IRS's reply Re: 学校不让(H1B,RESEARCHER) 享受TAX TREATY ARTICLE 19 的新理由# TAX - 交税与退税
u*n
1 楼
Unfortunately IRS said no to this case. I sent typecheck's argument to IRS and
wait for their reply. However, as suggested by your folks, i will go ahead and
have a try next year. Anyway thanks for your help.
Revenue Ruling 56-164, General Counsel Memorandum 37047, and Field Service
Advice 1998-61 have a bearing on the question you asked about whether a
Chinese student who has now become a faculty member without leaving the USA
for any considerable length of time can now utilize the teacher/rese
wait for their reply. However, as suggested by your folks, i will go ahead and
have a try next year. Anyway thanks for your help.
Revenue Ruling 56-164, General Counsel Memorandum 37047, and Field Service
Advice 1998-61 have a bearing on the question you asked about whether a
Chinese student who has now become a faculty member without leaving the USA
for any considerable length of time can now utilize the teacher/rese