A case in which the Court held that some sections of the Racketeer Influenced Corrupt Organizations (RICO) statute can apply extraterritorially because Congress clearly based them on predicate offenses that can occur outside of the United States.
A case in which the Court held that some sections of the Racketeer Influenced Corrupt Organizations (RICO) statute can apply extraterritorially because Congress clearly based them on predicate offenses that can occur outside of the United States.
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