Division of Youth & Family Services v. R.D.

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This appeal arose from the termination of Defendant R.D.âs parental rights to his two youngest children. In November 2004, defendantâs adult step-daughter reported to the New Jersey Division of Youth & Family Services (DYFS) that defendant had been sexually molesting one of her step-sisters. A DYFS investigation resulted in the emergency removal and temporary foster care placement of the children. DYFS filed a complaint, and the Chancery Division issued an order to show cause for protective services, determining that removal was necessary to avoid an ongoing risk to the children. On the return date, the court reaffirmed its determinations and scheduled a fact-finding hearing, noting that the burden of proof "is preponderance of the evidence or clear and convincing" evidence. The court eventually concluded that it was in the children's best interests to place them outside the home. After further proceedings, the Title Nine court determined that termination of parental rights followed by adoption was an appropriate plan because defendant had failed to complete services, and thus there continued to be a risk of harm to the children. Defendant never appealed the Title Nine courtâs determinations. The central issue in this appeal was whether determinations made in the adjudication of an abuse or neglect proceeding under Title Nine can be given collateral estoppel effect in a later guardianship/termination of parental rights proceeding under Title Thirty. The Supreme Court held that unless the parties are on notice that Title Nine abuse or neglect proceedings are to be conducted under the "clear and convincing" evidence standard constitutionally required for guardianship/termination of parental rights proceedings under Title Thirty and appropriate accommodations are made for the fundamentally different natures of these proceedings, Title Nine determinations cannot be given preclusive effect in later Title Thirty proceedings.