My French accountant keeps saying the U.S. LLC treatment in France is the real issue. Is that normal?
I live in Paris and formed a U.S. LLC for a small online education company. The U.S. filings are fairly clear so far, but my French accountant barely talks about the U.S. return and keeps focusing on how France will classify the LLC and the income. That makes me nervous because I thought the U.S. side would dominate the project.
Is it normal for the residence-country treatment to become the main technical issue even when the company itself is a U.S. entity?
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