Grimes v. Grimes
Grimes v. Grimes
Opinion of the Court
OPINION
¶ 1 There is one question properly preserved for review: did the trial court err in finding Mr. Grimes in indirect contempt for failing to pay child support arrearage payments that had been previously reduced to judgment?
¶ 3 On April 25, 1995, Mrs. Grimes cited Mr. Grimes for indirect contempt alleging he failed to pay the judgments as ordered on October 25, 1994 and March 23, 1995 and failed to pay child support as ordered since November 1994. After trial, the court found Mr. Grimes guilty of indirect contempt and sentenced him to six months in jail, but deferred execution on the judgment until 1999, giving Mr. Grimes a schedule for purging his contempt.
¶ 4 In the recent case of Sommer v. Sommer, 1997 OK 123, 947 P.2d 512, the Oklahoma Supreme Court held that support orders may be enforced through contempt even after arrearages had been reduced to judgment. In finding that Art. 2, § 13
¶ 5 For this reason, we find no error occurs when indirect contempt proceedings are used to collect child support arrearages, even after they have been reduced to judgment.
¶ 6 Mr. Grimes’ motion for appeal related costs and attorney fees is denied.
¶ 7 Mrs. Grimes’ request for attorneys fee is denied.
AFFIRMED.
. Mr. Grimes raised one other issue in his petition in error, but because he did not brief it, that issue is waived. DLB v. Oklahoma Corporation Commission, 1991 OK 5, 805 P.2d 657, 659, fn.
. Okla. Const. Art. 2, § 13: Imprisonment for debt is prohibited, except for the non-payment of fines and penalties imposed for the violation of law.
Case-law data current through December 31, 2025. Source: CourtListener bulk data.