Doe v. Idaho Department of Health & Welfare
Annotate this CaseJohn Doe was in prison when his son was born. The baby's mother was living with another man, and gave the boy the boyfriend's surname. The baby was abused while in her care; the Department of Health and Welfare took the child into custody. The boyfriend was listed as the putative father in a Child Protective Act (CPA) proceeding; after a DNA test, Doe was substituted as the putative father. Prior to the test, Doe had no prior contact with the child. The Department requested termination of Doe's and the biological mother's parental rights. The mother voluntarily consented to the termination. The Department submitted a new petition, requesting for the first time an "Order of Non-Establishment of Parental Rights." The Department averred that Doe was "not the 'parent' of [Son] as [he had] failed to assert any parental rights to [Son] either by statute or by timely establishing some relationship to [Son]." The magistrate judge entered her Findings of Fact, Conclusions of Law and Nonestablishment of Paternity. Doe timely appealed. He raised two issues: (1) whether under Idaho Code he was entitled to an evidentiary hearing prior to the "nonestablishment" of his parental rights; and (2) whether his due process rights were violated. The Supreme Court concluded that Doe did not show he was entitled to an evidentiary hearing prior to the "nonestablishment" of his parental rights, or that his due process rights were violated.
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