Files
obsidian-yanxin/documents/tax/2021/f8833_2021.md
Yanxin Lu 6bc3f3a21f Archive tax, immigration, and remaining loose docs into vault
- tax/: 84 files across 2014-2025 with full .md transcriptions
- immigration/: 734 files (H-1B, green card, visa stamping, travel visas, passport) with 26 summary.md files
- Loose files sorted: SSN cards → id/, vaccines → medical/covid/, credit check + lease addendum → lease/, UChicago offer → employment/, wine archive → receipts/
- home.md: removed green card timeline (moved to immigration/greencard/greencard/summary.md)
2026-04-05 19:37:52 -07:00

52 lines
2.1 KiB
Markdown

---
type: tax
category: form-8833
person: xuewei-jiang
date: 2021-01-01
source: "[[f8833_2021.pdf]]"
---
# Form 8833 — Treaty-Based Return Position Disclosure 2021 — Xuewei Jiang
## Taxpayer Information
- **Taxpayer name:** Xuewei Jiang
- **U.S. taxpayer identifying number:** 092-99-3215
- **Address in country of residence:** Huangtai South Rd. #79 1-1-401, Jinan, Shandong Provice 250014, CHINA
- **Address in the United States:** 11950 Idaho Ave. Apt. 113, Los Angeles, CA 90025
## Disclosure Type
- **Section 6114 (treaty-based return position):** Checked
- **Section 7701(b) (treaty-based residency determination):** Not checked
## Checkboxes
- **U.S. citizen or resident:** Checked
- **Checking this box if this is a protective disclosure:** Not checked
## Treaty Information
| Field | Value |
|-------|-------|
| 1a. Treaty country | China |
| 1b. Article(s) | 19 |
| 2. IRC provision(s) overruled or modified | 61 |
| 3. Payor of income | University of Southern California, University Park, Los Angeles, CA 90089-0001 |
| 4. Provision of limitation on benefits article | (blank) |
| 5. Is the taxpayer disclosing a treaty-based return position for which reporting is specifically required pursuant to section 6114? | No |
## Line 6 — Explanation
1. Xuewei Jiang was a resident of PRC immediately prior to arrival in the United States and is not a U.S. citizen.
2. Xuewei Jiang is visiting the United States for the purpose of teaching and/or research at USC, an accredited educational institution.
3. The compensation for teaching and research at USC qualifies for the exemption from federal income taxation under Article 19 of the US-China Income Tax Treaty and was not previously claimed.
4. The research is conducted in the public interest.
5. Xuewei Jiang arrived in the United States on August 2015, initially for a doctoral program, then graduated and started teaching and research at USC. Xuewei Jiang has been on H1B status since June 2020 (I-797 approval notice WAC2032850724). The maximum 3-year exemption period applies.
6. Xuewei Jiang is being taxed on compensation of $269,733.09 from USC for the tax year 2021.