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Florida Statute 7.62 | Lawyer Caselaw & Research
F.S. 7.62 Case Law from Google Scholar
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The 2023 Florida Statutes (including Special Session C)

Title II
STATE ORGANIZATION
Chapter 7
COUNTY BOUNDARIES
View Entire Chapter
F.S. 7.62
7.62 Taylor County.The boundary lines of Taylor County are as follows: Beginning in the mouth of the Big Aucilla River; thence northerly, concurrent with the east boundary of Jefferson County, along the thread of said river to where same is intersected by the middle line of township two south, range five east; thence east on said middle township line, concurrent with the south boundary line of Madison County, across ranges six, seven and eight east to the range line between ranges eight and nine east; thence south on said range line to the township line between townships two and three south; thence east on said township line to the range line between ranges nine and ten east; thence south on said range line, concurrent with the west boundary of Lafayette County to the middle line of section seven, township seven south, range ten east; thence east on said middle line to the east line of said section seven; thence due south on the east line of said section seven and other sections to the township line between townships seven and eight south; thence east on said township line to the east line of section four, township eight south, range ten east, or the northwest corner of Dixie County; thence south, concurrent with the west boundary of Dixie County, on the east line of said section four and other sections to where same intersects the thread of the Steinhatchee River; thence southerly along the thread of the said Steinhatchee River to the mouth of said river; thence northerly through the Gulf of Mexico, including the waters of said gulf within the jurisdiction of the State of Florida, to the place of beginning.
History.s. 3, ch. 806, 1856; s. 1, ch. 921, 1858; s. 1, ch. 3061, 1877; ch. 3470, 1883; ch. 3625, 1885; s. 1, ch. 3766, 1887; RS 25; GS 23; RGS 25; CGL 27.

F.S. 7.62 on Google Scholar

F.S. 7.62 on Casetext

Amendments to 7.62


Arrestable Offenses / Crimes under Fla. Stat. 7.62
Level: Degree
Misdemeanor/Felony: First/Second/Third

Current data shows no reason an arrest or criminal charge should have occurred directly under Florida Statute 7.62.



Annotations, Discussions, Cases:

Cases from cite.case.law:

SANFORD, v. RUSSELL, 387 F. Supp. 3d 774 (E.D. Mich. 2019)

. . . Sanford's pants does not mean that he had recently fired a gun; and (2) all 19 of the 7.62 x 39 mm casings . . .

WACHTER, INC. v. CABLING INNOVATIONS, LLC,, 387 F. Supp. 3d 830 (M.D. Tenn. 2019)

. . . One TRW, Model M14, 7.62 Caliber Rifle , 441 F.3d 416, 420 n. 3 (6th Cir. 2006). . . .

GUN OWNERS OF AMERICA, v. P. BARR,, 363 F. Supp. 3d 823 (W.D. Mich. 2019)

. . . One TRW, Model M14, 7.62 Caliber Rifle , 441 F.3d 416, 419-20 (6th Cir. 2006) ; accord Sierra Club v. . . .

COLLINS, v. UNITED STATES,, 354 F. Supp. 3d 105 (D. Mass. 2019)

. . . was charged in a one count indictment as a felon in possession of a firearm (a Norinco, Model SKS, 7.62 . . .

UNITED STATES v. VALDEZ, D., 911 F.3d 960 (9th Cir. 2018)

. . . Ruiz purchased 10,000 rounds of 7.62 x 39mm ammunition at the gun store, using the money that Ms. . . .

HIRST, v. SKYWEST, INC., 910 F.3d 961 (7th Cir. 2018)

. . . during which she was paid $656.25 for 86.07 hours of duty time, resulting in an average hourly wage of $7.62 . . .

ISSA, v. BRADSHAW,, 904 F.3d 446 (6th Cir. 2018)

. . . When an officer testified at Issa's trial, he stated that the police knew that the murder weapon used 7.62 . . . The police then found one round of 7.62-caliber ammunition in Issa's apartment, but they did not find . . . Regarding the rifle, an officer testified that the police found one round of 7.62-caliber ammunition . . .

