Turner v. Turner

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In 2001, Father filed a petition to terminate Mother’s parental rights. Mother did not file an answer to the petition. The trial court subsequently entered a default judgment terminating Mother’s parental rights. In 2010, Mother filed a petition seeking to set aside the judgment terminating her parental rights as void for lack of personal jurisdiction. Father argued that Mother’s petition was barred by the one-year statute of repose applicable to judgments terminating parental rights and thus should be dismissed. The trial court granted Mother’s petition and set aside the default judgment terminating her parental rights. The Court of Appeals affirmed. The Supreme Court affirmed in part and reversed in part, holding (1) the default judgment was void for lack of personal jurisdiction; (2) the reasonable time filing requirement of Tenn. R. Civ. P. 60.02 does not apply to petitions seeking relief from void judgments under Rule 60.02(3); and (3) however, relief from a void judgment should be denied if certain exceptional circumstances exist. Remanded for a hearing to determine whether exceptional circumstances justify denying relief in this case. View "Turner v. Turner" on Justia Law