Wright v. Commissioner

62 T.C. No. 45, 62 T.C. 377, 1974 U.S. Tax Ct. LEXIS 86
CourtUnited States Tax Court
DecidedJune 25, 1974
DocketDocket Nos. 830-72, 1356-72, 1991-72, 4104-72
StatusPublished
Cited by65 cases

This text of 62 T.C. No. 45 (Wright 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
Wright v. Commissioner, 62 T.C. No. 45, 62 T.C. 377, 1974 U.S. Tax Ct. LEXIS 86 (tax 1974).

Opinion

OPINION

Scott, Judge:

Respondent determined deficiencies in the Federal income tax of petitioners William C. and Ellen W. Wright in the amounts of $8,603.13, $14,963.76, and $14,367.14 for the calendar years 1968, 1969, and 1970, respectively. Respondent determined deficiencies in the Federal income tax of petitioner Jean W. Wright in the amounts of $6,667.59, $7,330.41, and $7,093.34 for the calendar years 1968,1969, and 1970, respectively.2

The parties have disposed of some of the issues by agreement, leaving for decision the following:

(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.

All the facts have been stipulated and are found accordingly.

Petitioners William C. Wright (William) and Ellen W. Wright, husband and wife, were residents of Milwaukee, Wis., at the time of the filing of their petitions in this case. They filed their joint Federal income tax returns for the calendar years 1968, 1969, and 1970 at the Internal Eevenue Service Center, Kansas City, Mo.

Petitioner Jean W. Wright (Jean) was a resident of Cedarburg, Wis., at the time of the filing of her petitions in this case. She filed her Federal income tax returns for the calendar years 1968,1969, and 1970 at the Internal Eevenue Service Center, Kansas City, Mo.

Jean and William filed a joint Federal income tax return for the calendar year 1967.

Jean was born on January 22,1922, and William was born on February 10,1921. On January 31,1948, Jean and William were married in Milwaukee, Wis. Two children were bom of their marriage, one on. July 22,1950, and the other on March 25,1952.

On April 28, 1967, William commenced an action in the Circuit Court for Milwaukee County seeking an absolute divorce from Jean and the custody of their minor children. On August 17, 1967, Jean filed an answer seeking dismissal of William’s complaint and asking for support and maintenance of herself and the minor children. On October 4, 1967, Jean filed a counterclaim asking for an absolute divorce from William, alimony and support money, a division of property, attorneys’ fees, costs, and custody of the minor children.

On October 4, 1967, the action for divorce came to trial before Judge L. J. Foley, Jr., of the Circuit Court for Milwaukee County, Wis. At that time, William’s attorney informed the court that no evidence would be introduced in support of the complaint and that the parties would proceed on Jean’s counterclaim.

At the trial William and Jean, relying on a statement of assets and liabilities prepared by William of the property they owned, entered into a stipulation in open court with regard to disposition of property owned by each of them, custody of the minor children, alimony, attorneys’ fees, and court costs. The stipulation was taken'by stenographic notes by the court reporter and later transcribed, the transcript being certified as true and correct by the reporter under date of October 13, 1967. The stipulation of the parties, with some amplification as to Jean’s rights of visitation to the children, was accepted and adopted by the court in its findings of fact, conclusions of law, and judgment orally made by the judge at the hearing and included in the transcript of the hearing. This oral statement included the conclusion of law by the court that based on her counterclaim Jean “is entitled to an absolute divorce.” It was stipulated that William and Jean had a net worth in the amount of $1,065,122 which consisted of the following:

Estate oe William C. and Jean Wright
Assets
Farm and improvements_ $121, 500
Farm furnishings_ 20, 000
141, 500 Total_
Encumbrances:
Mortgage — Hillmann_. CO Or O
Mortgate — P. Jennings Cn O
17, 266 Mortgage — Lueders_ bO 05
Net asset value_ $124, 234
Residence and rear parcel (per appraisal 6/10/67)_ 135, 000
Contents, furnishings, and jewelry (per appraisal 1959)- 80, 000
Total_ 215, 000
Investments (per report 5/1/67):
William C. Wright portfolio_ 616, 470
Jean W. Wright-____ 139, 518
Total investments_ 755, 988
Automobiles — antique and other- 24, 900
Livestock and animals_ 48, 000
Notes receivable_ 1, 000
Total assets_ 1,169, 122
Liabilities
to u' aq o V & w § s GO* H o ^B ^ CQ p
to £q* CQ 8».i o ^
05 CD 4 o 1 CD
Total liabilities_ 104, 000

Such assets were owned by William and Jean as follows:

Jean
Farm and improvements_ $121, 500
Contents, furnishings, and jewelry- 8, 000
Investments — Jean Wright- 189, 518
269, 018
Less: Mortgages _ $17, 266
Note - 24,000 41,266
Net assets 227, 752
William
Farm furnisliings_ $20,000
Residence and rear parcel-135, 000
Contents, jewelry, and furnisliings-72, 000
Investments - 616,470
Automobiles-24, 900
Livestock and animals-48, 000
Notes receivable-1,000

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Bluebook (online)
62 T.C. No. 45, 62 T.C. 377, 1974 U.S. Tax Ct. LEXIS 86, Counsel Stack Legal Research, https://law.counselstack.com/opinion/wright-v-commissioner-tax-1974.