Weiner v. Commissioner

61 T.C. No. 19, 61 T.C. 155, 1973 U.S. Tax Ct. LEXIS 27
CourtUnited States Tax Court
DecidedNovember 1, 1973
DocketDocket Nos. 6200-70SC, 6255-70
StatusPublished
Cited by15 cases

This text of 61 T.C. No. 19 (Weiner 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
Weiner v. Commissioner, 61 T.C. No. 19, 61 T.C. 155, 1973 U.S. Tax Ct. LEXIS 27 (tax 1973).

Opinion

StekRett, Judge:

The Commissioner determined deficiencies in the petitioners’ Federal income taxes as follows:

Taxpayer Year Amoun
Walter H. Weiner_ 1965 $934. 15
Lois F. Weiner_,._ 1965 525.89
Lois F. Weiner_ 1966 595.22

The sole issue for our determination is whether certain installment payments made by Walter H. Weiner to Lois F. Weiner, pursuant to their separation agreement, constituted alimony, thereby making such payments includable in Lois’ gross income under the provisions of section 71(a), I.R.C. 1954,1 and deductible to Walter under section 215.

These cases have been consolidated for trial, briefing, and opinion.

FINDINGS OF FACT

Some of the facts have been stipulated and are so found. The stipulation of facts, together with the exhibits attached thereto, are incorporated herein by this reference.

The petitioner in docket No. 6200-70SC is Walter H. Weiner (hereinafter Walter), who resided at the time of the filing of the petition herein at New York, N.Y. Walter filed his Federal income tax return for the calendar year 1965 with the district director of internal revenue at Albany, N.Y.

The petitioner in docket No. 6255-70 is Lois F. Weiner (hereinafter Lois), residing at the time of the filing of her petition at New York, N.Y. Her Federal income tax returns for the calendar years 1965 and 1966 were filed with the district director of internal revenue at New York, N.Y.

Walter and Lois were married on September 7,1952, in Fort Wayne, Ind. Throughout their marriage Lois was hospitalized for substantial periods of time due to mental illness. In order to meet the large expenses incurred because of her illness, Lois’ family gave the couple frequent and substantial gifts of money and stock during the course of their marriage. The medical expenses were met in part by funds advanced to Lois from a family trust administered by the Lincoln National Bank & Trust Co. of Fort Wayne, Ind.

In 1958 Walter and Lois decided to purchase a large house for themselves and their two children. This decision was based primarily on the opinions of Lois’ doctors indicating that continued apartment dwelling in New York City might seriously impair her mental health.

Since Walter lacked the funds to purchase a large house, he asked his mother-in-law to provide such funds as necessary and she readily agreed. To accomplish this, the mother-in-law arranged a transfer from the family trust to Lois of stock of the Lincoln National Life Insurance Co., then valued at approximately $29,500.

Although Walter was prepared to execute a note to the family trust in return for the stock, Lois actually signed a note which required payment within 90 days of demand. There was never any intention to repay the loan. The transfer was in fact an advance against any inheritance Lois would receive if she survived her mother.

Lois and Walter purchased a house costing $37,500. Of the $29,500 received from the sale of stock, $25,000 was used as a downpayment, with the remainder being used for moving and other similar expenses. Title to the house was placed in the joint names of Walter and Lois.

Walter and Lois entered into a separation agreement on March 3, 1965. As part of the agreement Walter retained custody of the two children and possession of, and title to, the house. Further, the separation agreement provided as follows:

3. (a) The Husband and the Wife recognize that, having regard for the financial circumstances of the parties and the financial requirements imposed on the Husband in view of the custody arrangements hereinafter set forth, the Wife will require $200 a month from the Husband for her support and maintenance, and that upon the death of Clara Field, mother of the Wife, the Wife expects an inheritance (outright or in trust) from her mother which will help enable her to support and maintain herself. Husband and Wife agree, however, that supplementary payments over a period of several years shall be made by the Husband to the Wife in order to help defray the relatively substantial disbursements which the Wife may make in paying certain extraordinary current expenses and in establishing a residence separate from that of the Husband and the Children. In contemplation of the foregoing (but whether or not such an inheritance shall be received from the mother of the Wife), the Husband has agreed to make, and the Wife has agreed to accept, in full satisfaction of her rights during her life to support and maintenance from the Husband, the following periodic payments:
(i) $200 on the first day of each month commencing March 1, 1965, and ending on the first day of the month in which the Wife shall either die or remarry, whichever shall first occur;
(ii) $400 on the first day of each month commencing March 1, 1965, and terminating on the first day of the month in which total payments to the Wife pursuant to this subparagraph (ii) equal or exceed $29,000, provided, however, that if, for any reason, the income of the Husband shall diminish from his income during 1964 from the practice of law, or the financial requirements of the Children would be impaired by making such additional payments in the amount of $400, the Husband may, at his option, reduce such additional payment to an amount not less than $200 a month, in which case additional payments to the Wife pursuant to this suparagraph (ii) shall continue until the first day of the month in which total payments to the Wife pursuant to this subparagraph (ii) equal or exceed $29,000.
(b) Anything in this Agreement to the contrary notwithstanding, the obligations of the Husband to make the payments provided in Section 3(a) of this Agreement shall not extend beyond the lifetime of the Wife.

In March of 1965 Walter and Lois were divorced and their separation agreement was incorporated in the divorce decree.

While negotiating the separation agreement, Lois was represented by Alvin Miller, counsel representing her in the instant case. Miller alerted Lois to the fact that she might be taxable on the repayment •of the $29,000 as the agreement was written. At the time of the negotiations, Lois was a voluntary patient at a hospital in New York. Lois felt that she had to accept the agreement as it stood in order to get a divorce.

During 1965, Walter paid $6,000 to Lois which he deducted as alimony payments on his 1965 Federal income tax return. Lois reported $2,000 as income from alimony payments on her 1965 Federal income tax return.

During 1966, Walter made payments of $1,800 to Lois which he deducted as alimony.2 Lois reported $2,400 as income from alimony on her 1966 return.

OPINION

The question for decision is whether certain payments made by Walter to Lois constituted alimony within the meaning of section 71 (a) (1) ,3

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Weiner v. Commissioner
61 T.C. No. 19 (U.S. Tax Court, 1973)

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Bluebook (online)
61 T.C. No. 19, 61 T.C. 155, 1973 U.S. Tax Ct. LEXIS 27, Counsel Stack Legal Research, https://law.counselstack.com/opinion/weiner-v-commissioner-tax-1973.