UNITED STATES v. SOSA- GONZ LEZ,, 900 F.3d 1 (1st Cir. 2018)

. . . This search uncovered a loaded AK-47 rifle and 28 rounds of 7.62 caliber ammunition in Sosa's room. . . . that the firearm in Sosa's possession had "a 30-round high capacity magazine containing 28 rounds of 7.62 . . .

WORMAN, On v. HEALEY,, 293 F. Supp. 3d 251 (D. Mass. 2018)

. . . The Armalite Rifle ("AR")-10 was developed in 1956 for a 7.62×51 mm cartridge. Id. . . .

IN RE M. JONES, III, H. H. v. M. III,, 585 B.R. 465 (Bankr. E.D. Tenn. 2018)

. . . This declaration was dated May 15, 2007, and stated that the 39,637 pieces of 7.62 mm AMD-65 assault . . .

HIRST, v. SKYWEST, INC. v., 283 F. Supp. 3d 684 (N.D. Ill. 2017)

. . . Her actual hourly rate of pay for this period was $7.62 per hour. . . . periods-periods of slightly over two weeks-where their total wages divided by their number of duty hours were $7.62 . . . over a 15-day period based on their duty hours shows that their wage rates for those periods were $7.62 . . .

UNITED STATES v. PARKER, v. v. v. v., 871 F.3d 590 (8th Cir. 2017)

. . . Two of the firearms, a .45 mm Kimber and a Czech 7.62 mm rifle, were discovered in the same room as Black . . .

UNITED STATES v. SLATTEN,, 865 F.3d 767 (D.C. Cir. 2017)

. . . testified that the first shots sounded like the 5.56 ammunition used by the co-defendant, rather than the 7.62 . . . caliber rounds as the first shots fired, which Krueger claimed he could distinguish from the sound of 7.62 . . . first shots he heard in Nisur Square sounded like “5.56 rounds,” the co-defendant’s ammunition, not 7.62 . . .

UNITED STATES v. F. YOUNG,, 863 F.3d 685 (7th Cir. 2017)

. . . found a loaded Smith & Wesson .40 caliber semi-automatic handgun, an unloaded SKS-type semiautomatic 7.62 . . . mm rifle, nine SKS rifle magazines (eight of which were fully loaded with a total of 221 rounds of 7.62 . . .

UNITED STATES v. F. WHITE, Jr., 863 F.3d 784 (8th Cir. 2017)

. . . Among the guns were an unregistered “Street Sweeper” shotgun and a stolen 7.62 x 39 Ro-marm Draco handgun . . .

UNITED STATES v. GUILLEN- CRUZ,, 853 F.3d 768 (5th Cir. 2017)

. . . of a “combination of parts” for purposes of this provision, the barrel bore for a weapon that uses 7.62 . . .

NEWBERRY, v. STATE, 214 So. 3d 562 (Fla. 2017)

. . . testified that the victim was lying across the front seat of his vehicle and that they recovered twelve 7.62 . . . An FDLE crime lab analyst and firearms and tool mark expert testified that the AK-47 fires 7.62 x 39 . . . mm ammunition and that the twelve 7.62 x 39 mm casings she examined were fired from a single firearm. . . . further testified that the MAC-11 fires .380 ammunition, and there is no way the MAC-11 could have fired 7.62 . . .

UNITED STATES v. MARIUS, a. k. a. a. k. a., 678 F. App'x 960 (11th Cir. 2017)

. . . Marius also admitted that he had “a 7.62 caliber AK-style assault rifle in a bedroom” in his home along . . .

FAIRLEY v. WAL- MART STORES, INC., 216 F. Supp. 3d 708 (E.D. La. 2016)

. . . “a little load off’ Hebert’s “assigned” Lead Associate, Chris DeLuca, but that she earned between $7.62 . . .

