Justia Alaska Supreme Court Opinion Summaries

Articles Posted in Alaska Supreme Court
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A mother appealed the termination of her parental rights to her child. On appeal, she questioned: (1) the child was a child in need of aid under AS 47.10.011; (2) that she failed to remedy the conduct that placed the child in need of aid; (3) the finding that the Office of Children’s Services (OCS) made reasonable efforts to reunify the family; and (4) that the termination of her parental rights was in the child’s best interests. Because all of the superior court’s rulings were supported by the record, the Supreme Court affirmed the court’s decision to terminate the mother’s parental rights. View "Casey K. v. Alaska" on Justia Law

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The Nancy Lake State Recreation Area's ("the Park") governing regulations prohibit the use of motorized vehicles off of the Park's paved roads. However, the Park issues special use permits to owners of private property abutting the remote boundary of the Park that grant them the right to use all-terrain vehicles (ATVs) along the Butterfly Lake Trail to access their private property. The ATVs have damaged the Butterfly Lake Trail and the surrounding wetlands. SOP, Inc. sued to enjoin the Park from issuing these ATV permits. SOP moved for summary judgment, and the Park filed a cross-motion for summary judgment. The trial court denied SOP?s motion and granted the Park's motion, concluding "there [was] nothing in the statutes or regulations that justifies court intervention and invalidation of the permits." SOP appealed. Upon review, the Supreme Court held that the permits created easements because the Park could not revoke the permits at will. The Court therefore found the permits were illegal and accordingly reversed. View "SOP, Inc. v. Alaska" on Justia Law

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At issue in this case was the termination of Sherman B.'s parental rights to his son Kadin M. The Office of Children's Services (OCS) took Kadin into custody shortly after his birth because he and his mother, Amy M., both tested positive for cocaine, and because of concerns about both parents' ability to care for the child. OCS had already been involved with Sherman for several years because of concerns with his other three children. The superior court terminated both Sherman's and Amy's parental rights to Kadin. Sherman appealed, contesting the court's findings that: (1) he abandoned Kadin; (2) that he failed to remedy the conduct that caused Kadin to be a child in need of aid; (3) that OCS made reasonable efforts to reunify the family; and (4) that termination of his parental rights is in Kadin's best interests. Finding no abuse of discretion, the Supreme Court affirmed. View "Sherman B. v. Alaska" on Justia Law

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A mother and father of two minor children divorced in 2005. The mother was awarded sole legal and physical custody of the children and the father was ordered to pay child support. The father then joined the Army a year later. Five years later, the mother filed a motion to modify the standing child support award, seeking to increase the father's support obligation due to an increase in his income. The father did not respond to the motion to modify until the superior court informed him that it was prepared to award child support in the amount requested by the mother if the father did not file an opposition. The father then opposed the motion, arguing that the Servicemembers Civil Relief Act protected him from adverse civil actions because he was actively serving in the United States Army and contended that the mother had not properly served him with notice of the modification proceeding. Furthermore, he argued that the superior court should deduct the Basic Allowance for Housing that the father received as a servicemember from his income calculation. The superior court modified the parties' child support award without holding a hearing, ordering the father to pay increased child support. The father appealed, raising three challenges to the superior court's decision. Upon careful consideration of the father's arguments, the Supreme Court affirmed the Superior Court with respect to the father's challenges. View "Childs v. Childs" on Justia Law

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Kyle S. appealed a superior court decision that adjudicated his teenage daughter Jane a child in need of aid. Jane was taken into State custody when she was 15 years old, after she reported being physically abused by her stepmother. The superior court based its decision on Jane's propensity to run away; it made no findings about either Kyle or his wife. At the time of the adjudication hearing, Jane had several criminal charges pending. Kyle challenged the trial court's adjudication decision, arguing that the statutory subsection about runaways was unconstitutional as applied to him and that the court incorrectly concluded that the State made active efforts to prevent the family's breakup. Upon careful consideration, the Supreme Court concluded Kyle waived his constitutional argument by not raising it earlier and because the superior court's active-efforts decision was supported by the record. View "Kyle S. v. Alaska" on Justia Law

