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 State of New Mexico’s Children, Youth, and Families Department (CYFD) filed an abuse and neglect petition for Ezekiel L., alleging his father's methamphetamine use rendered him unable to provide a stable home. Ezekiel was placed in CYFD custody, adjudicated as neglected, and a treatment plan was established for the father. Emmanuel L., Ezekiel’s younger brother, was also placed in CYFD custody shortly after his birth under similar circumstances. Despite efforts, the father failed to comply fully with the treatment plans, leading to a motion to terminate his parental rights (paras 3-5, 7).
Procedural History
- [Not applicable or not found]
Parties' Submissions
- Petitioner-Appellee (CYFD): Argued that the father failed to comply with the treatment plans and did not make good faith efforts to address the causes of neglect, justifying the termination of his parental rights (paras 8-9, 18).
- Respondent-Appellant (Father): Contended that CYFD did not make reasonable efforts to assist him in addressing his mental health and substance abuse issues. He argued that with appropriate psychiatric treatment, he could have ameliorated the conditions leading to his children's removal (paras 11-12).
Legal Issues
- Whether CYFD made reasonable efforts to assist the father in adjusting the conditions that rendered him unable to properly care for his children.
- Whether the termination of the father's parental rights was in the best interest of the children (para 10).
Disposition
- The district court's decision to terminate the father's parental rights to Ezekiel L. and Emmanuel L. was affirmed (para 1).
Reasons
-
The Court, led by Chief Judge Hanisee, with Judges Bogardus and Yohalem concurring, found that CYFD made reasonable efforts to assist the father, including creating and explaining a treatment plan and providing referrals for recovery groups. The father's non-compliance with the treatment plan, including his inconsistent attendance at recovery sessions and refusal to take prescribed medications for schizophrenia, was noted. The Court also found that the father's ongoing substance abuse and inability to provide a stable environment for the children justified the termination of his parental rights. The decision emphasized the children's need for permanence and the father's failure to demonstrate the ability to provide a safe, stable, and loving home, concluding that termination was in the children's best interest (paras 11-25).
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