LIBERTY AMMUNITION, INC. v. UNITED STATES,, 835 F.3d 1388 (Fed. Cir. 2016)

. . . Liberty first claimed that the Army’s use of the M855A1 5.56 mm (.223 caliber) and M80A1 7.62 mm (.308 . . . For a 7.62 mm projectile, this was the M80 round. Trial Ct. Op., 119 Fed.Cl. at 375-76. . . . , 2005,” which we specifically note is the M855 round for 5.56 mm projectiles and the M80 round for 7.62 . . . For the accused M80A1 round, the experts examined fifteen 7.62 mm baseline projectiles, four coming from . . .

LIBERTY AMMUNITION, INC. v. UNITED STATES,, 835 F.3d 1388 (Fed. Cir. 2016)

. . . Liberty first claimed that the Army’s use of the M855A1 5.56 mm (.223 caliber) and M80A1 7.62 mm (.308 . . . For a 7.62 mm projectile, this was the M80 round. Trial Ct. Op., 119 Fed.Cl. at 375-76. . . . , 2005,” which we specifically note is the M855 round for 5.56 mm projectiles and the M80 round for 7.62 . . . For the accused M80A1 round, the experts examined fifteen 7.62 mm baseline projectiles, four coming from . . .

UNITED STATES v. MUSGRAVES,, 831 F.3d 454 (7th Cir. 2016)

. . . Bock once pawned an Arsenal 7.62 millimeter rifle (similar to an AK-47) to Stevens in exchange for a . . .

UNITED STATES v. SOTO,, 819 F.3d 213 (5th Cir. 2016)

. . . However, the officer discovered twenty-three boxes (460 rounds) of 7.62 x 39mm ammunition in the trunk . . .

UNITED STATES v. ANDERSON,, 177 F. Supp. 3d 458 (D.D.C. 2016)

. . . Officers also recovered two handguns, a .38 caliber revolver and a Czech 7.62 x 25 semiautomatic pistol . . . The government contends that the shell casings found near the .38 caliber revolver and the Czech 7.62 . . .

UNITED STATES v. HOUSTON,, 813 F.3d 282 (6th Cir. 2016)

. . . Investigation Report set the base level offense at twenty-two due to the presence of an IMEZ Saiga, 7.62 . . .

ATMOSPHERE HOSPITALITY MANAGEMENT, LLC, v. SHIBA INVESTMENTS, INC., 158 F. Supp. 3d 837 (D.S.D. 2016)

. . . TRW, Model M14, 7.62 Caliber Rifle, 441 F.3d 416, 426 (6th Cir.2006); Scott v. . . .

UNITED STATES v. BARE,, 806 F.3d 1011 (9th Cir. 2015)

. . . The search revealed: An Elk River Tool and Die Inc. model ERTD AK47 7.62 caliber [assault] rifle with . . .

UNITED STATES v. PEREZ- MENDOZA,, 625 F. App'x 761 (6th Cir. 2015)

. . . The search revealed that the black trash bag contained a loaded AKMS 7.62 caliber rifle (better known . . .

PROVIDENT PRECIOUS METALS, LLC, v. NORTHWEST TERRITORIAL MINT, LLC,, 117 F. Supp. 3d 879 (N.D. Tex. 2015)

. . . duplicates the famed .50 BM so well-known to military personnel and weapon enthusiasts,” fhat its silver 7.62 . . . (i.e., .45 ACP,- 7.62 NATO (or .308),- .50 BMG, or 20 MM, or 12 gauge -for shotgun shell); (b) a designation . . .

UNITED STATES v. GONZALEZ,, 792 F.3d 534 (5th Cir. 2015)

. . . based on a relevant conduct finding that Gonzalez’s export scheme also involved selling thousands of 7.62 . . .

UNITED STATES v. BAKER, a k a v. a k a v. a k a v., 598 F. App'x 165 (4th Cir. 2015)

. . . his conviction on Count 70, that he “knowingly did transfer firearms, that is, a Norinco model SKS 7.62 . . .

