The U.S. Tax Court, in a memorandum decision, held that a Russian scientist’s compensation from a U.S. research facility was taxable income, not an exempt grant under the U.S.-Russia tax treaty, affirming the IRS’s determination of tax deficiencies. Taxpayer, a Russian citizen, worked as a research scientist at a U.S. Department of Energy facility in 2010-2011 on a J-1 visa. He claimed his income was exempt under Article 18 of the U.S.-Russia tax treaty as a “grant, allowance, or other similar payment.” The court held the payments were taxable compensation, not an exempt grant, because there was a substantial quid ...
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