State v. J. G.
This text of 227 P.3d 1181 (State v. J. G.) is published on Counsel Stack Legal Research, covering Court of Appeals of Oregon primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.
Opinion
In this dependency case, father appeals the juvenile court’s judgment committing his child to the legal custody of the Department of Human Services. The judgment states that child is within the jurisdiction of the court, based, in part, on an allegation in the dependency petition that father has a history of assaultive behavior. On appeal, father asserts that that allegation was insufficient as a basis for the court’s jurisdiction.1 The state concedes that the allegation that father had a history of assaultive behavior “was insufficient on its face to state a basis for juvenile jurisdiction and further, that the state failed to prove facts that might have cured the defect.” We agree and accept the state’s concession.
The parties agree that father earlier stipulated to the court’s jurisdiction on a separate and independent basis— that father did not have sole custody of child and was, therefore, unable to protect child from mother — and that the case should be remanded for entry of judgment on the basis of that stipulation. See State ex rel Juv. Dept. v. S. A., 230 Or App 346, 214 P3d 851 (2009).
Vacated and remanded for entry of judgment establishing dependency jurisdiction based on allegation admitted by father.
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Cite This Page — Counsel Stack
227 P.3d 1181, 233 Or. App. 616, 2010 Ore. App. LEXIS 122, Counsel Stack Legal Research, https://law.counselstack.com/opinion/state-v-j-g-orctapp-2010.