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In re R.K.
2021 Ohio 3074
Ohio Ct. App. 9th
2021
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Background:

  • WCCS filed for temporary custody of Ra.K. (nearly 7) and Re.K. (4) on June 3, 2019, after a domestic disturbance; children were adjudicated dependent and neglected and placed in WCCS temporary custody.
  • Records showed significant unmet physical, developmental, speech, feeding, dental, and mental-health needs that were largely untreated in Mother's care.
  • Foster parents engaged with providers, coordinated therapies (speech, OT, behavioral, gastroenterology feeding team), and the children made substantial progress in foster placement.
  • Mother completed some case-plan tasks, maintained housing and employment, but frequently failed to attend or disrupted medical/therapy appointments, resisted interventions, and tested positive for marijuana or refused screens at times.
  • WCCS moved for permanent custody on December 4, 2020; hearing held March 8, 2021; juvenile court found children had been in temporary custody for >12 of a consecutive 22 months and granted WCCS permanent custody as in the children’s best interests.
  • Mother appealed solely arguing the permanent-custody award was against the manifest weight of the evidence; the appellate court affirmed.

Issues:

Issue Plaintiff's Argument Defendant's Argument Held
Whether grant of permanent custody was against the manifest weight of the evidence Mother: She made substantial progress on her case plan, has stable housing and employment, and can care for the children. WCCS: Mother failed to engage with or understand children’s complex medical/therapeutic needs, missed/disrupted appointments, and cannot provide needed ongoing care; foster placement provides stability and meets needs. Affirmed — juvenile court’s best-interest finding supported by clear and convincing evidence and not against the manifest weight.
Whether statutory predicate (12 of 22 months in agency custody) was met Mother: did not meaningfully dispute this finding on appeal. WCCS: children were in agency custody for the requisite period. Affirmed — children were in temporary custody for >12 of a consecutive 22-month period, satisfying the statutory prong.

Key Cases Cited

  • Santosky v. Kramer, 455 U.S. 745 (1982) (state must prove by clear and convincing evidence before terminating parental rights)
  • Eastley v. Volkman, 132 Ohio St.3d 328 (2012) (standards for reviewing whether a judgment is against the manifest weight of the evidence)
Read the full case

Case Details

Case Name: In re R.K.
Court Name: Ohio Court of Appeals, 9th District
Date Published: Sep 7, 2021
Citation: 2021 Ohio 3074
Docket Number: CA2021-03-027 CA2021-03-028
Court Abbreviation: Ohio Ct. App. 9th