LIBERTY AMMUNITION, INC. v. UNITED STATES,, 119 Fed. Cl. 368 (Fed. Cl. 2014)

. . . :12 (Test, of Clarence Wesley Kitchens, Jr., defendant’s technical expert) and is the standard NATO 7.62 . . . contacting surface area of a number of traditional jacketed .22 caliber projectiles (and, obviously, all 7.62 . . . The M80 is a 7.62 x 51mm rifle cartridge that previously served as the standard small-arms round among . . .

WILLIAM L. THORP REVOCABLE TRUST, B. v. AMERITAS INVESTMENT CORPORATION, S., 57 F. Supp. 3d 508 (E.D.N.C. 2014)

. . . , had Webster stayed in the aggressive fund, her annual return through 2013 would have been between 7.62% . . .

CRANEL INC. v. PRO IMAGE CONSULTANTS GROUP, LLC,, 57 F. Supp. 3d 838 (S.D. Ohio 2014)

. . . One TRW, Model M14, 7.62 Cali ber Rifle, 441 F.3d 416, 420 n. 3 (6th Cir.2006). . . .

UNITED STATES v. REYES- SOSA,, 579 F. App'x 857 (11th Cir. 2014)

. . . plea agreement indicated with respect to Count 43 that appellant possessed the following firearms: a 7.62 . . . mm AK-47 rifle; 3 Romarm/Cugir, Model GP WASR 10/63, 7.62 mm rifles; 2 Century Arms International, Model . . . AKMS, 7.62 mm rifles; and 7 FEG, Model SA2000M, 7.62 mm rifles. . . . .

UNITED STATES v. HARRIS,, 578 F. App'x 451 (5th Cir. 2014)

. . . ammunition, a Smith & Wesson 9mm pistol loaded with nine rounds of ammunition, and a Chinese Model SKS 7.62 . . .

BOLES, Jr. v. UNITED STATES,, 3 F. Supp. 3d 491 (M.D.N.C. 2014)

. . . Kritz assisted Porter in transferring his nine firearms — which included a Norinco 7.62 x 39 mm rifle . . .

AEY, INC. v. UNITED STATES,, 114 Fed. Cl. 619 (Fed. Cl. 2014)

. . . and Kim Jones that D[efense] C[riminal] I[nvestigative] S[erviee] has evidence that AEY obtained the 7.62 . . . The ANP has zero 7.62 x 51 mm onhand and is urgently waiting on deliveries of this ammo. . . .

UNITED STATES v. BISHOP,, 740 F.3d 927 (4th Cir. 2014)

. . . written authorization for such export, defense articles, to-wit: approximately 7,496 rounds of 9mm and 7.62 . . .

UNITED STATES v. BLACK,, 739 F.3d 931 (6th Cir. 2014)

. . . Black had a starter pistol in his waistband and a live 7.62 caliber round in his pocket. . . . pistol, a .45 caliber Smith and Wesson revolver, a .380 caliber Jimenez Arms pistol, and a Romarm, Draco 7.62 . . . truck, Robinson registered three guns for Black, a .40 caliber pistol, a .45 caliber pistol, and a 7.62 . . . Black argues that one of the weapons he was convicted of possessing, a Romarm, Draco 7.62 caliber pistol . . . In sum, at the time of his arrest, Black was in possession of a Romarm, Draco 7.62 caliber pistol with . . .

UNITED STATES v. DODSON, III,, 519 F. App'x 344 (6th Cir. 2013)

. . . One TRW, Model M14, 7.62 Caliber Rifle, 441 F.3d 416, 419, 425 (6th Cir.2006). . . . One TRW, Model M14, 7.62 Caliber Rifle, 441 F.3d 416, 420 (6th Cir.2006) (declining to answer question . . .

