From DAS: Court watchers needed tomorrow for abusive gship in probate: Estate of Amelia Sallas

log in on zoom at 10 am tomorrow and watch Judge Boliker and the OPG put on a real show, better than any reality show. How to kidnap an elderly woman, give her a de facto divorce, steal all the marital assets from her approx. 85 year old husband.

You could not hope for more drama and squirming.

Why the OPG has not been indicated en masse as a criminal organization under RICO is beyond me.

Judge Boliker and her henchmen and women pretend this is not going on. See no evil, hear no evil, speak no evil–a tried and true motto of gship.

Amelia Sallas wants to see and live with and hold her husband and cherish him, as Dean Sallas wants for her. They want to be together. And since the probate court and their criminal organization have stolen $9 million in real estate and about $100k in marital assets per year with impunity, the crimes against the elderly and humanity continue.

See the show tomorrow 10 am EST.

Shauna Boliker1804/Calendar 15987-1163-7423277-091Weekdays10:00 A.M

If you liked the movie I care a lot, now you can see it in action, full color zoom action. Don’t miss it.

Here is the response of the OPG–complete fiction on their part.

6/7/2022 1:39 PM
Calendar, 15
FILED DATE: 6/7/2022 1:39 PM 2007P005360
Hearing Date: No hearing scheduled
Location: <>
Judge: Calendar, 15
File No: 2007 P 5360
Estate of Amelia Sallas
A Person with a Disabili
Charles P. Golbert, Cook County Public Guardian, as successor plenary guardian of
the Estate and Person of Amelia Sallas, by and through one of his attorneys, Lisa Casanova,
presents this Response to Dean Sallas’ April 30, 2022, pleading, stating in support thereof as

