SUPREME COURT: STATE OF NEW YORK Hon. Sandra Sgroi J.S.C.
COUNTY OF SUFFOLK Fax# 631-853-6216
“3 PR E36
NOTICE OF
Social Serviees, SETTLEMENT
Petitic Index No, 07-16328
Pursuant to Article 81 of the Mental Lygiene Law
For the Appointment of a Guardian of the Person
And Property of
Mary Ann Hennen,
An Alleged Incapacitated Person.
——
1, Mary Ann Henncn, am appearing In Propria Persona and am again demanding that you
rescind your order dated March 31, 2009, in which you exceeded your judicial authority
and abused your discretion, ‘This Court has no authority to confer authority on a special
guardian, namely, Vincent G. Berger. Jt.
Please consider this another demand that Vincent G. Berger, Jr. and that any reference to
Vincent G. Berger, Jr. be immediately removed from all court documents. Further, I
demand that the special guardianship document (reference) that Vincent G. Berger, Jr.
apparently filed (date) with the Suffolk County Clerk listing himself as special guardian
over my property at 178 Bayview Avenue, Northport be immediately removed, before the
deed which lists me as the sole owner and grantee for this property is recorded.
Ithas recently been brought to my attention, that a lis pendens was filed against my
property on September 28, 2007 by Suffolk County Department of Social Services (Janet
DeMarzo, Commissioner of Suffolk County Department of Social Services, and William
Holst, Legal Counsel for Suffolk County Department of Social Services). How can a lis
pendens have been filed prior to the illegal appointment of Temporary Guardian Debra
Isler on December3, 2007? I demand that this lis pendens be removed from my
property.
On Friday, November 30, 2007, during Wende Doniger’s conversations with Dr.
Frederick Oakes, Ms. Alana Brady, and Ms, Azita Azarieh, Ms. Doniger stated that a
Guardian would be appointed on Monday, December 3, 2007. How did Wende Doniger
KNOW on Friday, November 30, 2007 that a Guardian would be appointed on Monday,
December 3, 2007?
None of the court-appointed lawyers, namely, Sherri Grant Oster, Marianne Artusio,
‘Viggant G. Berger, Jr., Debra Isler, Cour-appointed Evaluator Wende Doniger, Court-
app0initéd Appraiser John Breslin have submitted any of the documentation/EVIDENCE,
which 1 prévjded to them,Has the Court located the missing/lost DOCUMENTATION/EVIDENCE, i.e. motions,
affidavits, transcripts which have been filed by me with the Suffolk County Supreme
Court since September 20, 20077
The fact that the above-mentioned court-appointed attorneys have not submitted evidence
to the Court, constitutes CONTEMPT of Court.
7
‘On January 28, 2008, | filed a Notice of Motion/Request for Stay in opposition to the
appointment by this Court of a Guardian to handle my affairs. T received no response
from the Court with regard to my Request for Stay. See attached Exhibit # 1.
‘
On February 28, 2008, | filed a Notice of Addendum to Request for Stay. See attached
Exhibit #2. Treceived no response from the Court with regard Ww this Addendum to
Request for Stay.
‘On April 29, 2009, I received your order directing me to serve a copy of my April 14,
2009 correspondence to the Court (Hon. Sandra Sgroi) on all parties to this action. See
Exhibit #3, [am submitting all affidavits of service by Patricia I'riedman, Victoria
Brown, and Greg Fischer.
‘On Friday June 19, 2009, I received a tax bill addressed to Nicholas Psaroudis Rev
(Living Trust) regarding unpaid taxes for the tax year 2008 — 2009. See attached Exhibit
#4. Thave told every lawyer who has contacted me sinee April 3, 2001, that as the
fiduciaryfexecutor/co-trustee of the estate of Nicholas Psaroudis, John Rieger is legally
obligated to PAY THE TAXES and MAINTAIN MY PROPERTY, in the condition that
‘it was in. upon the death of my benefactor. I demand that the Court order John Rieger to
pay all delinquent taxes before the deed transferring title to me is recorded.
Attached are correspondence/Exhibit # 6, where [ have been EXTORTED by John
Thomas Rieger, Leo F. McGinity, Jr., Wende Doniger, Sherri Grant Oster, Marianne
Artusio, William Holst, and Vincent G. Berger, Jr.
Ihave also been harassed relentlessly since April 3, 2001 by members of the criminal
justice system of Suffolk County, by members, employees, and administrators of the
Suffolk County Department of Social Services, LIPA, Keyspan.
‘To my knowledge, John Rieger, Leo MeGinity, Jr. and John Walsh, have never beon
harassed by anyone. CRIMINALS are treated as royalty in Suffolk County, New York
and VICTIMS of crime are treated as CRIMINALS.
Respectfully submitted,
May Chit. RKO.
Maty Ano Hennen
En Propria Persona
July 3, 2009FAX
DATE:
TO:
FROM:
PAGES:
SUBJECT:
JULY 3, 2009
HON, SANDRA SGROI, J.C. @ 631-853-6216
JEFFREY T. GRABOWSKI, COURT EXAMINER SPECIALIST @
631-853-6216
VINCENT G. BERGER. IR. @) 631-879-1197
RoBert N: PALMER DENTY CHEF CLERK
MARY ANN HENNEN: (® 631 “333 - Sea,
=
SE3S
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INDEX #07-16328