Kean v. Comm'r

2003 T.C. Memo. 275, 86 T.C.M. 392, 2003 Tax Ct. Memo LEXIS 275
United States Tax Court·Decided September 22, 2003·No. No. 8966-00; No. 9144-00 ·Unpublished·Cited by 10 cases

Opinion

PATRICIA P. KEAN, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent ROBERT W. KEAN, III, Petitioner v. COMMISSIONER OF INTERNAL REVENUE, Respondent *
* This opinion supplements our previously filed opinion in Kean v. Commissioner, T.C. Memo. 2003-163.
Kean v. Comm'r
No. 8966-00; No. 9144-00
United States Tax Court
T.C. Memo 2003-275; 2003 Tax Ct. Memo LEXIS 275; 86 T.C.M. (CCH) 392;
September 22, 2003, Filed
Kean v. Comm'r, T.C. Memo 2003-163, 2003 Tax Ct. Memo LEXIS 163 (T.C., 2003)

*275 Petitioner's motion for award of reasonable litigation costs denied.

R determined deficiencies for H's 1995 and 1996 taxable

   years. R's determinations were based upon R's

   inconsistent position that payments made by H to W, pursuant to

   pendente lite unallocated support orders, were includable in the

   gross income of W as alimony received, and not deductible by H

   as alimony paid. H filed a petition for redetermination. This

   Court held that the payments were alimony for Federal income tax

   purposes and were deductible by H, under sec. 215, I.R.C. H

   seeks recovery of litigation costs pursuant to sec. 7430,

   I.R.C., in the amount of $ 54,012.63.

     Held: R's position that the payments made by H

   to W were not deductible by H as alimony paid was substantially

   justified, within the meaning of sec. 7430(c)(4)(B)(i), I.R.C. H

   is not entitled to recover litigation costs.

Jeffrey M. Garrod and Eugenia Yudanin, for petitioner in docket No. 9144-00.
Joseph*276 J. Boylan, for respondent.
Nims, Arthur L., III

NIMS

SUPPLEMENTAL MEMORANDUM OPINION

NIMS, Judge: This matter is before the Court on petitioner Robert W. Kean III's Motion for Award of Reasonable Litigation Costs, pursuant to section 7430 and Rule 231. Respondent objects. Unless otherwise indicated, all section references are to the Internal Revenue Code in effect at all relevant times, and all Rule references are to the Tax Court Rules of Practice and Procedure.

Petitioner Robert W. Kean III (Mr. Kean) seeks to recover litigation costs in the amount of $ 54,012.63 incurred in connection with respondent's determination of deficiencies with respect to his Federal income tax liabilities for his 1995 and 1996 taxable years. The issues for decision are whether the position of the United States in the judicial proceeding was substantially justified for the purposes of section 7430, and if not, whether Mr. Kean meets the net worth requirements, and whether the litigation costs Mr. Kean seeks are reasonable. Mr. Kean resided in Far Hills, New Jersey, when he filed his petition.

             Background

The underlying claim that gave rise to the*277 present dispute involved whether any part of the unallocated support payments (disputed payments) paid by Mr. Kean to petitioner Patricia P. Kean (Ms. Kean) constitutes alimony under section 71 that is deductible by Mr. Kean, under section 215, and includable in the gross income of Ms. Kean, under sections 61(a)(8) and 71(a). In the notices of deficiency, and in the answers filed by respondent, respondent took inconsistent positions, disallowing the deductions to Mr. Kean and requiring Ms. Kean to report alimony income. On brief, however, respondent argued that Mr. Kean should be allowed to deduct the disputed payments and Ms. Kean should report the disputed payments as income.

This Court rendered Kean v. Comm'r, T.C. Memo. 2003-163, deciding that the disputed payments were alimony for Federal income tax purposes.

             Discussion

Section 7430

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Kean v. Comm'r, 2003 T.C. Memo. 275, 86 T.C.M. 392, 2003 Tax Ct. Memo LEXIS 275 (tax 2003).

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