This summary was computer-generated without any editorial revision. It is not official, has not been checked for accuracy, and is NOT citable.
Facts
- The case involves the termination of parental rights of Crystal T. (Mother) concerning her children. The Children, Youth & Families Department (the Department) engaged in efforts over approximately two years to address deficiencies in Mother's parenting through a treatment plan and referrals to service providers. Despite these efforts, Mother's compliance was poor, and she failed to make meaningful progress.
Procedural History
- [Not applicable or not found]
Parties' Submissions
- Petitioner-Appellee (Children, Youth & Families Department): Argued that their efforts to assist the Mother through a treatment plan and service referrals were reasonable, given the Mother's lack of compliance and failure to make meaningful progress.
- Respondent-Appellant (Crystal T.): Challenged the sufficiency of the evidence supporting the termination of her parental rights, focusing on the reasonableness of the Department's efforts. Additionally, speculated that the Department could have done more to investigate possible relative placements for the children.
Legal Issues
- Whether the Children, Youth & Families Department made reasonable efforts to assist the Mother in addressing her deficiencies to prevent the termination of her parental rights.
- Whether the Department's failure to consider relative placements for the children affects the reasonableness of its efforts and constitutes grounds for overturning the termination of parental rights.
Disposition
- The Court of Appeals affirmed the termination of Mother's parental rights.
Reasons
-
The decision was delivered by Judge Megan P. Duffy, with Judges Kristina Bogardus and Zachary A. Ives concurring. The Court found that the Department's efforts were reasonable, citing evidence of a treatment plan designed to address the Mother's deficiencies, numerous referrals to service providers, and attempts to engage the Mother over a two-year period. The Court concluded that the Mother's poor compliance and failure to make meaningful progress justified the termination of her parental rights. Furthermore, the Court rejected the argument that the Department's failure to investigate possible relative placements for the children provided a basis for overturning the termination, noting that the Mother's memorandum in opposition lacked persuasive argument or authority to support this claim (paras 3-5).
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