In re Guardianship of D.E.
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The Supreme Court of New Hampshire was presented with a case involving the mental health of the respondent, D.E. In the case, the Circuit Court had denied D.E.'s motion to dismiss and granted New Hampshire Hospital’s (NHH) petition for guardianship. It also granted NHH’s petition for involuntary admission. D.E. appealed these decisions, arguing that his due process rights were violated by the simultaneous hearing of both the guardianship and involuntary admission petitions, and that the court lacked jurisdiction to hear the petitions as he was not a resident of New Hampshire nor was he lawfully detained there.
The Supreme Court held that D.E.'s due process argument regarding simultaneous hearings was not preserved as it was not raised in the trial court and was therefore not eligible for review. However, the court found that at the time the non-emergency involuntary admission petition was filed, D.E. was not lawfully detained and thus the trial court did not have jurisdiction on this basis. The question of whether D.E. resided in New Hampshire, giving the court jurisdiction, was remanded to the trial court for determination.
In relation to the guardianship order, the Supreme Court found that the trial court's findings that D.E. was incapacitated and that a guardianship was the least restrictive form of intervention were supported by the evidence. The court also found no error in the trial court's appointment of D.E.'s brother as guardian, despite D.E.'s preference for an independent, professional guardian. The Supreme Court affirmed the trial court's decision on guardianship, vacated the decision on involuntary admission, and remanded the case for further proceedings.
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