233 U.S. 546 (1913)
Richards v. Washington Terminal Co.
Whether the federal court in the District of Columbia was the appropriate venue for the lawsuit filed by Richards against Washington Terminal Co., given the interstate nature of the company's operations.
In determining venue, the federal courts must consider whether the defendant resides or is found in the jurisdiction and whether the cause of action arose therein. Traditionally, a corporation is deemed to reside or be 'present' in any district in which it is conducting substantial business activities.
The U.S. Supreme Court held that the federal court in the District of Columbia was an appropriate venue for the case, as Washington Terminal Co. was deemed to be 'found' within that jurisdiction due to its regular business operations.
Richards v. Washington Terminal Co. is a landmark case in the field of federal civil procedure, specifically concerning venue propriety. It illustrates the intersection of federal procedural practice and the practical realities of business operations across state lines. For law students, the case serves as an important vehicle for understanding how courts interpret statutory language concerning venue and balance federal versus state interests in interstate commerce cases.