Jean W. Wright, (Cross-Appellee) v. Commissioner of Internal Revenue, (Cross-Appellant). William C. Wright and Ellen W. Wright v. Commissioner of Internal Revenue, (Cross-Appellee)

543 F.2d 593, 38 A.F.T.R.2d (RIA) 6066, 1976 U.S. App. LEXIS 6498
CourtCourt of Appeals for the Seventh Circuit
DecidedOctober 28, 1976
Docket75-1170
StatusPublished
Cited by6 cases

This text of 543 F.2d 593 (Jean W. Wright, (Cross-Appellee) v. Commissioner of Internal Revenue, (Cross-Appellant). William C. Wright and Ellen W. Wright v. Commissioner of Internal Revenue, (Cross-Appellee)) is published on Counsel Stack Legal Research, covering Court of Appeals for the Seventh Circuit primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Jean W. Wright, (Cross-Appellee) v. Commissioner of Internal Revenue, (Cross-Appellant). William C. Wright and Ellen W. Wright v. Commissioner of Internal Revenue, (Cross-Appellee), 543 F.2d 593, 38 A.F.T.R.2d (RIA) 6066, 1976 U.S. App. LEXIS 6498 (7th Cir. 1976).

Opinion

543 F.2d 593

76-2 USTC P 9736

Jean W. WRIGHT, Petitioner-Appellant (Cross-Appellee),
v.
COMMISSIONER OF INTERNAL REVENUE, Respondent-Appellee
(Cross-Appellant).
William C. WRIGHT and Ellen W. Wright, Petitioners-Appellees,
v.
COMMISSIONER OF INTERNAL REVENUE, Respondent-Appellant
(Cross-Appellee).

Nos. 75-1170 to 75-1176.

United States Court of Appeals,
Seventh Circuit.

Argued Sept. 9, 1975.
Decided Oct. 28, 1976.

Bruce C. O'Neill, Gerald J. Kahn, Milwaukee, Wis., for Wright.

Scott P. Crampton, Asst. Atty. Gen., Daniel F. Ross, Atty. Tax Div., Dept. of Justice, Washington, D.C., for C. I. R.

Before STEVENS, Circuit Justice,* FAIRCHILD, Chief Judge and CAMPBELL, Senior District Judge.**

WILLIAM J. CAMPBELL, Senior District Judge.

These appeals are taken from a single decision of the United States Tax Court rendered in four consolidated cases1 wherein petitioners challenged certain federal income tax deficiency determinations made by the Commissioner of Internal Revenue.2 The issues on appeal are those which were before the Tax Court:

"(1) Whether the cash payments made by William C. Wright during the calendar years 1968, 1969, and 1970 to his former wife, Jean W. Wright, are includable in her gross income for such years as alimony under the provisions of section 71, I.R.C.1954,3 and consequently deductible for such years by William C. and Ellen W. Wright under the provisions of section 215; and

(2) Whether annual premiums paid by William C. Wright during the calendar years 1968, 1969, and 1970 on a term life insurance policy owned by his former wife, Jean W. Wright, are includable in her gross income for such years as alimony under the provisions of section 71 and consequently deductible for such years by William C. and Ellen W. Wright under the provisions of section 215."

In the Tax Court, the parties stipulated to all facts relevant to a determination of the foregoing issues. Those facts have been set forth in the Tax Court's opinion, and may be summarized as follows:

William C. Wright (William) and Jean W. Wright (Jean) were married in Milwaukee, Wisconsin on January 31, 1948. In 1967, William filed for divorce and for custody of their minor children. Jean filed a counterclaim seeking a divorce, alimony, a division of property, attorneys' fees, costs, and custody of the children. On October 4, 1967, the action for divorce came to trial, the parties having elected to proceed on Jean's counterclaim. The parties entered into a stipulation in open court with regard to the disposition of property owned by each of them, custody of their children, alimony, attorneys' fees and court costs. In all pertinent respects, the stipulation of the parties was accepted and adopted by Judge L. J. Foley, Jr. of the Circuit Court for Milwaukee County, Wisconsin in his findings of fact, conclusions of law and judgment orally made at the hearing and included as part of the transcript thereof. The court found, on the basis of her counterclaim, that Jean was "entitled to an absolute divorce."

