Summary
The Tennessee Court of Appeals concluded that a disabled anesthesiologist's disability payments were not an asset of the marriage as determined by the lower court, but were substituted income to the husband.
See Also
G. Winston Gragg v. Nellie Casburn Gragg
The Tennessee Court of Appeals concluded that a disabled anesthesiologist's disability payments were not an asset of the marriage as determined by the lower court, but were substituted income to the husband.