Sikora v. Sikora

In Sikora v. Sikora, several errors required reversal and remand:

  1. In the absence of special circumstances, permanent, periodic alimony in an amount that exceeds the former wife’s established need is error.
  2. The trial court erred by imputing income to the former wife from her retirement accounts where there was no evidence to support the imputation.
  3. When the trial court awarded alimony, it abused its discretion by failing to make the award retroactive to the date of filing the petition for dissolution.
  4. Because the trial court failed to include the required findings, the life insurance requirement was reversed and remanded for further proceedings.
  5. An award of lump sum alimony of $25,000 to pay existing medical expenses was error in the absence of competent substantial evidence supporting that amount. Evidence supported that the Wife needed only $8900 for medical expenses.
  6. The inclusion of dissipated assets in the equitable distribution scheme was error, where there was no finding of misconduct.

Sikora v Sikora