CHEVRON U. S. A. INC. v. UNITED STATES,, 110 Fed. Cl. 747 (Fed. Cl. 2013)

. . . March 28, 1997, the ASFE issued a Preliminary Decision regarding the Shallow Oil Zone that reallocated 7.62 . . .

In EXTRADITION OF MUJAGIC, 990 F. Supp. 2d 207 (N.D.N.Y. 2013)

. . . beating Baltic, who was a captured, unarmed enemy combatant, Mujagie summarily executed him by firing his 7.62 . . .

UNITED STATES v. MANN, v., 701 F.3d 274 (8th Cir. 2012)

. . . Agents seized a 7.62 by .39 caliber machinegun from Mann’s home. . . . Gary Schiable, a program manager who worked for the ATF, testified that a 7.62 by .39 caliber machinegun . . . with serial number BM-0834 was not registered to Mann, but a 7.62 by .39 caliber machinegun with serial . . . Mann was convicted on Count 5 of possessing an unregistered 7.62 by .39 caliber machinegun. . . . The indictment listed the elements of the charge as “knowingly possessing]” a “7.62 caliber machinegun . . .

MARATHON PETROLEUM COMPANY LP, LLC, v. MIDWEST MARINE, INC. S. v. LP, LLC,, 906 F. Supp. 2d 673 (E.D. Mich. 2012)

. . . The pH of the soil samples ranged from 7.33 to 7.62. . . .

In BACHRACH CLOTHING, INC. v. H., 480 B.R. 820 (Bankr. N.D. Ill. 2012)

. . . Under the historical risk premium table stretching from 1928 to 2010, the arithmetic mean is 7.62% and . . .

UNITED STATES v. JACKSON,, 474 F. App'x 454 (6th Cir. 2012)

. . . Officer Lewis Davis seized a bag containing “several miscellaneous sorts of ammunition, ranging from 7.62 . . .

UNITED STATES v. CHRISTY,, 888 F. Supp. 2d 1107 (D.N.M. 2012)

. . . Petzold noted that, according to the tests she performed, Christy had a 7.62 percent chance of recidivism . . .

UNITED STATES v. DUGALIC,, 489 F. App'x 10 (6th Cir. 2012)

. . . arrested Hamilton, searched his residence, and seized three firearms, including a Romarm/Cugir Model SAR-1 7.62 . . . rifle (in a case with two loaded magazines and 40 rounds of ammunition), as well as numerous boxes of 7.62 . . .

UNITED STATES v. HAILE, Jr. v., 685 F.3d 1211 (11th Cir. 2012)

. . . containing loose cash, Jamaica Flava business cards, and loose marijuana in the back seat; (4) two Norinco 7.62 . . . machine gun (not registered to either defendant), a bulletproof vest, and ammunition for a .40 caliber, a 7.62 . . .

UNITED STATES v. MUDLOCK,, 483 F. App'x 823 (4th Cir. 2012)

. . . There’s an SKS 7.62 by 39 here, which is a double-barreled shotgun. . . .

UNITED STATES v. VICENTE- LUCAS,, 826 F. Supp. 2d 422 (D.P.R. 2011)

. . . handgun; (3) one extended 5.7 x 28 magazine; (4) two standard 5.7 x 28 magazines; (5) several 5.7 x 28, 7.62 . . .

In J K FARMS, INC. d b a MS LLC, v. J K d b a MS, 458 B.R. 636 (Bankr. D.D.C. 2011)

. . . 22.50 11/19/10 65.00 5/13/10 11.25 11/22/10 11.25 5/14/10 11.25 11/22/10 32.50 5/6/10 227.50 11/30/10 7.62 . . .

KOPP, v. FISCHER,, 811 F. Supp. 2d 696 (W.D.N.Y. 2011)

. . . improper, given that Petitioner used a Soviet-made SKS semi-automatic rifle and “full metal jacketed 7.62 . . . According to Vincent DiMaio, M.D., a forensic pathologist, the 7.62 x 39 mm full metal jacketed bullet . . .

