Parham v. J.R.
Parham v. J.R., 442 U.S. 584, was a United States Supreme Court case that reviewed Georgia's procedures for the commitment of a child to a mental hospital based on the request of a parent. The Court rejected, by a vote of 6–3, a class-action lawsuit from a group of minors, who claimed that the state's procedures were insufficient to ensure that parents did not use state mental hospitals as a "dumping ground" for children, and to ensure that minors committed to mental hospitals by their parents actually suffered from a condition sufficient to justify commitment. In so doing, the Court reversed a lower court ruling holding numerous aspects of the Georgia mental health system unconstitutional.
Majority
The five-justice majority, composed of Chief Justice Burger and Justices White, Powell Jr.|Powell], Blackmun, and Rehnquist, concluded that the Due Process Clause of the Fourteenth Amendment did not afford minors committed to state mental hospitals by their parents the right to an adversarial hearing before a judicial or administrative authority. This is due to the presumption in United States constitutional law, built on the doctrine of parental rights, that parents act in the best interest of their child unless rebutted by a finding, based on compelling evidence, that they have abused their authority.The majority rejected the "statist notion that governmental power should supersede parental authority... because some parents abuse and neglect children." While the Court recognized that parents could abuse their power to commit a child to a mental hospital, these cases would be rare, and would be precluded by the procedures already in place. An adversarial hearing, Chief Justice Burger wrote, would create an unacceptable intrusion into the parent-child relationship, and would be inconsistent with the constitutional presumption of parental competence and good intentions.
Finally, the Court determined that because of the potential for abuse, the due process rights of minors required that state mental hospitals provide a neutral factfinder to review, after admission, parental decisions to involuntarily commit their minor child. However, the Court did not require pre-commitment hearings, and stated that the post-commitment procedures were not required to be adversarial or formal; the due process requirement could be fulfilled by a review of the parental decision by a neutral medical professional, considering all relevant information which that professional would rely on to make medical decisions.
As such, the District Court was reversed and remanded.