DocketNumber: File 65372
Citation Numbers: 13 Conn. Super. Ct. 169, 13 Conn. Supp. 169, 1944 Conn. Super. LEXIS 98
Judges: Inglis
Filed Date: 12/30/1944
Status: Precedential
Modified Date: 11/3/2024
This is an uncontested divorce case brought on the ground of desertion. Briefly, the facts are that for a period of time prior to January, 1928, the defendant husband was cohabiting with a woman other than his wife; he brazenly admitted that to the plaintiff and in spite of her entreaties not only persisted in his conduct but gave her to understand that he intended to continue the illicit relationship; she, for that reason, left him and they have remained separated ever since; he has never shown any indication of an intention to give up the other woman. The defendant's conduct in this regard was such that the plaintiff could not in reason be expected to continue to live with the defendant. In other words, the defendant was guilty of what is commonly called constructive desertion. The question of law involved in the case is accordingly as to whether such constructive desertion is desertion under section 5174 of the General Statutes, Revision of 1930.
The Supreme Court of Errors of this State has never decided this exact question. It has held that conduct on the part of a husband which makes it unreasonable to require the wife to continue cohabitation would justify her leaving him without forfeiting her right to support. DeRosa vs.DeRosa,
In other jurisdictions it is almost universally held that conduct on the part of one spouse which reasonably forces the other spouse to leave the home constitutes desertion by the first spouse as a ground for divorce, and this is generally held to be true whether the misconduct was indulged in with the specific intent of forcing the other spouse to leave the home or not. 17Am. Jur., Divorce and Separation, § 101, p. 201; 27 C.J.S. Divorce, § 36c, p. 567. In particular, adultery of one spouse is usually regarded as such misconduct as justifies the other spouse in leaving and as entitling the innocent spouse to a divorce on the ground of desertion. 17Am. Jur., Divorce and Separation, § 103, p. 203.
Such constructive desertion fits into the definition of desertion as a ground for divorce which is to be found in the Connecticut cases. As is said in Todd vs. Todd.
Judgment may enter finding actual notice to the defendant and decreeing a divorce to the plaintiff on the ground of desertion.