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Exxon Corp. v. Governor of Maryland

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Exxon Corp. v. Governor of Maryland
Argued February 28, 1978
Decided June 14, 1978
Full case nameExxon Corp. et al. v. Governor of Maryland et al.
Citations437 U.S. 117 (more)
Case history
PriorAppeal from the Court of Appeals of Maryland
Subsequent279 Md. 410, 370 A. 2d 1102 and 372 A. 2d 237, affirmed.
Holding
Maryland can prohibit oil producers and refiners from operating gas stations within its borders.
Court membership
Chief Justice
Warren E. Burger
Associate Justices
William J. Brennan Jr. · Potter Stewart
Byron White · Thurgood Marshall
Harry Blackmun · Lewis F. Powell Jr.
William Rehnquist · John P. Stevens
Case opinions
MajorityStevens, joined by Burger, Brennan, Stewart, White, Marshall, Rehnquist
Concur/dissentBlackmun
Powell took no part in the consideration or decision of the case.

Exxon Corp. v. Governor of Maryland, 437 U.S. 117 (1978)[1], was a case in which the Supreme Court of the United States upheld a Maryland law prohibiting oil producers and refiners from operating service stations within its borders. The law was a response to evidence that those stations, which represented about 5% of all those in Maryland, had received preferential treatment during the 1973 oil crisis.

The challengers, including Exxon, claimed that the law violated the Dormant Commerce Clause. Justice Stevens wrote for the majority, which disagreed with Exxon et al.: "Since Maryland's entire gasoline supply flows in interstate commerce and since there are no local producers or refiners, such claims of disparate treatment between interstate and local commerce would be meritless."

Majority held that Act does not (1) discriminate against interstate dealers (2) does not prohibit the flow of interstate goods (3) place added cost on them (4) or distinguish between in-state or out-of-state retailers. The absence of any of these factors fully distinguishes this case from Italic textHunt v. Washinton AppleItalic text.

The Court held that the regulation was constitutional despite huge extraterritorial effects of the regulation, less burdensome options available to the state, and no legitimate state interest apart from a desire for cheaper oil. This case is an exception to the rules set forth in Pike v. Bruce Church.

  • ^ 437 U.S. 117 Full text of the opinion courtesy of Findlaw.com.