In re Interest of Jamyia M.

Jamyia, a minor child of Navajo decent, was removed from her parents' home after doctors discovered that Jamyia suffered injuries consistent with shaken baby syndrome. The juvenile court entered a dispositional order that terminated the parents' parental rights. On appeal, the court of appeals reversed, holding (1) the State had not proved it made active efforts pursuant to Neb. Rev. Stat. 43-1505(4) to provide remedial services and rehabilitative programs designed to prevent the breakup of the Indian family and that those efforts had been unsuccessful; and (2) the State was required to provide active efforts to both parents to prevent the breakup of the family within the meaning of the statute when aggravated circumstances were present. The Supreme Court reversed the judgment of the appellate court, holding that the court of appeals did not have jurisdiction to reach the active efforts issue, and it erred when it reversed the juvenile court's determination that the State had satisfied the statute before terminating the parents' parental rights.