The respondent father brought a motion to change a prior custody order, seeking sole custody and termination of child support, alleging material changes in the children's educational needs, supervision needs, over-identification with the mother, and unmet medical needs.
The applicant mother opposed the motion.
The court applied the two-stage test from *Gordon v. Goertz*, requiring a material change in circumstances before considering the children's best interests.
The court found that the respondent failed to demonstrate any material change in circumstances on any of the four bases alleged, dismissing the motion to change.