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Justia Weekly Opinion Summaries

Native American Law
February 5, 2021

Table of Contents

Warehouse Market v. Oklahoma ex rel. Ok. Tax Comm.

Civil Procedure, Government & Administrative Law, Native American Law, Tax Law

Oklahoma Supreme Court

State v. Cummings

Criminal Law, Native American Law

South Dakota Supreme Court

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Native American Law Opinions

Warehouse Market v. Oklahoma ex rel. Ok. Tax Comm.

Court: Oklahoma Supreme Court

Citation: 2021 OK 6

Opinion Date: February 2, 2021

Judge: Yvonne Kauger

Areas of Law: Civil Procedure, Government & Administrative Law, Native American Law, Tax Law

Plaintiff-appellee Warehouse Market subleased a commercial building from defendant Pinnacle Management, Inc. The building was on federally restricted Indian land. Subsequently, defendant-appellant, Oklahoma Tax Commission (OTC) and the Muscogee (Creek) Nation Office of Tax Commission (Tribe) both sought to collect sales tax from Warehouse Market. Warehouse Market filed an interpleader action in an attempt to have the court determine which entity to pay. However, the trial court dismissed the Tribe because it had no jurisdiction over it because of the Tribe's sovereign immunity. The trial court then determined that the OTC could not be entitled to the sales tax unless and until the dispute between the OTC and the Tribe was resolved in another forum or tribunal. The Oklahoma Supreme Court held that because the substance of Warehouse Market's action/request for relief was a tax protest, exhaustion of administrative remedies was a jurisdictional prerequisite to seeking relief in the trial court.

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State v. Cummings

Court: South Dakota Supreme Court

Citation: 2021 S.D. 4

Opinion Date: January 27, 2021

Judge: Jensen

Areas of Law: Criminal Law, Native American Law

The Supreme Court reversed the decision of the circuit court granting Defendant's motion to suppress statements he made to a state officer on the grounds that the officer lacked authority to investigate crimes in Indian country, holding that the officer did not violate any jurisdictional principles by entering Indian country to investigate crimes that occurred outside Indian country. When Defendant spoke with agents from the South Dakota Division of Criminal Investigation and the Bureau of Indian Affairs at his home located on Indian trust land concerning property crimes that had occurred outside Indian country he produced evidence implicating him a burglary in Bennett County. Defendant was charged in state court. The circuit court suppressed Defendant's statements, concluding that the agents did not have authority to investigate state criminal offenses in Indian country. The Supreme Court reversed, holding (1) Defendant failed to show that the agents lacked authority to investigate state offenses while in Indian country or that the agents' actions infringed upon tribal sovereignty; and (2) Defendant failed to show a Fourth Amendment violation.

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