Byard v. BylerByard v. Byler
The issue presented by this case is whether Ohio’s Uniform Reciprocal Enforcement of Support Act (“URESA”), R.C. Chapter 3115, grants a court subject matter jurisdiction to determine child custody and visitation rights. The purpose of URESA is to “improve and extend by reciprocal legislation the enforcement of duties of support ” across state lines. (Emphasis added.)
“Participation in any proceedings under
No provision in Ohio’s URESA grants the court subject matter jurisdiction over a disputed matter other than paternity and child support.
This holding is consistent with Ohio’s requirement that support issues and visitation and custody issues be determined separately from each other.
Other jurisdictions are in accord with the holding that a petition filed pursuant to URESA does not confer jurisdiction for custody and visitation issues. See, e.g., Mississippi Dept. of Human Serv. v. Marquis (Miss.1993),
If appellant has in fact denied appellee his rightful visitation rights with Courtney, appellee has options of enforcement through actions other than a URESA action. See, e.g.,
Accordingly, we hold that Ohio’s URESA, R.C. Chapter 3115, does not confer subject matter jurisdiction over issues concerning child custody and visitation in an action for child support enforcement. Because our holding on appellant’s first proposition of law is fully dispositive of this action, we decline to address her second proposition. The judgment of the court of appeals is reversed and this
Judgment reversed and cause remanded.
Notes
. As we stated above, the subject matter jurisdiction of URESA is limited to matters of child support.
. In Porter v. Porter (1971),