In re J.M.
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Father M.M. and mother J.M. pled no contest to a dependency petition regarding their minor children, J. and M. (along with their now-adult sibling Mi.), based on the parents engaging in repeated conflicts in the children’s presence. The juvenile court found jurisdiction over the children pursuant to Welfare and Institutions Code section 3001 and removed them from both parents’ custody, finding that the ongoing conflict caused a substantial risk of harm to the children, including serious mental health issues for J. The court returned the children to mother and father in October 2020 but maintained jurisdiction. In May 2021, the court terminated jurisdiction at a section 364 status review hearing with an exit order granting shared legal custody of J. and M. to mother and father, but sole physical custody to mother. Father appeals from that exit order, arguing that the court erred in terminating jurisdiction and applied the wrong standard to remove the children from his custody.
The Second Appellate District affirmed. The court found no abuse of discretion in the court’s conclusion that awarding sole physical custody to mother was in the children’s best interest, as recommended by DCFS and requested by mother and the children, and where J. stated she was not comfortable visiting or living with father at all. The court’s order was further supported by the evidence that father had failed to comply with on-demand drug testing, failed to meet with the CSW for assessment for months, blamed mother for his relationship issues with J., blamed DCFS and mother for his lack of conjoint counseling, and was frequently absent.
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