Builta v. Guzman
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A couple, who share one child, E.A., sought to modify their child support and custody arrangements following their divorce. The father, Mr. Builta, requested a reduction in his child support payments due to an increase in the mother, Ms. Guzmán’s, income and his own additional dependents. He also sought changes to the custody schedule and restrictions on Ms. Guzmán’s school visits during his custodial time. Ms. Guzmán sought sole legal and physical custody, citing Mr. Builta’s planned move to Maryland and his alleged misuse of tie-breaking authority in decision-making for E.A.
The Superior Court of the District of Columbia initially ordered Mr. Builta to pay $1,736 per month in child support and granted joint legal custody with tie-breaking authority to Mr. Builta. The court later modified the child support to $1,644 per month, using the Holland method to account for the parents' increased combined income. The court found no substantial and material change in circumstances to justify altering the custody arrangement but made minor adjustments to the custody schedule and communication requirements.
The District of Columbia Court of Appeals reviewed the case. It affirmed the use of the Holland method for calculating child support but found errors in the trial court’s income calculations and procedural steps. The appellate court remanded the case for recalculating child support with correct income data. It also reversed the trial court’s changes to the custody exchange day and the restriction on Ms. Guzmán’s school visits, finding no substantial and material change in circumstances to justify these modifications. The court upheld the trial court’s decision not to alter the joint custody arrangement, emphasizing the child’s best interests and the parents' ability to cooperate despite their conflicts.
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