The moving party sought to set aside a 2002 default child support order, arguing he never received notice of the proceedings and was not the child's father.
The original applicant was deceased, and the arrears were being enforced by an assignee.
The court applied the Mountain View Farms factors and dismissed the motion, finding that setting aside the 20-year-old order would negatively impact the integrity of the administration of justice, as the moving party had been aware of the potential claim in 2002 but chose to ignore it.