GILMORE v. COMMISSIONER

2004 T.C. Summary Opinion 50, 2004 Tax Ct. Summary LEXIS 52
United States Tax Court·Decided April 29, 2004·No. No. 5326-01S·Unpublished

Opinion

KENNETH E. GILMORE, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent
GILMORE v. COMMISSIONER
No. 5326-01S
United States Tax Court
T.C. Summary Opinion 2004-50; 2004 Tax Ct. Summary LEXIS 52;
April 29, 2004, Filed

*52 PURSUANT TO INTERNAL REVENUE CODE SECTION 7463(b), THIS OPINION MAY NOT BE TREATED AS PRECEDENT FOR ANY OTHER CASE.

Kenneth E. Gilmore, pro se.
Mary T. Klaasen, for respondent.
Panuthos, Peter J.

Panuthos, Peter J.

PANUTHOS, Chief Special Trial Judge: This case was heard pursuant to the provisions of section 7463 of the Internal Revenue Code in effect at the time the petition was filed. The decision to be entered is not reviewable by any other court, and this opinion should not be cited as authority. Unless otherwise indicated, subsequent section references are to the Internal Revenue Code in effect for the year in issue, and all Rule references are to the Tax Court Rules of Practice and Procedure.

Respondent determined a deficiency and additions to tax in petitioner's Federal income tax as follows:

                   Additions to Tax1       

Year   Deficiency   Sec. 6651(a)(1)   Sec. 6651(a)(2)   Sec. 6654(a)

____   __________   _______________   _______________   ____________

1996   $ 6,918      $ 1,557      $ 1,384       $ 368

FOOTNOTE TO TABLE

*53 n1The following figures are rounded to the nearest dollar.

END OF FOOTNOTE TO TABLE

After concessions, 1 the issues for decision are: (1) Whether petitioner may deduct, as alimony under section 215, military retirement pension payments made to his former wife; (2) if the payments are not deductible under section 215, whether petitioner may nevertheless exclude from his income any portion of his military retirement pension paid to his former wife; (3) whether petitioner is liable for the addition to tax under section 6651(a)(1) for failure to file a Federal income tax return; and (4) whether petitioner is liable for the addition to tax under section 6654(a) for an underpayment of estimated tax.

*54              Background

[4] Some of the facts are stipulated, and they are so found. The stipulation of facts and the attached exhibits are incorporated herein by this reference. At the time of filing his petition, petitioner resided in Palmer Lake, Colorado.

Petitioner is a retired military officer of the United States Air Force. Petitioner and Mary Alice Warriner (Ms. Warriner) married on September 10, 1981, and separated in September 1993. The District Court, El Paso County, State of Colorado (Colorado court) entered a Temporary Order on October 26, 1995. The same court entered Final Orders and Decree of Dissolution on February 1, 1996. The Final Orders were a part of, and incorporated into, the Decree of Dissolution.

The Final Orders provide, in pertinent part:

   4. The parties had accumulated several pieces of real property

   in Colorado during this marriage. Over the course of the last

   years of the marriage, * * * [petitioner] wasted the marital

   estate by failing to pay mortgages and bills when due from the

   proceeds of rent checks, allowing several foreclosures, not

   responding to creditor summons, *55 converting assets into

   investments outside the marital estate, and then not informing *

   * * [Ms. Warriner] of these actions until default or judgment

   entered. The Court finds that the total loss amounted to

  $ 454,150.00 in assets, costs, and judgments accumulated over the

   last years of the marriage.

   5. The real property presently titled in the name of * * * [Ms.

   Warriner], acquired during the marriage has a net asset value of

  $ 111,000.

   6. The total net loss of marital assets is therefore is [sic]

  $ 343,150.00. * * * [Ms. Warriner] is entitled to recover one

   half of this amount, or $ 171,575.00 as a property settlement

   from [Ms. Warriner] [sic].

   7. There exist [sic] a military retirement which is a  part of

   the marital estate and is marital property  subject to equitable

   division.

   8. [Petitioner's] ability to pay on debt, satisfy financial

   obligations, or otherwise act in a financial [sic] responsible

   manner is problematic and highly unlikely in view of past

   history.

         *56   *   *   *   *   *   *   *

   17. [Petitioner] is a retired military officer with 23 years

   total commissioned active duty. His military retirement is an

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