Gray v. Gray
Annotate this CaseJason and Christy Gray were divorced in 2005, and pursuant to a consent judgment, the parties were awarded joint custody of their son Jayden. Mr. Gray was designated as the domiciliary parent. Mr. Gray gave notice of his intent to relocate with Jayden to Alabama to join his fiancée. Mrs. Gray objected to the relocation and sought to become the domiciliary parent. The trial court approved of Mr. Gray's relocation and denied Mrs. Gray's motion to modify custody. In Spring 2009, Mrs. Gray eventually moved to dismiss her appeal the Alabama move. Mr. Gray petitioned the court again for another move, this time to Kansas. Mrs. Gray objected to this second move. A new judge presided over the second relocation hearing and prohibited Mr. Gray from relocating Jayden to Kansas. The trial court determined that Mr. Gray did not meet his burden of proving the proposed relocation would have been in the best interest of the child. The court further found that Mrs. Gray had established a material change in circumstances warranting modification of custody based on the father's violation of an ex parte order by moving the child to Kansas without court approval. Alternatively, the court found that Mrs. Gray had satisfied her burden of proof to merit a change in domiciliary custody. The appellate court reversed these decisions, concluding the trial court abused its discretion in denying the relocation and modifying custody. Upon careful consideration of the trial record, the Supreme Court agreed with the appellate court. The Court held that the trial court abused its discretion in denying the domiciliary parent's request to relocate. The Court remanded the case back to the trial court for further proceedings.
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