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Norbert Bolda appealed the trial court's order denying his petition to modify or terminate a spousal-maintenance order, which required him to pay his ex-wife, Clivaller Bolda, $1,600 monthly. Norbert contended that there was insufficient evidence to support the trial court's finding of no material and substantial change and that the spousal maintenance exceeded the statutory cap. The Court of Appeals, Second Appellate District of Texas at Fort Worth, affirmed the trial court's judgment. The court primarily ruled that the spousal maintenance obligation was contractual alimony, not court-ordered spousal maintenance, and thus not subject to modification under Chapter 8 of the Texas Family Code, and alternatively, that Norbert failed to prove a material and substantial change in circumstances.
Norbert Bolda v. Clivaller Bolda is a workers' compensation case decided in Texas Court of Appeals, 2nd District (Fort Worth). This case addresses legal issues related to compensation claims, benefits, and court rulings.
It is commonly referenced in legal research involving workers' compensation laws in Texas Court of Appeals, 2nd District (Fort Worth).
Full Decision Text1 Pages
Norbert Bolda appealed the trial court's order denying his petition to modify or terminate a spousal-maintenance order, which required him to pay his ex-wife, Clivaller Bolda, $1,600 monthly. Norbert contended that there was insufficient evidence to support the trial court's finding of no material and substantial change and that the spousal maintenance exceeded the statutory cap. The Court of Appeals, Second Appellate District of Texas at Fort Worth, affirmed the trial court's judgment. The court primarily ruled that the spousal maintenance obligation was contractual alimony, not court-ordered spousal maintenance, and thus not subject to modification under Chapter 8 of the Texas Family Code, and alternatively, that Norbert failed to prove a material and substantial change in circumstances.
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