The parties stipulated that their combined net worth was $1,065,122.00. Of this amount, assets worth $227,752.00, consisting of property which was either inherited from her mother or purchased with the proceeds of that inheritance, were owned by Jean. The remaining assets, valued at $837,370.00, had been purchased and were owned by William.

At the divorce hearing, Jean acknowledged under oath that she understood alimony was to be denied; William acknowledged that he understood there was to be a full and complete division of estate in lieu of any claim upon him by Jean for alimony.

Subsequent to the hearing, Jean's attorney submitted proposed findings of fact and conclusions of law, including the following:

"Twenty-first. That alimony be and hereby is denied.

Twenty-fifth. (a) That as and for a complete division of estate and to complete the division of property of the parties, the plaintiff shall pay to the defendant the sum of $228,000.00 within ten and one-half (101/2) years of October 4, 1967, . . .".

William subsequently objected to these proposed findings of fact and conclusions of law, contending that they did not conform with his understanding of the parties' stipulation. His attorney submitted an alternate conclusion of law which stated:

"25a That alimony be and hereby is denied and in lieu of said alimony and in full satisfaction of any claim therefore, and as a complete division of estate and to complete the division of property of the parties, the plaintiff shall pay to the defendant the sum of $228,000.00 in 101/2 years of entry of judgment, said sum to be paid at the rate of $2,000.00 each month for a period of six months and $1,800.00 each month thereafter for a period of 10 years."

Jean's attorney argued that the lump sum payment of $228,000.00 constituted a division of the estate, not alimony, and that at the time the 101/2 year period was agreed upon, she did not consider the payment as alimony and would not report it as such. William's attorney argued that the 101/2 year period provided for in the stipulation was designed to permit William an income tax deduction for the payments made over that period of time.

On January 29, 1968, the court entered its findings of fact and conclusions of law, including the following:

"Twenty-second. That alimony be and hereby is denied.

Twent-third. (sic) That the plaintiff, William C. Wright, shall maintain the present $200,000.00 of life insurance, being with the Northwestern Mutual Life Insurance Company. Policy No. 5 553 595, date of issuance, August 22, 1963 (sic), of which the defendant is owner in full force and effect and shall maintain the defendant as beneficiary thereon for as long as said policy shall provide and at least to age 65 and shall keep the defendant as beneficiary of all the proceeds of said policy until she dies or remarries; that if there are any proceeds of this insurance that the defendant collects, whatever is not used by the defendant in her lifetime shall be left at the time of her death to the children of the parties, either by her will or by trust or by separate trusts in her will.

Twenty-sixth. (a) That as and for a complete division of estate and to complete the division of property of the parties, the plaintiff . . . shall pay the defendant the sum of $228,000.00 within ten and one-half (101/2) years of October 4, 1967; . . .".

The decree then set forth the terms under which the $228,000.00 was to be paid, requiring that William make payments of not less than $2,000.00 per month for the first six months, and no less than $1800.00 per month over a 101/2 year period, until the full $228,000 has been paid.

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Related

Forcum v. Forcum
145 Cal. App. 3d 599 (California Court of Appeal, 1983)
Wright v. Wright
284 N.W.2d 894 (Wisconsin Supreme Court, 1979)

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543 F.2d 593, 38 A.F.T.R.2d (RIA) 6066, 1976 U.S. App. LEXIS 6498, Counsel Stack Legal Research, https://law.counselstack.com/opinion/jean-w-wright-cross-appellee-v-commissioner-of-internal-revenue-ca7-1976.