In a Decision – Clapper v. Clapper (an "Unreported Decision") >> the Court Held:
The Appellate Division determined that there was a need for a plenary Hearing as to whether the child was emancipated or there was a need for the parent to pay for post High School education. The submissions were conflicting and there was a need for extensive fact-finding. The Trial court did not adequately reference to the Newburgh factors.
The application to the Trial Court was to emancipate the parties’ then twenty-one-year-old son, terminate child support, and contribution towards the son’s post high school education expenses (pursuant to the parties’ property settlement agreement).