The Court of Appeal found that the juvenile court did not conform with the principles articulated in In re Caden C. when it terminated mother’s parental rights. The Court determined that the juvenile court relied on its prior findings terminating mother’s reunification services and those findings were not relevant to a determination of whether the parental benefit exception applied. The Court remanded the matter to the juvenile court for a new section 366.26 hearing in accordance with Caden C.