User:Vipul/Chae Chan Ping v. United States

Chae Chan Ping v. United States 130 U.S. 581 (9 S.Ct. 623, 32 L.Ed. 1068), decided by the United States Supreme Court on May 13, 1889, and better known as the Chinese Exclusion Case, was a case challenging the Scott Act of 1888, an addendum to the Chinese Exclusion Act of 1882. One of the grounds of challenge was that it ran afoul of the Burlingame Treaty of 1868. The Supreme Court rejected the challenge, upholding the authority of the Federal Government of the United States to set immigration policy and pass new legislation that would override the terms of previous international treaties. The decision was an important precedent for the Supreme Court's deference to the plenary power of the United States legislative branches in immigration law and in their authority to overturn the terms of international treaties. Although the term consular nonreviewability would not be used until the 20th century, the case was cited as a key precedent in the defining cases that established the doctrine of consular nonreviewability. As such, it played an important role in limiting the role of the judiciary in shaping immigration to the United States.

Backdrop of laws
In 1868, the United States and China entered into the Burlingame Treaty, establishing formal friendly relations between the two countries, and granting China most favored nation status. The treaty encouraged immigration from China, and granted some privileges to citizens of either country residing in the other, but withheld the privilege of naturalization for immigrants from China.

On November 17, 1880, the Burlingame Treaty was amended to suspend but not prohibit immigration from China. The amendment was called the Treaty Regulating Immigration from China. The prefix stated: "The United States, because of the constantly increasing immigration of Chinese labourers to the territory of the United States and the embarrassments consequent upon such immigration now desires to negotiate a modification of the existing Treaties which shall not be in direct contravention to their spirit."

In 1882, the Chinese Exclusion Act was passed, forbidding the immigration of skilled and unskilled laborers from China to the United States. The rights of prior immigrants were not significantly amended, but they were now required to obtain re-entry permits if they wished to return after temporarily leaving the United States. On October 1, 1888, the United States government passed the Scott Act. Authored by William Lawrence Scott of Pennsylvania, the act was signed into law by United States President Grover Cleveland on October 1, 1888. The act forbade re-entry of Chinese immigrants to the United States who would not otherwise be eligible to enter the United States if immigrating for the first time. This went against the privileges that the Burlingame Treaty gave Chinese immigrants to the United States.

Case details
Chae Chan Ping was a Chinese citizen who had moved to San Francisco, California, a city in the Western United States, in 1875. He worked in the United States from 1875 to June 2, 1887, and then left to visit his homeland of China, after obtaining a certificate that would entitle him to return to the United States. The certificate was issued in accordance with provisions of the Chinese Exclusion Act.

On October 1, 1888, while he was outside the United States, the Scott Act became law. This Act forbade his re-entry.

Chae Chan Ping departed on his return journey to the United States on September 7, 1888, from Hong Kong, on the steamship Belgic. On October 8, 1888, the ship landed within the port of San Francisco. He requested entry to the United States, presenting his certificate. He was denied entry based on the Scott Act. Captain Walker, the captain of the Belgic, detained Ping on board.

A writ of habeas corpus was filed on behalf of Ping, requesting that the captain release him and allow him to be presented in court. The captain complied. Ping appeared before the court, which determined that he was not being deprived of liberty, and returned him to the control of the captain. Ping appealed the order, and the case reached the United States Supreme Court.

Key points of contention
A number of different arguments were made by the lawyers representing Ping, and the Supreme Court's opinion on these arguments would serve an important precedent for future decisions:


 * The appeal challenged the authority of the United States legislative and executive branches to overturn international treaties, and implicitly claimed that any such overturning was subject to judicial oversight.
 * The appeal also argued that the right of visitation in a treaty was a form of property protected by the Fifth Amendment to the United States Constitution.
 * The appeal referenced previous criticisms by legal scholars of the constitutionality of the Alien and Sedition Acts passed in 1798.

Decision
The Supreme Court unanimously upheld the decision of the lower count. Justice Stephen Johnson Field, who had risen to the position of Supreme Court justice after serving on the California Supreme Court, penned the opinion of the Court. Field had previously pushed back against legislation such as the Pigtail Ordinance that was de facto discriminatory against the Chinese, courting unpopularity in California. However, his opinision in this case employed rhetoric that was more in line with public sentiment regarding the Chinese at the time.

Field offered a number of reasons for the Court's decision:


 * 1) He clarified that the United States Government could pass new legislation overriding the terms of past treaties. In that case, the treaty would be treated only as valid law for the time period before the new legislation became effective. Although there were no direct precedents in the domain of immigration law, Field cited past precedents involving trade treaties, where the government had changed trade laws, negating the terms of previous treaties, and the courts had rejected appeals challenging the change in law. Examples cited included:
 * 2) * Taylor v. Morton (67 U.S. 481 (1862)): In this case, the Supreme Court upheld a change in the United States tariff structure on hemp that overrode terms of a treaty between the United States and Russia.
 * 3) * Whitney v. Robertson (124 U.S. 190 (1888)): This upheld the United States government's authority to interpret ambiguous treaty terms as it saw fit.
 * 4) He noted that, when the Burlingame Treaty was amended in 1880, the Chinese government had conceded the authority of the United States to regulate immigration from China.
 * 5) He noted past precedent in treaties and international diplomatic communication between the United States and other countries, including Switzerland, France, and Mexico, asserting that governments had the authority to regulate immigration in the national interest, and that this authority existed even when the wisdom of particular decisions was in question.
 * 6) He noted that the judiciary was not the right place to appeal any violation of the terms of international treaties, but rather this was a diplomatic matter for the governments of the respective countries to sort out among themselves.

Relation with other Court cases
The case is sometimes called the Chinese Exclusion Case, on account of being the most important case directly pertaining to the Chinese Exclusion Act. Some commentators use the term "Chinese Exclusion Cases" for a collection of cases including this one that were decided in the aftermath of the Chinese Exclusion Act. The five cases were:


 * 1) Chew Heong v. United States (1884): Heong had lived in the United States and left to visit China before the passage of the Chinese Exclusion Act. The Act would require all Chinese in the United States to obtain a re-entry permit prior to departure. Heong, who returned to the United States without a permit, was denied re-entry and appealed the decision. The appeal was granted and Heong was allowed to re-enter the country. This is the only one of the five cases that was decided against the United States government.
 * 2) Chae Chan Ping v. United States (1889) (current page)
 * 3) Fong Yue Ting v. United States (1893): The Supreme Court upheld the decision of the United States government to deport Fong Yue Ting and two other Chinese residents who were deemed by the United States government to not hold valid residency permits. The decision reaffirmed that the government's power to deport foreigners is an absolute and unqualified right, just like its power to regulate entry.
 * 4) Lem Moon Sing v. United States (1895): This upheld the decision of the United States Congress to exclude foreigners from entry without any habeas corpus relief.
 * 5) United States v. Ju Toy (1905): The Supreme Court further allowed Congress to deny the writ of habeas corpus even to persons claiming to be United States citizens.

Another related case that was decided somewhat differently is that of United States v. Wong Kim Ark, where the Supreme Court held that a person born in the United States of Chinese citizens legally residing in the United States automatically became a U.S. citizen. The decision established an important precedent in its interpretation of the Citizenship Clause of the Fourteenth Amendment to the Constitution.