Benjamin M. v. Jeri S.
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The Supreme Court reversed the order of the district court dismissing Benjamin M.'s amended complaint seeking to establish custody, support, and parenting time, holding that the district court erred in failing to give proper legal effect to the two notarized acknowledgments of paternity Benjamin filed contemporaneously with his amended complaint.
Benjamin and Jeri were the parents of two minor children, F.M. and L.M. The parents executed notarized acknowledgments of paternity for each child. Benjamin later filed a complaint seeking to establish paternity, child support, and parenting time. Jeri moved to dismiss the action as time-barred. Thereafter, Benjamin filed an amended complaint to establish child custody, child support, and parenting time and offered into evidence certified copies of the notarized acknowledgements of paternity for both children. The district court dismissed the case as being time-barred. The Supreme Court reversed and remanded the cause for further proceedings, holding (1) where there is a properly executed and unchallenged acknowledgment of paternity, an action for establishment of paternity should be treated solely as an action to determine the issues of custody and support; and (2) the district court erred in failing to give proper legal effect to the signed, notarized acknowledgments of paternity in this case.
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