In Re: The Estate of William Palmer, Aka William Palmer
In Re: The Estate of William Palmer, Aka William Palmer
In Re: The Estate of William Palmer, Aka William Palmer
10
) CASE #17STPB09575
11 In Re: The estate of William Palmer, aka William)
Palmer ) NOTICE OF NON-OPPOSITION OF
12 )
)
PETITION TO SURCHARGE IVY EVETTE
13 JOHNSON, AND TO VACATE ORDERS
__________________________________________ )
) OBTAINED BY FRAUD; AND FOR
14 ) COMPENSATORY AND PUNITIVE
WILLIAM J. PALMER, JR.
) DAMAGES, INTEREST, ATTORNEY’S FEES
15 )
)
AND COST
PETITIONER ) 1. Conspiracy to Commit Larceny
16
) 2. Fraud by Deceit
17 vs. ) 3. Identity Theft
) 4. Intentional Infliction of Emotional Distress
IVY EVETTE JOHNSON, )
18
)
)
Date: April 23, 2021
19 RESPONDENT Time: 9:30am
)
) Dept. 4
20 ) Judge: Hon. Gus T May
_______________________________________________
21
22
1
NOTICE OF NON OPPOSITION TO PETITION FOR SURCHARGE
1 abuses she undertook under the guise of authority based on the fraudulently obtained Letters of
2 Administration of the Estate of William Palmer, aka, William J Palmer (DECEDENT). JOHNSON
3 knowingly and blatantly lied to this Court, claiming repeatedly under oath that she was the daughter of
4 the DECEDENT, when in fact, she knew she was not. This Court set the Surcharge for hearing on
5 April 23, 2021, and as of this date, April 22, 2021, JOHNSON has not filed no written opposition to
6 this petition.
7 PETITIONER restates the absolute, and undisputed fact that he is the SOLE KNOW HEIR of
8 the DECEDENT, and is the only person known to be entitled to letters of administration at the time of
9 the DECEDENT’S passing, and entitlement he NEVER designated to JOHNSON. The list of fictional
10 heirs created by JOHNSON have never been entitled to any interest in this case, and JOHNSON cannot
11 provide authenticating evidence to validate the collection of un-notarized documents which she alleges
13 The Probate notes mistakenly indicate that Objections were filed by RESPONDENTS Blalock
14 Home Investments, LLC, with a JOINDER filed by JOHNSON, however, these oppositions were filed
15 per the courts direction in response to the June 4, 2019 Motion to Vacate Probate Orders. This Motion
16 was heard on the standard of 473(b), and based on a Motion filed far in advance of any discovery. The
17 Surcharge Petition is based on a different standard, and much higher standard of the fiduciary
18 obligations of a designated officer of the Court, the Personal Representative. BLALOCK AND
19 LANPHIER lack standing to oppose the Surcharge petition since neither are fiduciaries, and certainly
20 they cannot oppose this petition to Surcharge JOHNSON, as they have claimed their client has no first-
21 hand knowledge of any of the facts which would determine whether or not JOHNSON has violated her
22 fiduciary obligation, and certainly they cannot do so by unverified objections. Their only standing is
23 properly before this court to determine proper title to the SUBJECT PROPERTY.
24
25 CONCLUSION
26 Based on the foregoing, PETITIONER respectfully request that this Court grant the petition to
27 surcharge JOHNSON, as well as the additional relief prayed for in the SURCHARGE PETITION; or,
28
2
NOTICE OF NON OPPOSITION TO PETITION FOR SURCHARGE
1 in the alternative, issue a CITATION ordering JOHNSON, and the late introduced witness, VERA
5
_______________________________________
6 William J Palmer, Jr
7
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
3
NOTICE OF NON OPPOSITION TO PETITION FOR SURCHARGE
PROOF OF SERVICE
1
2
I, Marina J Boyd, am a resident of Los Angeles County, state of California. I am over the age
3 of 18 and not a party to this action. My business address is P.O. Box 641984, Los Angeles, California
90064.
4
On Thursday, April 22, 2021, I served
5
8 (X) ELECTRONICALLY as follows: I caused such documents to be served via e-mail to the
following e-mail addresses designated by the parties:
9
10 Jessie S. Hernandez, Attorney (SBN #92708) Vanessa H. Widener, Esq. (SBN #203967)
Anderson, McPharlin & Conners LLP Anderson, McPharlin & Conners LLP
11 [email protected] [email protected]
On Behalf of BLALOCK HOME INVESTMETS Lisa (assistant) [email protected]
12 & NICHOLAS E. LANPHIER FAMILY TRUST On Behalf of BLALOCK HOME INVESTMETS
13 & NICHOLAS E. LANPHIER FAMILY TRUST
Dana Delman, Esq. (SBN #167301) Stacie Brandt (SBN: #166399)
14 Delman Vukmanovic LLP Booth, Mitchell, Strange, LLP
[email protected] [email protected]
15 On Behalf of Ivy Evette Johnson On Behalf of SureTec
Robert O. Whitfield, III, Interested Party Davon Gregory, Interested Party
16
[email protected] [email protected]
17
I declare under penalty of perjury under the laws of the State of California that the above is
18 true and correct.
19 Executed this _____
22rd day of December 2020 at Los Angeles, California.
20
21
22 ______________________________
23 Marina J Boyd
Print Name
24
25
26
27
28
4
NOTICE OF NON OPPOSITION TO PETITION FOR SURCHARGE
PROOF OF SERVICE
1
2
I, Marina J Boyd, am a resident of Los Angeles County, state of California. I am over the age
3 of 18 and not a party to this action. My business address is P.O. Box 641984, Los Angeles, California
90064.
4
On Thursday, April 22, 2021, I served
5
15 I declare under penalty of perjury under the laws of the State of California that the above is
true and correct.
16
Executed this _____
22rd day of December 2021 at Los Angeles, California.
17
18
19
______________________________
20
Marina J Boyd
21 Print Name
22
23
24
25
26
27
28
5
NOTICE OF NON OPPOSITION TO PETITION FOR SURCHARGE
1
2 SERVICE LIST
3 ATTACHMENT TO POS-050/EFS-050
4 CASE #17STPB09575
5
Cesar Montano Golden Rule Investment, LLC
6 [email protected] [email protected]
7
10
11
12
13
14
15
16
17
18
19
20
21
22
23
24
25
26
27
28
6
NOTICE OF NON OPPOSITION TO PETITION FOR SURCHARGE