APMA’s mission is to resolve actual or potential transfer pricing disputes and other competent authority matters. For assistance with all other IRS issues, please visit the Let us help you page.
Headquarters
Title | Name | Phone number | |
---|---|---|---|
Director |
John Wall | 202-317-8929 | [email protected] |
Management and Program Analyst (APA and MAP Submissions) |
Heather Snodgrass | 202-317-8750 | [email protected] |
Management and Program Analyst (APA Annual Reports) |
Anthony Duca | 202-317-8981 | [email protected] |
Groups A, B and C are focused on resolving cases arising under the business profits and associated enterprises articles of our U.S. tax treaties. Questions should be emailed to [email protected] explaining the issue and include the relevant group as defined below.
Group A
Bangladesh, Chile, Denmark, Finland, India, Iceland, Ireland, Israel, Italy, Luxembourg, Norway, Sweden, Switzerland, United Kingdom
Group B
Australia, Austria, Belgium, Canada, France, Germany, Kazakhstan, Mexico, Netherlands, New Zealand, Poland, Slovak Republic, Spain, Turkey, U.S. Territories (other than Guam)
Group C
China, Guam, Indonesia, Japan, Korea, Morocco, Philippines, South Africa, Thailand
Treaty Assistance and Interpretation Team (TAIT)
TAIT is focused on resolving cases under our U.S. tax treaties for competent authority issues arising under all articles (other than business profits and associated enterprises). If your request would qualify as a small case under section 5 of Revenue Procedure 2015-40 you can call us at 202-317-8665 (not toll-free) or send an email to [email protected] and request a small case template.
APMA mailing address
Commissioner, Large Business and International Division
Internal Revenue Service
1111 Constitution Ave., NW
SE:LB:TTPO:APMA:K
Washington, DC 20224
(Attention: APMA)
TAIT mailing address
Commissioner, Large Business and International Division
Internal Revenue Service
1111 Constitution Ave., NW
SE:LB:TTPO:APMA:TAIT:K
Washington, DC 20224
(Attention: TAIT)