The court of appeals affirmed, holding that absent a finding of abuse, neglect, or dependence, the juvenile court lacked subject matter jurisdiction to enter or enforce any orders upon dismissal of the case. See M.F. v. J.F., 312 P.3d 946, 949-50 (Utah Ct. App. 2013), cert. denied, Fuller v. Fuller, 320 P.3d 676 (Utah Feb. 18, 2014). Disappointed by the ineffectuality of the no-contact order, and attributing deceitful conspiratorial motives to those involved in its negotiation and issuance, the Fullers brought this action for a declaratory judgment overriding the state district court decision (later affirmed on appeal) invalidating the order and an injunction to compel its enforcement. They also sought damages from the defendants for their allegedly unconstitutional conduct in the state proceedings.