Bond v. United States

572 U.S. 844, 24 Fla. L. Weekly Fed. S 803, 189 L. Ed. 2d 1, 134 S. Ct. 2077, 82 U.S.L.W. 4417, 2014 U.S. LEXIS 3988, 2014 WL 2440534
CourtSupreme Court of the United States
DecidedJune 2, 2014
Docket12–158.
StatusPublished
Cited by356 cases

This text of 572 U.S. 844 (Bond v. United States) is published on Counsel Stack Legal Research, covering Supreme Court of the United States primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Bond v. United States, 572 U.S. 844, 24 Fla. L. Weekly Fed. S 803, 189 L. Ed. 2d 1, 134 S. Ct. 2077, 82 U.S.L.W. 4417, 2014 U.S. LEXIS 3988, 2014 WL 2440534 (2014).

Opinion

*2083 Chief Justice ROBERTS delivered the opinion of the Court.

*847 The horrors of chemical warfare were vividly captured by John Singer Sargent in his 1919 painting Gassed. The nearly life-sized work depicts two lines of soldiers, blinded by mustard gas, clinging single file to orderlies guiding them to an improvised aid station. There they would receive little treatment and no relief; many suffered for weeks only to have the gas claim their lives. The soldiers were shown staggering through piles of comrades too seriously burned to even join the procession.

*848 The painting reflects the devastation that Sargent witnessed in the aftermath of the Second Battle of Arras during World War I. That battle and others like it led to an overwhelming consensus in the international community that toxic chemicals should never again be used as weapons against human beings. Today that objective is reflected in the international Convention on Chemical Weapons, which has been ratified or acceded to by 190 countries. The United States, pursuant to the Federal Government's constitutionally enumerated power to make treaties, ratified the treaty in 1997. To fulfill the United States' obligations under the Convention, Congress enacted the Chemical Weapons Convention Implementation Act of 1998. The Act makes it a federal crime for a person to use or possess any chemical weapon, and it punishes violators with severe penalties. It is a statute that, like the Convention it implements, deals with crimes of deadly seriousness.

The question presented by this case is whether the Implementation Act also reaches a purely local crime: an amateur attempt by a jilted wife to injure her husband's lover, which ended up causing only a minor thumb burn readily treated by rinsing with water. Because our constitutional structure leaves local criminal activity primarily to the States, we have generally declined to read federal law as intruding on that responsibility, unless Congress has clearly indicated that the law should have such reach. The Chemical Weapons Convention Implementation Act contains no such clear indication, and we accordingly conclude that it does not cover the unremarkable local offense at issue here.

I

A

In 1997, the President of the United States, upon the advice and consent of the Senate, ratified the Convention on the Prohibition of the Development, Production, Stockpiling, and Use of Chemical Weapons and on Their Destruction.

*849 S. Treaty Doc. No. 103-21, 1974 U.N.T.S. 317. The nations that ratified the Convention (State Parties) had bold aspirations for it: "general and complete disarmament under strict and effective international control, including the prohibition and elimination of all types of weapons of mass destruction." Convention Preamble, ibid. This purpose traces its origin to World War I, when "[o]ver a million casualties, up to 100,000 of them fatal, are estimated to have been caused by chemicals ..., a large part following the introduction of mustard gas in 1917." Kenyon, Why We Need a Chemical Weapons Convention and an OPCW, in The Creation of the Organisation for the Prohibition of Chemical Weapons 1, 4 (I. Kenyon & D. Feakes eds. 2007) (Kenyon & Feakes). The atrocities of that war led the community of nations to adopt the 1925 Geneva Protocol, which prohibited the use of chemicals as a method of warfare. Id., at 5.

Up to the 1990s, however, chemical weapons remained in use both in and out of wartime, with devastating consequences.

