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In a child protective proceeding, the father appealed three dispositional orders from June 9, 1993, and fact-finding orders from February 22, 1993, which found Racielli C. to be an abused and neglected child, and Arodi C. and Hanameel C. to be neglected children. The mother, Oneida Q., appealed a dispositional order from June 9, 1993, which found her to have neglected Racielli C. The appellate court reversed the fact-finding order against Oneida Q. concerning the neglect of Racielli C. and dismissed that part of the petition. However, the court affirmed the dispositional orders against the father, finding that the determination of sexual abuse against his daughter Racielli C. was supported by a preponderance of the evidence, including the child's out-of-court statements corroborated by reenactment with dolls. The court concluded that the petitioner failed to prove the mother's neglect of Racielli C. by a preponderance of the evidence, as there was no indication she knew or should have known of imminent danger.
In re Oneida Q. is a workers' compensation case decided in Appellate Division of the Supreme Court of the State of New York. This case addresses legal issues related to compensation claims, benefits, and court rulings.
It is commonly referenced in legal research involving workers' compensation laws in Appellate Division of the Supreme Court of the State of New York.
Full Decision Text1 Pages
In a child protective proceeding, the father appealed three dispositional orders from June 9, 1993, and fact-finding orders from February 22, 1993, which found Racielli C. to be an abused and neglected child, and Arodi C. and Hanameel C. to be neglected children. The mother, Oneida Q., appealed a dispositional order from June 9, 1993, which found her to have neglected Racielli C. The appellate court reversed the fact-finding order against Oneida Q. concerning the neglect of Racielli C. and dismissed that part of the petition. However, the court affirmed the dispositional orders against the father, finding that the determination of sexual abuse against his daughter Racielli C. was supported by a preponderance of the evidence, including the child's out-of-court statements corroborated by reenactment with dolls. The court concluded that the petitioner failed to prove the mother's neglect of Racielli C. by a preponderance of the evidence, as there was no indication she knew or should have known of imminent danger.
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