In re: Estate of Schappell
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The decedent died intestate in 2021, leaving no close relatives. The decedent had a stepdaughter, Karen Ellis, who claimed she was equitably adopted by the decedent and sought to inherit his estate. Ellis alleged a father-daughter relationship with the decedent, who had been involved in her life since she was four years old. She claimed the decedent treated her as his daughter, referred to her children as his grandchildren, and made statements indicating she would inherit his estate.
The Orphans’ Court for Montgomery County denied Ellis’s initial petition but later allowed her to refile. The court denied a motion for summary judgment by the decedent’s intestate heirs and transmitted seven issues to the Circuit Court for Montgomery County for a jury trial, including whether Ellis was equitably adopted.
The Appellate Court of Maryland vacated the Orphans’ Court’s order, holding that a claimant must prove that the decedent intended to treat them as their own child and that the intent element is not necessarily an intent to adopt pursuant to the adoption statute. The court concluded that the orphans’ court should not have transmitted six of the seven issues to the circuit court, as they were factual in nature.
The Supreme Court of Maryland reversed the Appellate Court’s judgment, holding that a claimant may establish the right to inherit under the doctrine of equitable adoption by demonstrating clear and convincing proof of the decedent’s intent to adopt and that the decedent acted in accord with that intent. The case was remanded to the Orphans’ Court for Montgomery County for further proceedings based on this standard.
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