The appellant appealed an order regarding the imputation of income and a retroactive child support award.
The Court of Appeal found that the imputation of income was well-grounded in the evidence.
Regarding retroactivity, the court applied the principles from DBS v. SRG, noting the payor's deliberate non-disclosure of his true financial situation.
The court held that the 1997 notice to renegotiate child support constituted effective notice, which was not erased by a subsequent agreement based on the appellant's misinformation.
The appeal was dismissed with costs fixed at $5,000 plus disbursements.