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Declaration of Surya Reddy, MD Page 1 of 2 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 Law Offices of Trent Thompson & Associates Trent Thompson, SBN 214367 Christopher Nelson, SBN 220566 Linda DeVore, SBN 123800 152 S. Harvard Street Hemet, CA 92543 (951) 925-3808 Fax (951) 925-3239 SUPERIOR COURT OF THE STATE OF CALIFORNIA FOR THE COUNTY OF RIVERSIDE In re the Conservatorship of HENRY C. MUNOZ, Conservatee ) ) ) ) ) ) ) ) ) Case No.: HEP 000976 DECLARATION OF SURYA REDDY, MD RE: OSC RE: APPOINTMENT OF PUBLIC GUARDIAN Date: May 19, 2011 Time: 8:30 a.m. Dept: 11 DECLARATION OF SURYA REDDY, MD I, Surya Reddy, MD declare as follows: 1. I am over the age of 18 years and competent to make this Declaration. 2. All matters stated herein are within my personal knowledge. 3. I am a physician licensed to practice medicine in the State of California. My practice focuses on geriatric and general family care. 4. I have been the physician for Henry C. Munoz for over three years and have examined him periodically over that time. I am well-informed about his physical and mental health. 5. Since one year ago, Mr. Munoz’s health has been gradually deteriorating. This is normal for a person diagnosed with Alzheimer’s disease, as Mr. Munoz has been. 6. As I have examined Mr. Munoz over the past three years, he appears to be well-cared for by his son, Henry A. Munoz. ///

Petition to remove James Wiley conservator of the Estate of Henry C.Munoz

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Petition to remove James Wiley attorney at law for failure to act in the capacity as a Riverside County Court appointed conservator.Conservatee passed away prior to removal from judge,which Jamers Wiley is also a part time judge...

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Page 1: Petition to remove James Wiley conservator of the Estate of Henry C.Munoz

Declaration of Surya Reddy, MD Page 1 of 2

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Law Offices of Trent Thompson & Associates Trent Thompson, SBN 214367 Christopher Nelson, SBN 220566 Linda DeVore, SBN 123800 152 S. Harvard Street Hemet, CA 92543 (951) 925-3808 • Fax (951) 925-3239

SUPERIOR COURT OF THE STATE OF CALIFORNIA

FOR THE COUNTY OF RIVERSIDE In re the Conservatorship of HENRY C. MUNOZ, Conservatee

) ) ) ) ) ) ) ) )

Case No.: HEP 000976 DECLARATION OF SURYA REDDY, MD RE: OSC RE: APPOINTMENT OF PUBLIC GUARDIAN Date: May 19, 2011 Time: 8:30 a.m. Dept: 11

DECLARATION OF SURYA REDDY, MD

I, Surya Reddy, MD declare as follows:

1. I am over the age of 18 years and competent to make this Declaration.

2. All matters stated herein are within my personal knowledge.

3. I am a physician licensed to practice medicine in the State of California. My practice

focuses on geriatric and general family care.

4. I have been the physician for Henry C. Munoz for over three years and have examined

him periodically over that time. I am well-informed about his physical and mental health.

5. Since one year ago, Mr. Munoz’s health has been gradually deteriorating. This is normal

for a person diagnosed with Alzheimer’s disease, as Mr. Munoz has been.

6. As I have examined Mr. Munoz over the past three years, he appears to be well-cared for

by his son, Henry A. Munoz.

///

Page 2: Petition to remove James Wiley conservator of the Estate of Henry C.Munoz

Declaration of Surya Reddy, MD Page 2 of 2

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7. As a result of Mr. Munoz’ age and advanced Alzheimer’s disease, his sense of balance is

impaired, and even small bumps can cause bruising. This is common for similar patients.

8. I have many patients who reside in commercial care facilities, and in my personal

observation, Mr. Munoz is receiving the same quality of care as they. I have seen them

incur minor bruising as much and even more than Mr. Munoz.

9. Mr. Munoz’s physical and mental condition is similar to other patients of his age and

state of Alzheimer’s disease. I can detect no deficiencies that would be caused by the

level of care he is now receiving.

10. Alzheimer’s patients fare better when their surroundings and daily routine remain very

stable, and any significant changes can be detrimental to the physical and mental health.

It is therefore my professional opinion that, if Mr. Munoz is moved to a residential care

facility, his mental and physical condition will deteriorate at an accelerated pace.

I declare under penalty of perjury under the laws of the State of California that the

foregoing declaration is true and correct.

Dated: May ______, 2011 ______________________________________ Surya Reddy, MD