The court in a will contest for undue influence held that the widow of decedent lacked standing to compel an account from the decedent’s agent under power of attorney, because only the principal or the executor of the principal’s estate had standing as the agent was only a fiduciary of the principal. Griggs Estate (No. 2), 2 Fid. Rep. 3d 354 (O.C. Chester 2012) (Opinion by Tunnell, J.)