UNITED STATES v. L. GOODRICH, 804 F. Supp. 2d 64 (D. Me. 2011)

. . . the Moosehead Trail Trading Post and took possession of a Russian-made Mosin Nagant, R-Guns Importer, 7.62 . . .

UNITED STATES v. H. GRAVEL,, 645 F.3d 549 (2d Cir. 2011)

. . . TRW Model M14, 7.62 Caliber Rifle, 441 F.3d 416, 420 n. 4 (6th Cir.2006) (noting that the Bureau’s rulings . . .

UNITED STATES v. THOMAS,, 423 F. App'x 199 (3d Cir. 2011)

. . . bag was eventually opened by police officers from the Crime Scene Unit, they recovered a Romarm Cugir 7.62 . . .

UNITED STATES v. GARCIA,, 635 F.3d 472 (10th Cir. 2011)

. . . Ruger Mini-14 .223 caliber rifle • Several Glock .40 caliber and 9 mm handguns • Several AK-47 type 7.62 . . .

UNITED STATES v. L. GOODRICH, 767 F. Supp. 2d 205 (D. Me. 2011)

. . . knowingly possessed in or affecting commerce the following firearm: A Mosin Nagant, R-Guns Importer, 7.62 . . .

UNITED STATES v. ROBINSON, 763 F. Supp. 2d 949 (E.D. Tenn. 2011)

. . . In another bedroom they found a loaded .38 caliber handgun, a 7.62 caliber pistol, and a safe with over . . .

UNITED STATES v. LOCKLEAR,, 631 F.3d 364 (6th Cir. 2011)

. . . Model P-25 .25 caliber semi-automatic pistol, bearing serial number 593855, a Military bolt action M27 7.62 . . .

ARMOUR OF AMERICA, v. UNITED STATES, v. LLC,, 96 Fed. Cl. 726 (Fed. Cl. 2011)

. . . the original proposal, Armour of America’s KSP-60 will stop the following rounds at velocities shown. 7.62 . . . x 39 Russian/Chinese Hardcore 2400 FPS @ 7.62 x 54R Russian/Chinese Hardcore 2800 FPS (§) 7.62 x 51 . . . One of his slides depicted the following testing on Armour of America’s KSP-60 armor panels: 7.62 X 51 . . . NATO 2750 FPS @ 0 Meters 7.62 X 39 Russian/Chinese 2400 FPS (ni 0 Meters 5.56M 193 NATO 3200 FPS @ 0 . . .

UNITED STATES v. THOMAS,, 627 F.3d 534 (4th Cir. 2010)

. . . the Presentence Report states that “Thomas admitted that he intended to trade the assault-type SKS 7.62 . . .

UNITED STATES v. V. MENDOZA,, 401 F. App'x 128 (7th Cir. 2010)

. . . basement, and two firearms — a .45 caliber revolver in Gabriel’s bedroom closet and a loaded semiautomatic 7.62 . . .

MENKES, v. STOLT- NIELSEN S. A. G. J. R., 270 F.R.D. 80 (D. Conn. 2010)

. . . constructive-discharge lawsuit and accused SNTG of engaging in unlawful conduct— the price of SNSA ADRs fell 14.7% from $7.62 . . .

UNITED STATES v. APPOLON,, 389 F. App'x 902 (11th Cir. 2010)

. . . Pierre with being felons in possession of (1) a Glock .40 caliber semi-automatic handgun, (2) a Romarm 7.62 . . . x 39 mm caliber rifle, and (3) 28 rounds of 7.62 x 39mm caliber ammunition. . . .

UNITED STATES v. FOUR HUNDRED SEVENTY SEVEN FIREARMS,, 698 F. Supp. 2d 890 (E.D. Mich. 2010)

. . . One TRW, Model M14, 7.62 Caliber Rifle, 441 F.3d 416, 418 (6th Cir.2006). . . .

