Summary
The Tax Court concluded that house payments made pursuant to a divorce instrument, which a former husband deducted from his income as IRC sec. 215 alimony payments but the former wife did not include in her taxable income as IRC sec. 71 payments, were alimony.
See Also
Linda J. Baxter v. CIR
The Tax Court concluded that house payments made pursuant to a divorce instrument which a former husband deducted from his income as IRC sec. 215 alimony payments but the former wife did not include in her taxable income as IRC sec. 71 payments were alimo ...