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Preceding trial, the superior court suggested the parties could introduce evidence regarding an interim custody order at a subsequent hearing, so that they would have more time to reach a final settlement. During the next hearing, both parties expressed some uncertainty about the purpose of the hearing. At the conclusion of the hearing, the court made findings to support a final custody judgment. The Supreme Court concluded that this procedure violated the mother's right to due process of law. Therefore the Court reversed and remanded the case for a new custody trial. View "Debra P. v. Laurence S." on Justia Law

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Chloe O. had a history of substance abuse and mental health issues. OCS took Chloe's fifteen-month-old daughter, Ashanti, into emergency custody because of Chloe's drug abuse, suicide attempts, assaultive behaviors, and affinity for unsafe people and situations. OCS made many unsuccessful attempts to assist Chloe in obtaining treatment for her substance abuse issues and, eventually, for her mental health issues. Following a trial, Chloe's parental rights to Ashanti were terminated. Chloe appealed the trial court's termination order on several grounds, one being that OCS failed to try to reunify Chloe's family. Before briefing was completed the parties agreed that the case should be remanded to allow the trial court to reconsider the active efforts question under the correct evidentiary standard. The trial court found, by clear and convincing evidence, that OCS had made active efforts to reunify Chloe's family. Chloe appealed the trial court's finding and ultimately, the court's decision to terminate her parental rights. Finding no reversible error, the Supreme Court affirmed in all respects. View "Chloe O. v. Alaska" on Justia Law

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Claudio P. was incarcerated before his daughter Iris was born and was likely to remain incarcerated for a significant portion of Iris's childhood. Iris was taken into State custody in June 2010 due to her mother's substance abuse and unsafe conditions in her home. Claudio's mother requested that Iris be placed with her, but she was unable to maintain stable housing. Claudio provided the name of his father, who lived in South Dakota, as another placement option. OCS requested home studies under the Interstate Compact on the Placement of Children for each of Claudio's parents. Both home studies came back with positive recommendations shortly before the termination trial. Following the trial, the trial court terminated Claudio's parental rights to Iris and noted that Iris's permanent placement would be determined at a subsequent hearing. Claudio argued that the trial court erred by terminating his rights because OCS should have taken more action to place Iris with one of his parents. After its review, the Supreme Court concluded that OCS's investigation of Claudio's placement request was reasonable and timely, and that each of the trial court's challenged findings was supported by substantial evidence. View "Claudio P. v. Alaska" on Justia Law

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The Alaska State Commission for Human Rights dismissed Gregg Conitz's complaint against his employer, Teck Alaska Incorporated. In his complaint, Conitz alleged the company discriminated in its promotion decisions. The superior court dismissed Conitz's appeal as moot, finding that the same claims had already been decided by a federal court and that the doctrine of res judicata precluded further claims if remanded to the Commission. Conitz appealed. Finding no reversible error, the Supreme Court affirmed the superior courts decision. View "Conitz v. Alaska State Commission for Human Rights" on Justia Law

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Railroad conductor Sean Janes was injured while railcars were being loaded onto a barge built to transport railcars and non-rail cargo at the same time. Janes and his family sued the barge owner, alleging that placing cargo across the tracks and failing to provide devices to stop moving railcars from hitting the non-rail cargo made the barge unseaworthy under federal maritime law. After a bench trial, the superior court found that the barge was reasonably fit for its intended purpose and that Janes had not proved that the barge was unseaworthy. On appeal, Janes argued the trial court erred by rejecting his unseaworthiness claim. Because the superior court's findings of fact were not clearly erroneous and because the court committed no legal error, the Supreme Court affirmed. View "Janes v. Alaska Railbelt Marine, LLC" on Justia Law