In this dependency case, parents appeal a permanency judgment in which the juvenile court continued jurisdiction and wardship over their daughter, H.
For “a juvenile court to take jurisdiction over a child pursuant to ORS 419B.100(1)(c), the child’s condition or circumstances
At the permanency hearing in this case, DHS appears to have proceeded, and the juvenile court appears to have ruled, based in large part on an understanding of facts established during the initial hearing on jurisdiction. However, those facts were not made a part of the record in this case. DHS had the burden to prove that the factual bases for jurisdiction continued to exist at the time of the hearing and that they posed a current threat of serious loss or injury to H that was reasonably likely to be realized. DHS failed to present evidence at the hearing of the original bases for jurisdiction — the threat of serious loss or injury— in order to meet that burden. Thus, in the circumstances of this case, the record before it at the permanency hearing did not permit the juvenile court to determine that the “factual bases for jurisdiction persist” and that H’s “conditions and circumstances gave rise to” a continuing current threat of harm. Accordingly, the court erred in denying the motion to dismiss jurisdiction and terminate the wardship over H.
Reversed and remanded with instructions to terminate wardship.
Notes
The court terminated the wardship of two of parents’ other children, N and J.