  1. Charles P. Golbert, Cook County Public Guardian, serves as successor
    plenary guardian of Amelia’s estate and successor plenary guardian of Amelia’s person.
  2. Amelia Sallas is 80 years old and resides at Belmont Village assisted living in
    Buffalo Grove, Illinois. Amelia moved to her residence at Belmont Village in April2019
    after living with her daughter and daughter’s family for several months. Prior to that, she
    lived in her single-family home in Skokie, Illinois.
  3. Amelia is doing well at Belmont Village. She participates in daily activities
    and socializes with friends of her choosing, clergy members and daughter, Paulette.
  4. Amelia’s current diagnoses include dementia, arteriosclerotic heart disease,
    hyperlipidemia, dysphagia and congestive heart failure.
  5. Amelia’s monthly income is approximately $7,400, which covers the cost of
    her care at Belmont Village, medical expenses and personal items.
  6. Amelia and her husband, Dean Sallas, hold the beneficial interest in two
    pieces of real property, 4110 Suffield Court, in Skokie, Illinois, and 1555 N. Dearborn
    Parkway, Unit 19E in Chicago, Illinois, both of which are held in land trusts.
    FILED DATE: 6/7/2022 1:39 PM 2007P005360
  7. On April 7, 2022, the Public Guardian filed his Twelfth Current Account for
    Amelia Sallas’ Estate.
  8. On April 30, 2022, Dean Sallas filed a document titled “Dean Sallas’
    objection [sic] to all accountings of the Guardian’s appointed herein and in particular the 12th
    annual account of the Guardian Charles P. Golbert”, hereinafter to be called “Objections”.
    I. The appointment of plenary guardians, of the estate and person, for
    Amelia Sallas was proper
  9. In August 2006, Amelia Sallas suffered a debilitating brain aneurysm causing
    cognitive and memory deficits.
  10. On August 7, 2007, Thomas Sallas, Amelia’s son, filed the original petition
    for guardianship of Amelia.
  11. Subsequently, Dean Sallas and Paulette Andrews (Amelia’s daughter) filed
    separate cross-petitions seeking to become Amelia’s guardian.
  12. On October 5, 2009, after more than two years of protracted litigation and
    over 30 court hearings and status dates, including mediation, the Court adjudicated Amelia
    Sallas a disabled person in need of a plenary guardian.
  13. On October 7, 2009, Advocacy Guardianship Services was appointed the
    plenary guardian of Amelia Sallas’ person and American Bank and Trust was appointed
    plenary guardian of her estate.
  14. Approximately three months later, American Bank and Trust petitioned the
    court to resign and nominated the Cook County Public Guardian.
  15. On February 3, 2010, the Cook County Public Guardian was appointed the
    successor plenary guardian of the Estate of Amelia Sallas.
  16. On July 29,2020, Advocacy Guardianship Services resigned, and the Cook
    County Public Guardian was appointed the temporary guardian of Amelia Sallas’ person.
  17. On December 1, 2020, the Cook County Public Guardian was appointed the
    successor plenary guardian of the person of Amelia Sallas.
    FILED DATE: 6/7/2022 1:39 PM 2007P005360
  18. The Court’s appointment orders dated October 7, 2009, February 3, 2010, and
    December 1, 2020, are based solely on the facts and documents presented and the findings
    made pursuant to 755 ILCS 5/11a- 3 and 5/11a-12.
  19. The Court made findings in its appointment orders including:
    (a) that Amelia is a disabled person and is totally without understanding to
    communicate decisions regarding her person;
    (b) that Amelia is totally unable to manage her estate or financial affairs;
    ( c) that a limited guardian would not provide sufficient protection for Amelia
    and her estate;
    (d) that the factual basis for the guardian was “the reports of Dr. Shaw dated
    11107 and 1119 and 1123/09 and the Reports of the Guardian ad litem, Sherry
    Fox and Petition of Respondent and testimony of all trial witnesses.”
  20. In his “Objections” Dean Sallas provides no basis to support his assertion that
    this Court “at no time made any findings of fact and conclusions of law that disclosed any
    mental, physical or adaptive limitations of Amy Sallas.” Objections, p.2
  21. This Court made specific findings that Amelia Sallas was a person with a
    disability and needed a plenary guardian.
  22. Not only did this Court carefully consider and weigh Amelia’s need for a
    guardian during each appointment hearing, but also it continuously reviews the
    appropriateness of guardianship when considering the guardian’s annual report on Amelia
    Sallas, and on an ongoing basis.
  23. Furthermore, the Court conducted a thorough review of the appropriateness of
    guardianship for Amelia Sallas when it held a several day trial on October 3, 2018, October
    26,2018 and November 29, 2019 on Dean Sallas’ Petition for Restoration of Amelia Sallas.
    This Court denied Dean’s petition for restoration on December 18,2018.
  24. Based on the foregoing, Dean’s “Objections” should be dismissed.
    FILED DATE: 6/7/2022 1:39 PM 2007P005360
    II. The Public Guardian’s Twelfth Current Account is proper and should
    be approved.
  25. Dean Sallas’ objections to the Public Guardian’s 12th current account are not
    properly pled, are legally insufficient in law and fact, and must be stricken.
  26. Dean Sallas requests that the Public Guardian’s annual account be “denied”
    and requests that the Public Guardian pay any sums “wrongfully taken” from Dean and
    Amelia,Sallas. Objections, p. 6-7.
  27. Dean fails to reference any specific expenditure from the Public Guardian’s
    Account that he finds objectionable.
  28. The Public Guardian’s Twelfth Current details each expenditure made on
    behalf of Amelia and reflects that her income and assets were used solely for her care and
  29. The Court approved the Public Guardian’s last eleven accounts and those
    accounts are on file with the Cook County Clerk and are publicly available for anyone to
  30. Dean Sallas was noticed on, and received, the prior annual accountings. The
    Court granted him the authority to file his objections and Dean has, at times, done so.
  31. Dean fails to object to any specific expense, and also fails to provide any
    basis, in law or in fact, to demonstrate how the guardian purportedly violated his or Amelia’s
    “constitutional rights.”
  32. For all the reasons set forth above, the Public Guardian requests that this
    Court find that Dean Sallas’ Objections are legally and factually insufficient, lack specificity
    and are replete with mischaracterizations. Accordingly, Dean’s objections to the 12th
    Current Account must be dismissed.
    III. Dean’s objections contain gross mischaracterizations, are not supported
    by law or in fact and must be stricken.
  33. Dean’s “Objections” are replete with unsubstantiated claims that must be
    FILED DATE: 6/7/2022 1:39 PM 2007P005360
  34. . Dean offers unsupported claims about the guardian engaging in “financial
    elder abuse” and “felony theft”. Objections p.2, 8, 11. These statements are merely used to
    inflame and harass and have no basis, whatsoever, in fact and must be stricken with
  35. On page 9, Dean references the signing of mortgage documents with Byline
    Bank but does not provide details as to the supposed serious criminal conduct or the
    relevance to the proceedings at hand.
  36. As the record in this case demonstrates, the guardian petitioned the eourt for
    the authority to execute mortgage documents and this court properly approved the petition.
    Dean’s statements.about criminal conduct have no basis in fact and the Public Guardian
    requests they be stricken .
    . 37. Dean makes further baseless claims about the “wrongful imprisonment” of
    Amelia Sallas. Objections, p. 7.
  37. He makes unsupported, undocumented and disrespectful claims about the
    guardian “trafficking the elderly” and engaging in a criminal cover up, and thus, these must
    be stricken. Objections p. 7-10.
  38. Similarly, no evidence has been produced or even referenced to support
    Dean’s baseless and appalling claims ofthat the Public Guardian’s staff has threatened him
    and Amelia Sallas and thus these must also be stricken. Objections p. 8.
    AO. Dean provides no evidence or documentation to support any of his offensive
    claims and the Public Guardian requests they be stricken.
    WHEREFORE, Charles P. Golbert, Cook County Public Guardian and successor
    plenary guardian of the Estate and Person of Amelia Sallas respectfully requests this Court
    enter an order:
  39. Dismiss, in its entirety, “Dean Sallas’ Obj ection to all accountings of the
    Guardian’s appointed herein and in particular the 12th annual account ofthe
    Guardian Charles P. Golbert” as it is improperly pled and legally insufficient;
    FILED DATE: 6/7/2022 1:39 PM 2007P005360
  40. Approving the Public Guardian’s Twelfth Current Account; and
  41. Striking Dean Sallas’ unsubstantiated claims of:
    a. Financial elder abuse, felony theft, serious criminal conduct and claims
    the guardian is engaged in a criminal cover up as having no basis in fact;
    b. Wrongful imprisonment and trafficking the elderly as having no basis in
    c. Alleged threats made by the Public Guardian’s staff to Dean and Amelia
    Sallas as having no basis in fact;
  42. Granting any such further relief as this Court deems to be in the best interest of
    Amelia Sallas.
    Respectfully submitted,
    Lisac~or Charles P. Golbert, Cook County Public
    Guardian and Successor Plenary Guardian of
    the Estate and Person of Amelia Sallas
    Under penalties as provided by law pursuant to Section 1-109 of the Code of Civil
    Procedure, the undersigned, an attorney, certifies that the statements set forth in this
    instrument are true and correct,except as matters therein stated to be on information and
    belief and as to such matters the undersigned certifies as aforesaid that she verify believes
    the same to be true, f)fi” ~ Listanova,~
    Charles P. Golbert, Cook County Public Guardian
    Lisa Casanova, Attorney
    Office of the Public Guardian
    69 W. Washington St. #700
    Chicago IL 60602
    312-603 -0800
    Attorney No 70500
    Elizabeth. Casanova(qlcoo kcountvil. gOY

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