By North Carolina Judicial Branch
In re K.P.W.
Whether the trial court's alleged failure to adhere to N.C.G.S. 7B-1105's timing mandates prejudiced respondent father such that his appeal was preserved notwithstanding his failure to object at the trial court and whether subsequently filing an amended petition to terminate parental rights and serving respondent father with summons rendered any alleged noncompliance with N.C.G.S. 7B-1105 irrelevant.
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Summary
Whether the trial court's alleged failure to adhere to N.C.G.S. 7B-1105's timing mandates prejudiced respondent father such that his appeal was preserved notwithstanding his failure to object at the trial court and whether subsequently filing an amended petition to terminate parental rights and serving respondent father with summons rendered any alleged noncompliance with N.C.G.S. 7B-1105 irrelevant.