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were thereafter deposited into the joint checking account. Ms.
Kean reported no alimony income on her 1994 U.S. Individual
Income Tax Return.
From January 1 through February 10, 1995, Mr. Kean made
payments to Ms. Kean, pursuant to the April 7, 1992, Order and
the March 5, 1993, Order, in the amount of $9,000, by either
depositing checks into the joint checking account or issuing
checks to Ms. Kean, which were thereafter deposited into the
joint checking account. From March 6 through December 7, 1995,
Mr. Kean made payments, pursuant to the April 7, 1992, Order, the
March 5, 1993, Order, and the January 30, 1995, Order, through
the Somerset County Probation Department, to Ms. Kean, in the
amount of $61,200. Ms. Kean reported no alimony income on her
1995 U.S. Individual Income Tax Return. Mr. Kean claimed a
deduction for alimony paid of $72,000 on his 1995 U.S. Individual
Income Tax Return.
For the taxable year 1996, Mr. Kean made payments, pursuant
to the April 7, 1992, Order, the March 5, 1993, Order, the
January 30, 1995, Order, and the April 11, 1996, Order, through
the Somerset County Probation Department, to Ms. Kean, in the
amount of $32,400. Ms. Kean reported $14,400 in alimony income
on her 1996 U.S. Individual Income Tax Return. Mr. Kean claimed
a deduction for alimony paid of $37,715 on his 1996 U.S.
Individual Income Tax Return.
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