Below is our selection of new tax, audit and accounting developments in France and in the United States that we believe is relevant. We hope you find it informative.
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Meet Mathieu Aimlon, expert-comptable diplômé non inscrit (France), CPA (U.S.), Principal at Aimlon CPA P.C.
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Mathieu Aimlon, founder of Aimlon CPA P.C. tells us who he is, what sets him apart and how he adds value:
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Get ready for the upcoming tax filing season!
The IRS will soon open the 2021 tax season and is reminding taxpayers to take important steps now to hep themselves file their federal tax returns.
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Aimlon CPA’s focus on continuous improvement
The system of quality control for the accounting and auditing practice of Aimlon CPA P.C. received a peer review rating Pass.
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Overview of Some of the State and Federal COVID-19 Crisis Related Tax Relief Measures and Programs Available for Small Businesses
May 2020
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Aimlon CPA P.C. rebrands to reflect the firm’s expertise in French, U.S., France-Amérique audit, tax, and accounting
New York, October 1st, 2021
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What does the Creditability of the French CSG and CRDS Mean to Individual U.S. Taxpayers?
If you are a citizen of the United States of America or a citizen of another country but a U.S. resident for tax purposes and you prepare and file U.S. individual income tax...
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Practicing Public Accounting in the United States of America, Part I (article in Revue Française de Comptabilité, November 2013)
Revue Française de Comptabilité (an internationally recognized, technical-refereed publication of the French national accounting organization, Conseil Supérieur de l’Ordre...
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The difficulties of applying the Foreign Account Tax Compliance Act (FATCA)
Revue Française de Comptabilité (an internationally recognized, technical-refereed publication of the French national accounting organization Conseil Supérieur de l’Ordre...
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The U.S. Court of Appeals For the 9th Circuit Denied Deficiencies the IRS Assessed, and Adjustments to Partnership Items For What the IRS Considered as an Improper Accounting Method (Shea Homes, Inc. v. CIR)
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Should an S Corporation’s Payment of Its Owner’s Personal Expenses be Considered as a Disguised Wages
In Scott Singer Installations, Inc. v. Commissioner of Internal Revenue (T.C. Memo. 2016-161), the Tax Court has to decide: Whether Mr. Singer should be classified as Scott Singer...
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