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M.W. v. S.T.
196 A.3d 1065
Pa. Super. Ct.
2018
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Background

  • Grandmother filed a custody complaint (March 6, 2017) for her grandchildren while they were adjudicated dependent and temporarily placed with relatives; she previously sought to intervene in the juvenile dependency proceedings (Sept. 29, 2016) but was denied.
  • Children were returned to parents' care and the juvenile court closed the dependency on June 21, 2017.
  • Parents and Grandmother repeatedly failed to complete required pre‑conference steps (FOCUS seminar) and conferences were continued; Grandmother also sought continuances for health reasons.
  • Parents moved to dismiss Grandmother’s custody complaint on standing grounds, arguing 23 Pa.C.S. § 5324 no longer permitted her to proceed once the dependency was closed and children were reunified.
  • Trial court granted dismissal (April 16, 2018); Grandmother appealed, arguing standing should be measured at the time she filed the complaint and that the dependency adjudication should still support her claim.
  • The Superior Court affirmed, holding standing may be re‑evaluated after material changes (e.g., closure of dependency) and a closed dependency cannot be bootstrapped into a custody claim absent an independent risk showing under § 5324(3)(iii)(B).

Issues

Issue Grandmother's Argument Parents' Argument Held
Whether standing under 23 Pa.C.S. § 5324 should be assessed at time complaint filed or can be re‑evaluated after changed circumstances Standing should be judged based on facts at time complaint filed (children were dependent then) Standing may be re‑evaluated when circumstances change; dependency closure eliminated § 5324(3)(iii)(A) basis Standing may be re‑evaluated; court correctly considered status when dismissal was sought and found standing ended after dependency closed
Whether a prior dependency adjudication permanently grants grandparent standing for custody/partial custody Dependency adjudication while complaint pending suffices even after closure; potential future risk justifies continued standing Closed dependency does not continue to confer standing absent current basis in statute Grandmother may not "bootstrap" a closed dependency to obtain custody; must show an independent current statutory basis
Whether § 5324(3)(iii)(A) is ambiguous as to timing or duration of “has been determined to be a dependent child” Statute does not indicate termination of standing when dependency is later closed § 5324 requires present applicability; change in status is material Any ambiguity resolved by presumption favoring parental rights; closed dependency does not suffice without current statutory predicate
Whether Grandmother could have pursued relief under § 5324(3)(iii)(B) (substantial risk) She asserted potential for renewed issues would justify standing She did not plead or argue current substantial risk; her request was for visitation due to lost access Court noted she did not pursue § 5324(3)(iii)(B); her stated goal (partial custody to get visitation) is not a substitute for showing current risk

Key Cases Cited

  • K.W. v. S.L., 157 A.3d 498 (Pa. Super. 2017) (standing in custody matters reviewed de novo)
  • D.G. v. D.B., 91 A.3d 706 (Pa. Super. 2014) (standing doctrine and limits on third‑party custody suits)
  • M.G. v. L.D., 155 A.3d 1083 (Pa. Super. 2017) (re‑evaluation of standing after changed circumstances)
  • Troxel v. Granville, 530 U.S. 57 (2000) (parental liberty interest in care, custody, and control of children)
  • D.P. v. G.J.P., 146 A.3d 204 (Pa. 2016) (constitutional limits on grandparent standing provisions)
  • K.C. v. L.A., 128 A.3d 774 (Pa. 2015) (appealability of orders denying intervention in custody/dependency contexts)
  • In re J.S., 980 A.2d 117 (Pa. Super. 2009) (intervention by foster parents in dependency cases)
  • In the Interest of B.S., 923 A.2d 517 (Pa. Super. 2007) (assumed jurisdiction over denial of intervention by grandmother in dependency proceeding)
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Case Details

Case Name: M.W. v. S.T.
Court Name: Superior Court of Pennsylvania
Date Published: Sep 26, 2018
Citation: 196 A.3d 1065
Docket Number: No. 712 WDA 2018
Court Abbreviation: Pa. Super. Ct.