Commonwealth v. N.B.D.
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The Supreme Court reversed the judgment of the court of appeals ruling that the family court erred in declining to conduct a special immigrant juvenile (SIJ) hearing at the disposition phase of a dependency, neglect and abuse case regarding an unaccompanied Guatemalan child, holding that Kentucky courts are not required to engage in SIJ status factfinding.
The family court determined that it was without the jurisdictional authority to undertake SIJ findings because such findings were not relevant to the core dependency, neglect, and abuse issues before the court. The mother appealed, arguing that the circuit court erred by not making the findings required for SIJ status. The court of appeals agreed. The Supreme Court reversed, holding (1) the General Assembly has not specifically directed Kentucky's courts to make SIJ findings, and therefore, the family could need not make additional findings relevant to the child's SIJ classification, upon request, in every case; and (2) under the circumstances of this case, the proper place for SIJ status factfinding was in federal immigration court.
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