Study aid, not legal advice. caselaw is not a law firm and does not provide legal advice or engage in the unauthorized practice of law (UPL). All briefs, outlines, and citation tools on these pages are educational summaries for law students; they are not a substitute for advice from a licensed attorney admitted in your jurisdiction. Bar-admission rules vary by state. For court filings or client matters, verify every authority against the official reporter and your court's local rules. Use of caselaw does not create an attorney-client relationship.
Raymond Bag Co. v. Bowers, Tax Commissioner of Ohio, 1956 — 350 U.S. 1003 · caselaw · US
Tax
Raymond Bag Co. v. Bowers, Tax Commissioner of Ohio
350 U.S. 1003·Supreme Court of the United States·1956
Mr. Justice Douglas would note probable jurisdiction.
Brief incoming
Hand-reviewed Bluebook brief (procedural posture, facts, issue, holding, reasoning, dissent) ships once the AI generation pipeline runs through this case. Join the waitlist to get notified when 1L briefs go live.
Opinion
No. 316.
Raymond Bag Co. v. Bowers, Tax Commissioner of Ohio.
Wellmore B. Turner and Guy H. Wells for appellant. C. William O’Neill, Attorney General of Ohio, and Jack H. Bertsch and Larry H. Snyder, Assistant Attorneys General, for appellee.
[MAJORITY — Per Curiam:]
Appeal from the Supreme Court of Ohio.
Per Curiam:
The motion to dismiss is granted and the appeal is dismissed for want of a substantial federal question.
Mr. Justice Douglas would note probable jurisdiction.