Rudolf B. S. Myers v. Commissioner

11 T.C.M. 1163, 1952 Tax Ct. Memo LEXIS 23
CourtUnited States Tax Court
DecidedNovember 28, 1952
DocketDocket No. 31688.
StatusUnpublished

This text of 11 T.C.M. 1163 (Rudolf B. S. Myers v. Commissioner) is published on Counsel Stack Legal Research, covering United States Tax Court primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Rudolf B. S. Myers v. Commissioner, 11 T.C.M. 1163, 1952 Tax Ct. Memo LEXIS 23 (tax 1952).

Opinion

Rudolf B. S. Myers v. Commissioner.
Rudolf B. S. Myers v. Commissioner
Docket No. 31688.
United States Tax Court
1952 Tax Ct. Memo LEXIS 23; 11 T.C.M. (CCH) 1163;
November 28, 1952

*23 Held, the payments of $3,000, which petitioner made to his divorced wife in each of the taxable years 1946 and 1947, were not payments which were taxable to her under subsection 22(k) of the Code and are, therefore, not deductible by petitioner under subsection 23(u) of the Code. J. B. Steinel, 10 T.C. 409, followed.

Ransom W. Chase, Esq., 610 Title Insurance Bldg., Los Angeles, Calif., for the petitioner. Clayton J. Burrell, Esq., for the respondent.

BLACK

Memorandum Findings of Fact and Opinion

The Commissioner has determined deficiencies in petitioner's income tax as follows:

YearAmount
1946$1,474.91
19471,398.63
The reason for the deficiencies is explained in the deficiency notice as follows:

"It is held that payments in the amount of $3,000.00 made by*24 you to Mary Elizabeth Myers, your divorced wife, during each of the taxable years 1946 and 1947, do not qualify as periodic alimony payments and are not allowable deductions under section 23 (u) of the Internal Revenue Code in computing your net income. * * *"

To this action of the Commissioner, the petitioner assigned error as follows:

"1. That in each of said years 1946 and 1947 the Commissioner erroneously disallowed periodic payments aggregating $3,000.00 per year made by petitioner to his divorced wife in discharge of a legal obligation of petitioner imposed and incurred by petitioner under a Decree of Divorce and under a written instrument incident to said divorce, which payments under subsection (k) of Section 22 of the Internal Revenue Code were includible in the gross income of said divorced wife and not includible in the gross income of petitioner."

Findings of Fact

The evidence consists of a stipulation of facts and exhibits received at the hearing from which we make the following findings:

Petitioner resides in Los Angeles County and filed his returns for the periods involved with the Collector of Internal Revenue at*25 Los Angeles, Sixth District of California.

The petitioner and Mary Elizabeth Myers were at all times subsequent to June 16, 1936, husband and wife until their divorce. About May 28, 1945, Mary Elizabeth Myers instituted a divorce action against the petitioner in the Superior Court of the State of California, in and for the County of Los Angeles. They entered into an agreement relating to their property rights on or about June 1, 1945.

By the terms of this agreement, the petitioner granted and quitclaimed to his wife a 1941 Pontiac automobile, all furniture, furnishings and household equipment of the parties with the exception of a radio phonograph, all jewelry, clothing, personal effects, including wedding gifts in possession of the wife or in storage for her account, all bank accounts in the name of the wife, 33 shares of Massachusetts Investors stock in her name, a 20-year payment life policy issued by the Equitable Life Insurance Company, United States Savings Bonds Series E in the face amount of $775, and all stock, securities and personal property standing in the name of or being in the possession of the wife.

By that agreement the wife granted and quitclaimed to the husband*26 her interest in a Packard automobile, radio phonograph, 35 shares of Massachusetts Investors stock, jewelry, clothing and personal effects in the possession of petitioner, bank accounts standing in his name, and all stocks, bonds, securities and other personal property standing in his name or being in his possession.

The agreement also provides that the petitioner shall pay to his wife for the support and maintenance of the minor child of the parties certain stipulated sums per month until the daughter attains the age of 21 years, or until her earlier demise or marriage. Payments made by petitioner under this part of the agreement are not involved here.

The agreement, in addition to providing for a division of the property of the parties, also provided for the support, maintenance and care of the wife in the following language:

"SEVENTH: The husband agrees to pay the wife for her support, maintenance and care, in consideration of her execution hereof, the sum of Two Hundred Fifty Dollars ( $250) a month, in advance, during the period commencing on June 1, 1945, and continuing until May 31, 1951, after which date the husband shall not be called upon or required to pay to the wife*27 any amount for her support, maintenance and care. The remarriage of the wife shall not relieve the husband from the performance of his obligations in this paragraph contained."

On July 2, 1945, an interlocutory decree of divorce was granted in the divorce action. This decree incorporated in substance petitioner's agreement to pay plaintiff for her support, maintenance and care the sum of $250 a month for the period mentioned in paragraph SEVENTH of the agreement. A final decree of divorce was entered October 10, 1946, which incorporates the terms of the agreement in the interlocutory decree.

Pursuant to the provisions of paragraph SEVENTH of the property settlement agreement, and in accordance with the terms of the interlocutory and final decrees of divorce, the petitioner paid his wife $3,000 during the year 1946, and $3,000 during the year 1947.

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Steinel v. Commissioner
10 T.C. 409 (U.S. Tax Court, 1948)
Lee v. Commissioner
10 T.C. 834 (U.S. Tax Court, 1948)
Fleming v. Commissioner
14 T.C. 1308 (U.S. Tax Court, 1950)
Estate of Orsatti v. Commissioner
12 T.C. 188 (U.S. Tax Court, 1949)

Cite This Page — Counsel Stack

Bluebook (online)
11 T.C.M. 1163, 1952 Tax Ct. Memo LEXIS 23, Counsel Stack Legal Research, https://law.counselstack.com/opinion/rudolf-b-s-myers-v-commissioner-tax-1952.