November 2015 | No. E2014-01269-COA-R3-CV, 2015 WL 7068559 (Tenn. Court. App. 2015)

Lubell v. Lubell (Tennesee 2015)

Private school tuition and other approved extraordinary educational expenses should be considered as a deviation from the guideline child support amount and added to the base child support award. This way the actual cost of the expense can be considered and appropriately allocated between the parents. The cost should not be subtracted from a parent’s gross income.

Lubell v. Lubell.pdf

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