Norman v. Jardine

Norman v. Jardine

The court found the mother's move and change in circumstances constituted a material change but, on a fresh best-interests inquiry, declined to transfer primary care to the father. The court held the mother's limitation of access and relocation were taken in the child's best interests, joint custody with the mother...

Source-derived case information.

Citation
2017 NSSC 18
Parties
Petitioner: Laura Kate Norman (Jardine); Respondent: David Garth Robert Jardine
Court
Supreme Court of Nova Scotia
Jurisdiction
Canada
Judgment Date
23 January 2017
Procedural Posture
Divorce Custody/access Variation Under the Divorce Act / Application to Vary Corollary Relief Decision
Outcome
Application granted in part: joint custody continued with Ms. Norman as primary care parent; access schedule adopted with specified modifications; retroactive child support denied.
Legal Topics
Custody Variation, Parenting Time/access, Best Interests of the Child, Relocation, Retroactive Child Support
Source Language
english
Family Law Child Custody Child Support Divorce Law Custody Variation Parenting Time/access Best Interests of the Child Relocation +1 more

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Parties

Laura Kate Norman (Jardine)

Petitioner

David Garth Robert Jardine

Respondent

Procedural Posture

Divorce Custody/access Variation Under the Divorce Act / Application to Vary Corollary Relief Decision

  1. 1 Whether there was a material change in circumstances warranting variation of custody/access
  2. 2 Whether primary care should be transferred to the father
  3. 3 Whether the mother’s limitation of access and relocation was justified in the child’s best interests

Ratio Decidendi

The court found the mother's move and change in circumstances constituted a material change but, on a fresh best-interests inquiry, declined to transfer primary care to the father. The court held the mother's limitation of access and relocation were taken in the child's best interests, joint custody with the mother having primary care should continue, the mother's proposed access plan generally suited the child's needs subject to specific modifications, and retroactive child support was not warranted given procedural posture, lack of evidence of need or hardship and absence of blameworthy conduct by the father.

Court Disposition

Application granted in part: joint custody continued with Ms. Norman as primary care parent; access schedule adopted with specified modifications; retroactive child support denied.