Clear and convincing evidence supports the court's finding that, during the period from July 2011 until July 2012, the father failed to maintain the requisite substantial and continuous contact with the children and to provide financial support for them and that therefore his consent to adoption was not required (see Domestic Relations Law § 111 [1] [d]). While the father was incarcerated during this period of time, he had no communication with his children or...
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