Marriage of Greenwood v. Greenwood
(1) Court cannot grant child support retroactively. (2) Statute on interest for arrears has retroactive effect.
(1) Court cannot grant child support retroactively. (2) Statute on interest for arrears has retroactive effect.
Where a case has been timely appealed, upon remand, the trial court can retroactively adjust any portion of the original judgment covered by the remand, including considering the effect of the original erroneous order on payments made during the time the case was on appeal.
A nunc pro tunc order can only correct mechanical errors – it cannot award retroactive maintenance.
Child who reaches age of majority does not have cause of action for award or modification of child support.
At time of divorce, maintenance was $100 per week in temporary order. Decision was not made for 7 months – then maintenance was increased to $300 per week RETROACTIVE to date of divorce. Court of Appeals finds issue moot, since it is remanding for reconsideration of maintenance. But, court notes that certain maintenance orders can be made retroactively under Overson.
Court only has authority to create a child support obligation directly in favor of a person who is less than 19 years old and is pursuing a high school diploma at the time the action is commenced.
Trial court properly ordered retroactive child support where husband failed to make proper financial disclosure.
Employee’s options as to payment of his pension benefits may be limited by a divorce court to ensure that the spouse will not be deprived of his or her equitable share.
Social security benefits are not retirement plan to be valued and considered in divorce.
Court can order husband to select pension payout option.