The Supreme Court reversed the judgments of the district court confirming Third Fourth, and Fifth Amendments to a Survivor's Trust and denying a challenge to the settlor's capacity, holding that the district court failed to comply with the requirements of Nev. Rev. Stat. 164.015. Here, the settlor's daughter, Amy Wilson, challenged the settlor's capacity to execute amendments to the Trust in accordance with Nev. Rev. Stat. 164.015. Under the statute, the district court must hold an evidentiary hearing, make factual findings, and issue an order binding in rem on the trust and appealable to the Supreme Court. The district court entered an order denying the objections and confirming the amendments. The Supreme Court reversed, holding that the district court erred when it did not hold an evidentiary hearing or provide factual finding regarding the settlor's mental capacity prior to approving the amendments to the trusts. |