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The EU AI Act Lands on U.S. SaaS Companies This August: A Practical Compliance Guide
·mike

The EU AI Act Lands on U.S. SaaS Companies This August: A Practical Compliance Guide

A practical guide for U.S. SaaS founders, foundation model providers, and AI agent builders navigating the EU AI Act before the August 2, 2026 enforcement deadline — covering Article 22 representatives, Article 50 transparency disclosures, GPAI Code of Practice obligations, fine tiers up to 7% of global turnover, and procurement-questionnaire readiness.

ai
compliance
saas
startup
+3
How Long to Keep Business Records: A Plain-English Retention Schedule Tied to the IRS Statute of Limitations
·mike

How Long to Keep Business Records: A Plain-English Retention Schedule Tied to the IRS Statute of Limitations

The IRS retention clock varies by record type — three years for routine returns, four for employment tax, six when income is understated by more than 25%, seven for bad-debt and worthless-securities losses, and indefinite for unfiled or fraudulent returns. A defensible schedule built on the statute of limitations, Rev. Proc. 97-22 electronic-records rules, and DOL and OSHA overlays.

recordkeeping
tax-compliance
small-business
bookkeeping
+3
ASC 815 Hedge Accounting for Private Companies: Document Swaps and Forwards Without Wrecking Earnings
·mike

ASC 815 Hedge Accounting for Private Companies: Document Swaps and Forwards Without Wrecking Earnings

ASC 815 requires derivatives to be marked to market through earnings unless you elect hedge accounting at inception. A guide to the three hedge models, the simplified approach for private companies, and the documentation mistakes that turn a clean economic hedge into quarterly earnings volatility.

accounting
financial-reporting
risk-management
treasury-management
+4
Single Audit Compliance Under 2 CFR Part 200: Why $1 Million in Federal Funds Triggers a SEFA Audit
·mike

Single Audit Compliance Under 2 CFR Part 200: Why $1 Million in Federal Funds Triggers a SEFA Audit

A practical walkthrough of the Single Audit Act, the new $1 million federal expenditure threshold effective for fiscal years beginning on or after October 1, 2024, the SEFA's role, the four-step risk-based major program selection, the 12 compliance areas auditors test, and the steps nonprofits and local governments should take before crossing the threshold.

compliance
nonprofit
grants
bookkeeping
+4
CMMC 2.0 and NIST 800-171 in 2026: A Small Defense Contractor's Certification Roadmap
·mike

CMMC 2.0 and NIST 800-171 in 2026: A Small Defense Contractor's Certification Roadmap

CMMC 2.0 took effect November 10, 2025, and Level 2 third-party assessments begin November 10, 2026. A practical guide to scope, cost ($80K–$250K over three years), the 14 control families, the POA&M rule, and a 90-day path for small DoD contractors.

compliance
security
small-business
risk-management
+3
PCAOB QC 1000 and AICPA SQMS No. 1: What Small CPA Firms Must Implement Before December 2026
·mike

PCAOB QC 1000 and AICPA SQMS No. 1: What Small CPA Firms Must Implement Before December 2026

Small CPA firms must implement PCAOB QC 1000 by December 15, 2026, alongside AICPA SQMS No. 1, already effective since December 2025. A practical guide to the eight components, four required roles, Form QC reporting, and a five-phase plan to reach compliance.

cpa
compliance
risk-assessment
accounting
+4
Announcing Beancount.io Website v2: More Powerful, More Helpful
·mike

Announcing Beancount.io Website v2: More Powerful, More Helpful

Beancount.io unveils its revamped website, designed for clarity and usability, featuring expanded documentation and tutorials to enhance your plain-text accounting experience.

changelog
beancount
accounting
website-launch
+6