Although the decedent continued to hold real estate in Pennsylvania through an LLC, and did not claim a homestead exemption in Florida, he had purchased a residence in Florida, changed his driver’s license and voter registration to Florida, filed federal income tax returns using his Florida address, filed nonresident Pennsylvania income tax returns, and sold his Pennsylvania residence before his death, all of which showed his intention to remain in Florida indefinitely. Because the decedent had changed his domicile to Florida, and owned no real estate in Pennsylvania, Pennsylvania had no jurisdiction over his estate. Estate of Andrew J. Milligan, Deceased, 2310 EDA 2024 (Pa. Super. 3/18/2025) (non-precedential).