UNITED STATES v. WRIGHT,, 594 F.3d 259 (4th Cir. 2010)

. . . Investigators later recovered twenty-two 7.62 x 39 mm shell casings, the same caliber ammunition fired . . . from Small’s body were examined by a forensic scientist and deter mined to be most consistent with a 7.62 . . . He decided to empty twenty-two 7.62 x 39 mm rifle rounds from his AK-47 into a crowded parking lot. . . .

UNITED STATES v. L. WILLIAMS,, 345 F. App'x 979 (6th Cir. 2009)

. . . weapons used by drug traffickers (two Glock semi-automatic handguns, a Tec-9 semi-automatic pistol, and a 7.62 . . . Third, ammunition and a loaded magazine for the 7.62 assault rifle were found in Williams’s residence . . . , together with a receipt for a storage unit where another 1,000 rounds of 7.62 ammunition were found . . .

v., 133 T.C. 136 (T.C. 2009)

. . . 8.35 8.46 8.02 7.21 8.90 8.47 7.66 8.47 1996 9.43 9.51 9.36 9.26 8.34 7.75 8.65 7.58 7.66 7.96 7.34 7.62 . . .

D. WEST, v. AK STEEL CORPORATION RETIREMENT ACCUMULATION PENSION PLAN,, 657 F. Supp. 2d 914 (S.D. Ohio 2009)

. . . Downie 871.25 (7.62) 863.63 @$400.00 $ 345,452.00 Richard M. . . . deduct the suggested 7.5% of the reported conference time for each, or 11.35 hours for Theado, and 7.62 . . .

UNITED STATES v. ONE CHEVROLET IMPALA VIN, 640 F. Supp. 2d 993 (W.D. Tenn. 2009)

. . . One TRW, Model Mil, 7.62 Caliber Rifle, 441 F.3d 416, 418 (6th Cir.2006). . . .

UNITED STATES v. VASQUEZ- PADILLA,, 330 F. App'x 883 (11th Cir. 2009)

. . . ; (6) Harrington & Richards .32 caliber revolver; (7) Moss-burg .12 gauge shotgun; (8) Romarm AK-47 7.62 . . .

In SEIZURE OF FROM COMERICA CHECKING ACCOUNT NO. AND FROM CHECKING ACCOUNT NO., 616 F. Supp. 2d 699 (E.D. Mich. 2009)

. . . One TRW, Model M14, 7.62 Caliber Rifle, 441 F.3d 416, 418 (6th Cir.2006) (quoting Deep Sea Fisheries, . . .

BLACK DECKER US INC. v. C. SMITH,, 568 F. Supp. 2d 929 (W.D. Tenn. 2008)

. . . One TRW, Model Mil, 7.62 Caliber Rifle, 441 F.3d 416, 420 n. 3 (6th Cir.2006). . . .

UNITED STATES v. BULLOCK,, 526 F.3d 312 (6th Cir. 2008)

. . . ex-wife’s home, they found Bullock alone in the residence with a semiautomatic Norinko, SKS Model, 7.62 . . .

SIMS, v. HOUSTON,, 562 F. Supp. 2d 1066 (D. Neb. 2008)

. . . 20-year-old resident of Omaha, Nebraska, purchased a Maverick 12 gauge shotgun, a Norinco Model SKS 7.62 . . .

UNITED STATES v. SERO,, 520 F.3d 187 (2d Cir. 2008)

. . . group, one sighting group, one magazine release, three receivers, one stock, one buffer spring, ten 7.62 . . .

C. GOLPHIN, v. J. BRANKER,, 519 F.3d 168 (4th Cir. 2008)

. . . Three .40-caliber bullets and one 7.62 millimeter bullet from the SKS rifle were recovered from his body . . .

UNITED STATES v. ODENEAL, 517 F.3d 406 (6th Cir. 2008)

. . . grams of heroin, two pounds of marijuana, a loaded Smith & Wesson .32 caliber revolver, an SK5 Nor-inco 7.62 . . .

