SUMMARY ORDER
Petitioner-Appellant Humboldt Shelby Holding Corporation (“Humboldt/Shelby”) appeals from the tax court’s March 19, 2014, decision sustaining in full the tax deficiency and penalties against Humboldt/Shelby determined by the Commissioner of Internal Revenue and the July 15, 2014, decision denying Humboldt/Shelby’s motion for reconsideration. The tax court upheld the Commissioner’s disallowance, applying the test articulated in this Circuit for determining whether a transaction is a sham for want of economic substance. See Gilman v. Commissioner,
We have considered Humboldt/Shelby’s remaining arguments and find them to be without merit. -For the reasons stated above, the judgment of the tax court is AFFIRMED.
