June 2017 | No. M2015-01672-COA-R3-CV (Tenn. Ct. App. 2017)

Sardon v. Sardon (Tennessee 2017)

The Tennessee statutes allow courts to deviate from the presumptive child support amount for the cost of children’s extracurricular activities. The evidence in this case clearly supported the cost of the activities, and the father did not object to the activities other than he felt mother didn’t consult him. The appellate court upheld the trial court’s upward deviation from the presumptive child support amount.

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