Doe II v. Doe I

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John Doe I (“Father”) appealed a magistrate court’s order terminating his parental rights to Jane Doe I (“Child”). Father argued the court erred in concluding he neglected Child because Jane Doe (“Mother”) prevented Father from supporting or contacting Child. Father also argued the magistrate court, in analyzing the best interest of Child, impermissibly compared Father’s relationship to John Doe II (“Stepfather”) without considering Mother’s actions. Despite Mother’s unwillingness to provide her or Child’s contact information, the evidence demonstrated that Father had several opportunities to play a role in Child’s life, but his attempts to do so inevitably lost traction. Child’s relationship with Stepfather was only one factor that was considered by the magistrate court in determining that termination was in the best interest of Child. The magistrate court also considered that Father had not paid child support, or made a substantial effort to contact Child since 2012. The Idaho Supreme Court found it was appropriate for the magistrate court to consider these factors when it analyzed whether termination was in the best interest of Child, and affirmed that court's decision in all respects. View "Doe II v. Doe I" on Justia Law