In re Estate of Blessing
Annotate this CaseThe issue before the Supreme Court involved whether the children of a decedent's predeceased spouse could be considered "stepchildren" under the wrongful death recovery statute. The decedent Audrey Blessing and the children's father were married in 1964. The children's father died in 1994, and Blessing died in 2007. Her estate brought a wrongful death suit, arguing that the children ceased being her step children when their father died. The trial court relied on the close relationship the children and decedent maintained up until her death, and ruled that the children were indeed "stepchildren" and could be beneficiaries in the wrongful death action. The Court of Appeals reversed, holding that the stepchild/stepparent relationship legally ended before Blessing's death. Finding that the statutory term "stepchildren" was undefined in the statute, the Supreme Court held that which parent died first was irrelevant to whether a stepchild could maintain that status. "Any concerns over the result or regarding which stepchildren should be entitled to recover in a wrongful death suit are more appropriately factored into any damages determination."
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