On competing interim motions in a custody dispute concerning a four‑year‑old child, the court considered whether to alter the existing parenting arrangements following a period during which the child had primarily resided with the father.
Applying the Children’s Law Reform Act and the principle that interim orders should generally preserve the status quo absent compelling evidence, the court examined stability, parental capacity, and recent changes in the mother’s circumstances.
Evidence included frequent moves by the mother, concerns about drug use, and the father’s stable home environment and childcare arrangements.
The court concluded that the child’s best interests were served by maintaining primary residence with the father while preserving meaningful parenting time for the mother.
Joint interim custody was ordered, with the father having decision‑making authority over health and education.