Spires v. Simpson

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Charity Spires and Plaintiff-Appellee Kenneth Spires married and had one child, Uriah. A month after Uriah was born, Kenneth abandoned Charity and the child. Though the Spires did not divorce, Kenneth never returned to the marital home. Charity died in an automobile accident involving Defendant Haley Simpson. Custody of Uriah was awarded to his maternal grandmother, Constance Ogle, who served as administrator of Charity's estate. Kenneth filed this wrongful death lawsuit against Simpson and her parents. Ogle sought to intervene. While she acknowledged Kenneth was the Decedent's surviving spouse, Ogle argued he should be disqualified from prosecuting the lawsuit because he owed child support arrearages, and because the abandoned the Decedent and Uriah. While Ogle’s motion to intervene in the wrongful death lawsuit was still pending, a Chancery Court entered an order of adoption, permitting the Decedent’s brother, Captain (now Major) Dana Trent Hensley, Jr., M.D., to adopt Uriah. The adoption order terminated Kenneth's parental rights as to Uriah. Ultimately the trial court granted the motion to intervene, dismissed Kenneth from the suit and substituted Ogle and Major Hensley as plaintiffs. Kenneth appealed, and the Court of Appeals reversed, finding that as the surviving spouse, Kenneth was not disqualified from commencing and maintaining the wrongful death action, notwithstanding the child support obligation. Because Kenneth was not statutorily disqualified from bringing the action, the Court of Appeals held that he was the proper plaintiff and that Kenneth and Uriah were each entitled to half of the settlement proceeds under the laws of intestate succession. Based on Kenneth's stipulation that he owed almost $72,000 in child support for four other children, the appellate court determined that his entire portion of the lawsuit proceeds had to be paid towards his outstanding child support obligations through the Child Support Receipting Unit. The Tennessee Supreme Court held the prohibitions in Tennessee Code Annotated sections 20-5-107(b) and 31-2-105(b) were intended to apply only to cases in which the “parent” who seeks to recover in a wrongful death lawsuit was a parent of the decedent child, and the child support arrearage is owed for the support of that decedent child. Neither statute was applicable under the facts of this case. Consequently, the Court reversed and vacated the decisions of the trial court and the Court of Appeals applying Sections 20-5-107(b) and 31-2-105(b) in this case. The Court remanded the case to the trial court for further proceedings. View "Spires v. Simpson" on Justia Law