSIA L. HART REVOCABLE TRUST TRUST (PETITION TO REVOKE POWERS OF TRUSTEES) document preview
  • IN THE MATTER OF THE ROSIA L. HART REVOCABLE TRUST TRUST (PETITION TO REVOKE POWERS OF TRUSTEES) document preview
  • IN THE MATTER OF THE ROSIA L. HART REVOCABLE TRUST TRUST (PETITION TO REVOKE POWERS OF TRUSTEES) document preview
  • IN THE MATTER OF THE ROSIA L. HART REVOCABLE TRUST TRUST (PETITION TO REVOKE POWERS OF TRUSTEES) document preview
						
                                

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irew K. Schultz (215917) 550 Bryant Street, Suite 725 ELECTRONICALLY Francisco, CA 94103-4879 FILED ‘elephone (415) 552-1814 t D acsimile (415) 552-2158 “Cecnty of San rancieco™ mail aschultz@witsir.com JUN 17 2014 ‘ttorneys for Herb Thomas, Clerk of the Court BY: NOELIA RIVERA ‘ormer Successor Trustee Deputy Clerk SUPERIOR COURT OF THE STATE OF CALIFORNIA CITY AND GOUNTY OF SAN FRANCISCO Co ew YN AH Hh RB Ww NY ee bw NS Ss NUMBER: PTR-06-288755 DECLARATION OF TRUSTEE’S ATTOR- NEYS RE VOLUNTARY REDUCTION OF ATTORNEYS’ FEE Se an Date: July 9, 2014 Time: 9:00 a.m. Dept: Probate, Room 204 Cross Ref: Case No. PCN-06-288756 The Conservatorship of Rosia Lee Hart _ _ 0 Ne ee et NN ta Ne 1, Andrew K. Schultz, whose office address is 1550 Bryant Street, Suite 725, San rancisco, CA 94103, declare: 4. | am an attorney at law in good standing, duly licensed to practice law in the 'e of California, and | represent the Petitioner in these proceedings, Herb Thomas, a rofessional fiduciary licensed in the State of California, as Successor Trustee of the Rosia L. art Revocable Trust dated May 19, 2004 (the “Trust’). 2. On April 21, 2014, Petitioner filed herein his Fourth and Final Account and eport of Successor Trustee and Petition for Its Settlement; Petition for Allowance of CLARATION OF TRUSTEE’S ATTORNEY CASE No. PTR-06-288755_ Trustee’s Fee and Attorneys’ Fees and Costs, All as a Lien Against Real Property; and Petition to Discharge Conservator and his Surety (the “Final Account”), which is currently scheduled for hearing on July 9, 2014. 3. In that Final Account, Petitioner's attorneys, Witherspoon & Siracusa, requested a fee for the reporting period in the total amount of $38,108.75. Petitioner's attorneys oluntarily reduce their fee request by $87.50 for fees incurred to file orders and obtain ertified copies, to a revised total amount of $38,021.25, and they request that the Court fsimply revise the proposed order which has already been submitted accordingly. wc oN KH HN B® WN — o | certify under penalty of perjury under the laws of the State of California that the _ = foregoing is true and correct, and that this declaration was executed at San Francisco, _ nN alifarnia, on the date indicated below. — fw Date: oft 2014 WITHERSPOON & SIRACUSA — A wh By: _ fw - $ehsee Ih, Andrew K. Schultz, Attorneys for Herb Thomas 23 19 DECLARATION OF TRUSTEE'S ATTORNEY Case NO. PTR-06-288755