*2084 Iraq's use of nerve agents and mustard gas during its war with Iran in the 1980s contributed to international support for a renewed, more effective chemical weapons ban. Id., at 6, 10-11. In 1994 and 1995, long-held fears of the use of chemical weapons by terrorists were realized when Japanese extremists carried out two attacks using sarin gas. Id., at 6. The Convention was conceived as an effort to update the Geneva Protocol's protections and to expand the prohibition on chemical weapons beyond state actors in wartime. Convention Preamble, 1974 U.N.T.S. 318 (the State Parties are "[d]etermined for the sake of all mankind, to exclude completely the possibility of the use of chemical weapons, ... thereby complementing the obligations assumed under the Geneva Protocol of 1925"). The Convention aimed to achieve that objective by prohibiting the development, stockpiling, or use of chemical weapons by any State Party or person within a State Party's jurisdiction. Arts. I, II, VII. It also established an elaborate reporting process requiring *850 State Parties to destroy chemical weapons under their control and submit to inspection and monitoring by an international organization based in The Hague, Netherlands. Arts. VIII, IX.

The Convention provides:

"(1) Each State Party to this Convention undertakes never under any circumstances:
"(a) To develop, produce, otherwise acquire, stockpile or retain chemical weapons, or transfer, directly or indirectly, chemical weapons to anyone;
"(b) To use chemical weapons;
"(c) To engage in any military preparations to use chemical weapons;
"(d) To assist, encourage or induce, in any way, anyone to engage in any activity prohibited to a State Party under this Convention." Art. I, id., at 319.

"Chemical Weapons" are defined in relevant part as "[t]oxic chemicals and their precursors, except where intended for purposes not prohibited under this Convention, as long as the types and quantities are consistent with such purposes." Art. II(1)(a), ibid . "Toxic Chemical," in turn, is defined as "Any chemical which through its chemical action on life processes can cause death, temporary incapacitation or permanent harm to humans or animals. This includes all such chemicals, regardless of their origin or of their method of production, and regardless of whether they are produced in facilities, in munitions or elsewhere." Art. II(2), id., at 320. "Purposes Not Prohibited Under this Convention" means "[i]ndustrial, agricultural, research, medical, pharmaceutical or other peaceful purposes," Art. II(9)(a), id., at 322, and other specific purposes not at issue here, Arts. II(9)(b)-(d).

Although the Convention is a binding international agreement, it is "not self-executing." W. Krutzsch & R. Trapp, A Commentary on the Chemical Weapons Convention 109 (1994). That is, the Convention creates obligations only for *851 State Parties and "does not by itself give rise to domestically enforceable federal law" absent "implementing legislation passed by Congress." Medellín v. Texas,

Free access — add to your briefcase to read the full text and ask questions with AI

Related

Hewitt v. United States
606 U.S. 419 (Supreme Court, 2025)
Patrick Daytione Taylor v. Commonwealth of Virginia
Court of Appeals of Virginia, 2023
Arizona v. Navajo Nation
599 U.S. 555 (Supreme Court, 2023)
United States v. Miller
Fifth Circuit, 2023
United States v. Douglas
Fifth Circuit, 2023
Allen Miller v. C.H. Robinson Worldwide, Inc.
976 F.3d 1016 (Ninth Circuit, 2020)
Patrick Collins v. Steven Mnuchin, Secretar
938 F.3d 553 (Fifth Circuit, 2019)
Nadine Pellegrino v. TSA
937 F.3d 164 (Third Circuit, 2019)
United States v. James Hill, III
927 F.3d 188 (Fourth Circuit, 2019)
Soto v. Bushmaster Firearms International, LLC
Supreme Court of Connecticut, 2019

Cite This Page — Counsel Stack

Bluebook (online)
572 U.S. 844, 24 Fla. L. Weekly Fed. S 803, 189 L. Ed. 2d 1, 134 S. Ct. 2077, 82 U.S.L.W. 4417, 2014 U.S. LEXIS 3988, 2014 WL 2440534, Counsel Stack Legal Research, https://law.counselstack.com/opinion/bond-v-united-states-scotus-2014.