De Vries v. Gaudiana
Annotate this Case
The case involves a petitioner who filed a miscellaneous petition in Family Court concerning a child whose parents are the respondent and the late Christine Hasselbrock. The petitioner, who had a long-standing platonic relationship with Ms. Hasselbrock, provided financial and emotional support to her and her child. After Ms. Hasselbrock's death, the petitioner sought to be declared a de facto parent or to have other parental rights recognized, but the respondent denied him access to the child.
Initially, the petitioner filed an amended verified petition in Family Court, asserting both statutory and common law claims for de facto parentage. The first hearing justice dismissed the statutory claim due to lack of standing, as the petitioner had never resided with the child. The justice indicated that the petitioner could pursue his common law claims on the miscellaneous calendar. Consequently, the petitioner filed a new miscellaneous petition asserting various common law claims, including de facto parentage, in loco parentis, and visitation rights.
The Rhode Island Supreme Court reviewed the case and affirmed the Family Court's orders. The Court held that the Rhode Island Uniform Parentage Act (UPA) supersedes common law de facto parentage claims, as the statute explicitly outlines the criteria for establishing de facto parentage. The Court also found that the petitioner lacked standing to pursue claims for visitation based on being an "unrelated caregiver" or "de facto relative," as there is no statutory authority granting such rights. Additionally, the Court affirmed the denial of the respondent's motion for attorneys' fees, finding no basis for such an award.
Some case metadata and case summaries were written with the help of AI, which can produce inaccuracies. You should read the full case before relying on it for legal research purposes.
This site is protected by reCAPTCHA and the Google Privacy Policy and Terms of Service apply.