Respondent contends that none of the amount is deductible because part of it is child support and the remaining portion, relating to Ms.Accordingly, the retirement payments will terminate, by operation of law, on the date that either petitioner or Ms.On June 30, 2000, petitioner retired from the U.S. Navy. In August of the same year, petitioner began receiving his retirement pay, but he failed to make payments to Ms.The divorce decree also required petitioner, who was an active member of the U.S. Navy at the time of the divorce, to pay Ms.In order to qualify as alimony, payments must meet the requirements of section 71(b)(1)(A) through (D). Ms. Holdman received the retirement payments pursuant to a divorce decree.
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