Special Education Needs Can Require Private School Tuition in Tenn.

Special Education Needs Can Require Private School Tuition & Tennessee Mother Not Required to Consult with Father

Special Education Needs Can Require Private School Tuition & Tennessee Mother Not Required to Consult with Father

Special Education Needs Can Require Private School Tuition & Tennessee Mother Not Required to Consult with Father

Judi Richardson vs. George Kevin Spanos – Special Education and Private School Tuition in Tennessee Child Support Law

This case stands for the principle that a primary residential parent may unilaterally seek the special education services a child needs, including enrollment in a private school, and compel the other parent to provide the necessary financial support, which may be in addition to the standard child support obligation.

The child at the center of this case was an 11-year old boy named Lewis, who had special education needs.  His Father, Dr. George Kevin Spanos, was a physician, who had little to do with his son.  The Court of Appeals noted that at the time of trial, the Father had not visited Lewis for four years, and that their last visit was an hour spent at a bowling alley. Continue reading

Tennessee Courts Can Order Private School Tuition as Child Support

Is Private School Tuition an Extraordinary Educational Expense in Tennessee Child Support Law?

Barnett v. Barnett – Supreme Court of Tennessee decides private school tuition can be awarded as child support.

Paula Lynn Barnett (the Mother) and Robert McAlister Barnett, III (the Father) were divorced in 1986 after a fourteen-year marriage. At the time of the divorce, the parties’ son, Joshua, was three years old and their daughter, Katie, was an infant. The divorce decree required the Father to pay $2,167 per month in child support for both children.  In March, 1996, Ms. Barnett filed a petition to modify the child support award.    Based on the Father’s gross income of $209,206, the trial court set child support at $3,700 per month but ordered the Mother to pay private school tuition from that support award.   The trial court found that the son’s  tuition at a private school, was an extraordinary educational expense but ruled that the tuition be paid by the Mother from the $3,000 monthly child support. Continue reading

59 Yr Old TN Father Appeals Willful Underemployed + Private School Tuition

Tennessee child support modification law in Tennessee family law from the Tennessee Court of Appeals.

Kaplan v. Bugalla – Modify Tennessee Child Support + Private School Tuition

The parties in this case are Brendi Kaplan (“Mother”) and John A. Bugalla (“Father”). The parties were married for over 10 years and have 2 children.  At the time of divorce, Mother was an attorney making $87,000 per year and Father was an executive at Aon making between $279,000 and $350,000 per year. Father’s initial child support payment was set at $4,000 per month in May 2002. This payment did not include private school tuition as Mother planned on moving with children and enrolling them in public school. Mother’s plans to move did not work out and Mother sought an increase in child support to pay for the children’s private school education in September 2002.  In 2003, the trial court denied Mother’s request for private school tuition. Mother appealed the decision and was again denied the private school tuition. In 2005, Mother sought a grant of certiorari. The Supreme Court heard this case on October 5, 2005.  The Supreme Court reversed the decision of the trial court, denying Mother’s request for private school tuition, and remanded it back to the trial court. Continue reading