Opinion · United States Tax Court

Estate of Goldman v. Commissioner

112 T.C. 317

Type
Opinion
Court
United States Tax Court
Jurisdiction
Federal
Date
1999-06-01
Topic
general

Jacobs, Judge: In the notice of deficiency respondent determined the following income tax deficiencies and accuracy-related penalties: [[Image here]] After resolving a protective adjustment for the year 1992 (involving the deduction of expenses of an S corporation which passed through to Monte H. Goldman), the parties agree that the amounts of deficiencies and accuracy-related penalties now at issue are: [[Image here]] The issues remaining for decision are: (1) Whether payments of $240,000 Monte H. Goldman made to Sally Parker during each year in issue were properly deductible as alimony, and (2) whether a section 6662(a) accuracy-related penalty is applicable to each year in issue. All section references are to the Internal Revenue Code, and all Rule references are to the Tax Court Rules of Practice and Procedure. FINDINGS OF FACT Some of the facts have been stipulated, and the stipulation of facts is incorporated in our findings by this reference.

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