[WSBAPT] Applicability of Agent's Certification Form (RCW 11.125.430) to Pre-2017 Durable Powers of Attorney

Heather deVrieze heatherd at westseattlelaw.com
Thu Mar 23 14:18:44 PDT 2017


What about simply referring to Agent in the affidavit and the first time it is mentioned include (also referred to as Attorney-in-Fact).

Heather


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From: wsbapt-bounces at lists.wsbarppt.com [mailto:wsbapt-bounces at lists.wsbarppt.com] On Behalf Of Douglas Bratt
Sent: Thursday, March 23, 2017 12:48 PM
To: wsbapt at lists.wsbarppt.com
Subject: [WSBAPT] Applicability of Agent's Certification Form (RCW 11.125.430) to Pre-2017 Durable Powers of Attorney

Listmates:

With the passage of the new Power of Attorney Act, we have a new Agent's Certification form, set out in RCW 11.125.430, which naturally appears to be geared towards the language in the new Powers of Attorney Act, with reference to an "Agent," as opposed to "Attorney-in-Fact," etc. etc.

The old statute relating to an Affidavit presented by an Attorney-in-Fact, to confirm the validity of the POA, was covered by RCW 11.94.040, which has now been repealed after the provisions of RCW Chapter 11.125 went into effect on January 1, 2017.

Although I rarely was called upon to prepare an Affidavit, per RCW 11.94.040, I am now faced with the possibility of some blow-back coming from a financial institution questioning an existing DPA, which was signed in 2014, effective immediately (and thus still valid per the new Power of Attorney legislation).  My thoughts are to now use RCW 11.125.430, referring to the existing 2014 DPA, and replacing the word "Agent" in the statutory form back to "Attorney-in-Fact."

Do any other approaches occur to any of you?

Regards,

Doug Bratt

Douglas J. Bratt
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