Nebraska Supreme Court

Mann v. Mann

June 21, 2024316 Neb. 910

Summary

The court affirmed the modification order, holding that the ex-husband's stalking conviction and underlying conduct did not constitute domestic intimate partner abuse under the Parenting Act because the evidence did not establish bodily injury, an attempt to cause bodily injury, or a credible threat causing fear of bodily injury. The court also held that the ex-wife failed to prove a material change in circumstances and that the district court acted within its discretion regarding custody, school selection, child support, health insurance, and attorney fees. The court further held that Nebraska lacked UCCJEA jurisdiction over the wife's child from a prior relationship and could therefore vacate the decree's in loco parentis provision.