This matter was before the court on defendant’s application to disestablish paternity, terminate child support, and vacate child support arrears. After genetic testing confirmed that defendant was not the child’s biological father, the court granted those parts of the application seeking to disestablish paternity and terminate ongoing support.
The court denied that part of defendant’s application seeking to vacate arrears. In particular, the court rejected defendant’s argument that the arrears could be vacated on equitable principles.