In re Estate of Chris Robert Frank
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The Supreme Court affirmed the decision of the district court denying Appellant’s application for a decree of summary distribution of real property of the estate of her grandfather (Decedent) on the ground that Appellant lacked standing to file the application, holding that the district court did not err in its analysis of Wyo. Stat. Ann. 2-1-205.
Section 2-1-205 concerns who can file as a distributed and from whom a distributed may claim. On appeal, Appellant argued that she was a distributee of Decedent’s estate and therefore had standing to apply for summary distribution of Decedent’s real property. The Supreme Court disagreed, holding (1) the definition of distributee applies solely to persons who are entitled to property of a decedent through that decedent’s will or the statutes of intestate succession as applied to that decedent; and (2) Appellant was not a distributee of Decedent’s estate, and therefore, Appellant was not a proper applicant under section 2-1-205.
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