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ARGUED MAY 28, 2009

Before BAUER, FLAUM, and KANNE, Circuit Judges.

This is a tax case involving another example of the now infamous Son of BOSS tax shelter. The Internal Revenue Service (IRS) determined that American Boat, LLC implemented an illegal tax shelter and misstated certain information on its tax documents, resulting in significant tax underpayment by its owners. On July 18, 2006, the IRS issued American Boat a Notice of Final Partnership Administrative Adjustment (FPAA). American Boat, through its tax matters partner American Milling, LP, sued the United States seeking judicial review of the FPAA. The district court agreed with the IRS that American Boat’s transactions were invalid and that the related tax benefits were im-proper-conclusions American Boat does not appeal. The government, however, appeals the district court’s determination that American Boat and its members are not subject to accuracy-related penalties. Although we see merit in some of the government’s arguments, we find no reversible error below.

 
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