Brown v. Alley

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The issue in this cause is whether Plaintiff-appellant Rhonda Brown was estopped from asserting her status as the surviving spouse of the Decedent, Bobby Joe Brown, Jr. Plaintiff and Bobby Joe Brown, Jr. were married in 1995, and three children were born of the marriage. Rhonda testified that after a few years of marriage, she told Bobby she could no longer stay with him if he did not cease his extra-marital affairs. He did not comply with this condition, and Rhonda moved out of the marital home. They were never divorced through a court proceeding. She moved frequently and, at different times, lived in several Oklahoma cities, as well as in Kansas. After Bobby and Rhonda separated, he began living with Ami Alley in 2004. Two children were born to the couple. Ami testified she and Bobby held themselves out as husband and wife to everyone and established a home together in Perry, Oklahoma. Rhonda testified she was aware of the relationship between Ami and Bobby and that he was living with her and their two children. Rhonda testified that Bobby referred to Ami as his girlfriend. In 2013, Bobby died in a motorcycle accident. Ami was named Personal Representative of his estate upon the court's finding she was Bobby's surviving spouse in a common law marriage. Rhonda was not sent notice of the proceeding, and Ami did not advise the court of Rhonda's relationship with Bobby. Ami explained that the court asked if there was anybody to object, and no one appeared to do so. She said the court did not ask about Rhonda, and she did not raise the issue. She also testified Rhonda knew about the proceeding but would not give Ami her address. In the judgment denying Rhonda's Petition and Motion to Revoke Letters of Administration, the trial court found Bobby and Ami's relationship met the requirements of a common law marriage; and that Rhonda re-married in a ceremonial, traditional marriage in 2012. The court based its decision to deny Rhonda's motion to revoke the letters of administration on the issue of estoppel, rather than the legal classification of her marriage to Bobby. Finding that the trial court properly held that Rhonda was estopped from asserting she should have been appointed Personal Representative of Bobby's estate (instead of Ami), the Supreme Court affirmed. View "Brown v. Alley" on Justia Law