US IRS announces hiring for Advance Pricing and Mutual Agreement Program

  • The IRS has stated that it is hiring more individuals to work in the Advance Pricing and Mutual Agreement program.

  • The announcement, which is the latest of several about the program, demonstrates continued support for the program and efforts to better manage its advance pricing agreement caseload.

On November 8, 2023, an IRS official announced that the agency is actively hiring individuals to work in its Advance Pricing and Mutual Agreement (APMA) program.1 Peter Rock, a field operations director in the IRS's Large Business & International (LB&I) division, said at a conference sponsored by the Tax Executives Institute and San Jose State University that he "expect[s] to see a lot of growth" in the program as a result of additional funding from the Inflation Reduction Act, which was originally nearly $80 billion.2

In 2022, taxpayers filed 183 APA requests, which increased from the 145 APA requests filed in 2021. This increase continued the trend from the last several years. Since 2019, the number of APA requests filed in a year has either remained steady or increased annually.3 Additionally, APMA has faced an increased backlog of APA requests. At the end of 2022, 564 APA requests were pending, over 100 more requests than were pending at the end of 2021. The increased backlog could be due to a decrease in APMA employees between 2021 and 2022. For more information on the statistics regarding the APMA program (including IRS employee numbers), see Tax Alert 2023-0620.

The hiring announcement was not the first from the IRS regarding APMA in 2023. In April, the IRS released interim guidance on updates to its procedure for reviewing and accepting APA requests into the program (see Tax Alert 2023-0800). The interim guidance came just over a month after the then-Acting Deputy Commissioner for the IRS's LB&I Division said that the prefiling process for APAs would be modified in a forthcoming update to Revenue Procedure 2015-41, which provides procedural instructions for APA requests (see Tax Alert 2023-0550). While these announcements, particularly the interim guidance, were viewed as efforts to make the APA program more selective, the IRS also indicated that the changes are not meant to limit the number of APA requests (see Tax Alert 2023-0800).

Implications

The IRS's announcements regarding APMA demonstrate that the agency is aware of taxpayers' interest in advance tax certainty and achieving that certainty through the APMA program. An increased number of employees working at APMA will hopefully decrease the average amount of time it takes to close APA and mutual agreement cases. Taxpayers should continue to work with their tax advisors to identify intercompany transactions that would be good candidates for an APA.

Contact Information
 

For additional information concerning this Alert, please contact:

National Tax Department, International Tax and Transactions Services, Transfer Pricing
 
  • Ryan J. Kelly, Americas ITTS Tax Controversy Leader

  • Hiro Furuya

  • Ameet Kapoor

  • Carlos M. Mallo

  • Marla McClure

  • Donna McComber

  • Mike McDonald

  • Tom Ralph

  • Craig Sharon

  • Kent Stackhouse

  • Heather Gorman

  • Giulia Di Stefano

  • Carolina Figueroa

  • Mitch Gibson
     

Published by NTD’s Tax Technical Knowledge Services group; Andrea Ben-Yosef, legal editor

For a full listing of contacts and email addresses, please click on the Tax News Update: Global Edition (GTNU) version of this Alert.