The appeals court affirmed the trial court's child support order requiring Roebuck to pay $334.42 per month, rejecting all four assignments of error he raised on appeal regarding minimum wage imputation, voluntary unemployment findings, and income determination.
Excerpt
The trial court did not err in imputing minimum wage pursuant to the Federal minimum wage standard by finding the defendant to be voluntarily unemployed and by averaging defendant's income to arrive at its award of support. Judgment affirmed.
What This Ruling Means
# Yant v. Roebuck: Plain English Summary
**What Happened**
Roebuck was ordered to pay child support. He appealed the amount, arguing that the court incorrectly calculated his income for determining how much he owed. Specifically, he claimed the court shouldn't have assumed he earned minimum wage or treated him as voluntarily unemployed when figuring his support obligations.
**What the Court Decided**
The appeals court sided with the lower court. The judges upheld the child support order of $334.42 per month. They rejected all of Roebuck's arguments about how his income was calculated, finding no errors in the court's use of federal minimum wage standards or its finding that he was voluntarily unemployed.
**Why This Matters for Workers**
This case is important because it shows courts can base child support calculations on minimum wage earnings when a person isn't working or earning enough to support their children. If someone is capable of working but chooses not to, courts may not accept that as an excuse to pay less child support. Workers should understand that employment status and income directly affect family support obligations.
This summary was generated to explain the ruling in plain English and is not legal advice.
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