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Erin W. v. Charissa W.
297 Neb. 143
Neb.
2017
Read the full case

Background

  • Charissa and Erin W. married in June 2013 while Charissa was pregnant; Charissa told Erin before marriage she had also had intercourse with another man, G.T., near conception.
  • The child was born during the marriage; Erin was listed on the birth certificate and has actively parented the child (care, financial support, shared parenting time).
  • Parties separated in 2014; Erin filed for dissolution in 2015; Charissa moved for court-ordered genetic testing to determine paternity, which Erin opposed.
  • The district court denied Charissa’s motions for genetic testing, relying on the presumption that a child born during marriage is the husband’s child and noting Charissa produced no competent corroborating evidence.
  • At trial the court found Charissa failed to rebut the statutory presumption of legitimacy, adjudicated Erin the child’s father, awarded joint legal and physical custody (continuing the parties’ existing alternating 5-day schedule), and ordered child support from Erin.

Issues

Issue Plaintiff's Argument (Charissa) Defendant's Argument (Erin) Held
Whether court should order genetic testing Charissa requested court-ordered genetic testing to rebut presumption of legitimacy Erin opposed testing; child born during marriage, he is presumed father Denial affirmed — no abuse of discretion; Charissa cited no applicable statute at trial and sought to illegitimize child without naming another father
Whether presumption of legitimacy was rebutted Charissa argued her testimony and photos rebut presumption (G.T. was possible father) Erin argued presumption stands; Charissa’s testimony is uncorroborated and insufficient Presumption not rebutted — evidence not clear, satisfactory, and convincing; spousal testimony inadequate
Applicability of § 43-1412.01 before decree Charissa relied on statute on appeal to justify testing Erin maintained statutory disestablishment applies only after legal paternity determination § 43-1412.01 inapplicable pre-decree; disestablishment requires a prior legal determination
Appropriateness of joint custody Charissa argued joint custody improper if Erin not biological father Erin and record showed stable joint parenting arrangement; both previously agreed to joint custody Joint custody affirmed — court found no abuse of discretion; arrangement served child’s best interests

Key Cases Cited

  • Donald v. Donald, 296 Neb. 123, 892 N.W.2d 100 (states standard that spousal testimony cannot overcome presumption of legitimacy)
  • Alisha C. v. Jeremy C., 283 Neb. 340, 808 N.W.2d 875 (clarifies clear, satisfactory, and convincing standard to rebut presumption of legitimacy)
  • Helter v. Williamson, 239 Neb. 741, 478 N.W.2d 6 (spousal declarations are not competent to rebut legitimacy presumption)
  • Younkin v. Younkin, 221 Neb. 134, 375 N.W.2d 894 (same principle regarding presumption of legitimacy)
  • Perkins v. Perkins, 198 Neb. 401, 253 N.W.2d 42 (historic authority on legitimacy presumption)
  • Zahl v. Zahl, 273 Neb. 1043, 736 N.W.2d 365 (standards for awarding joint physical custody)
Read the full case

Case Details

Case Name: Erin W. v. Charissa W.
Court Name: Nebraska Supreme Court
Date Published: Jul 7, 2017
Citation: 297 Neb. 143
Docket Number: S-16-958
Court Abbreviation: Neb.