UNITED STATES v. PHILLIPS,, 516 F.3d 479 (6th Cir. 2008)

. . . warrant for the vehicle, a later search of the vehicle uncovered a loaded .22 caliber pistol, a loaded 7.62 . . .

UNITED STATES v. J. KELLY, Sr. v. M- K M- J. Sr. A. K. P. Jr. P. J. C. J., 276 F. App'x 261 (4th Cir. 2007)

. . . One TRW, Model M14, 7.62 Caliber Rifle, 441 F.3d 416, 419 (6th Cir.2006). . . .

UNITED STATES v. GARZA,, 241 F. App'x 336 (7th Cir. 2007)

. . . In his plea agreement Garza admitted possessing a “Tokerev, Model SKS, 7.62 caliber rifle” and an “Eddystone . . .

UNITED STATES v. McGEE,, 494 F.3d 551 (6th Cir. 2007)

. . . One TRW, Model M14, 7.62 Caliber Rifle, 441 F.3d 416, 420 n. 3 (6th Cir.2006) (recognizing that the ambiguity . . .

UNITED STATES v. ABDULLAHU, 488 F. Supp. 2d 433 (D.N.J. 2007)

. . . gun with a brown handle; • two boxes of Wolf ammunition; • one leather pouch with speed strip with 10 7.62 . . .

UNITED STATES v. MILLS,, 485 F.3d 219 (4th Cir. 2007)

. . . The officers recovered 120 rounds of Wolf FMJ-type 7.62 x 39 caliber ammunition- — suitable for certain . . .

UNITED STATES v. ONE VYATSKIE POLYANY MACHINE BUILDING PLANT MOLOT VEPR RIFLE, x, 473 F. Supp. 2d 374 (E.D.N.Y. 2007)

. . . (1) VYATSKIE POLYANY MACHINE BUILDING PLANT “MOLOT” VEPR RIFLE, Serial Number 03KK7846; Thirty (30) 7.62 . . . Vyatskie Polyany Machine Building Plant “MOLOT” VEPR Rifle, Serial Number 03KK7846; and (2) Thirty (30) 7.62 . . .

P. ASMO, v. KEANE, INC., 471 F.3d 588 (6th Cir. 2006)

. . . One TRW, Model M14, 7.62 Caliber Rifle, 441 F.3d 416, 423 n. 10 (6th Cir.2006). . . .

UNITED STATES v. A. CARTER,, 465 F.3d 658 (6th Cir. 2006)

. . . One TRW, Model M14, 7.62 Caliber Rifle, 441 F.3d 416, 422 (6th Cir.2006). . . .

DRUTIS, E. v. QUEBECOR WORLD USA INC., 459 F. Supp. 2d 580 (E.D. Ky. 2006)

. . . One TRW, Model M14, 7.62 Caliber Rifle, 441 F.3d 416, 417 (6th Cir.2006). . . .

MAYTAG CORPORATION, v. ELECTROLUX HOME PRODUCTS, INC. d b a, 448 F. Supp. 2d 1034 (N.D. Iowa 2006)

. . . One TRW, Model M14, 7.62 Caliber Rifle, 441 F.3d 416, 426 (6th Cir.2006); Carr v. . . .

UNITED STATES v. R. MUHAMMAD,, 463 F.3d 115 (2d Cir. 2006)

. . . Opening the bag after removing it from Muhammad’s back, Officer Cruz discovered within the bag an SKS 7.62 . . . unlawfully did knowingly possess, in and affecting commerce, a firearm, namely a Norinco, Model SKS, 7.62 . . .

UNITED STATES v. WHITMORE,, 193 F. App'x 568 (6th Cir. 2006)

. . . During the search, they seized the rifle, a 7.62-mm Mauser, and the handgun, an AMT Back-up .22-caliber . . .

UNITED STATES v. TRW RIFLE CALIBER, ONE MODEL SERIAL, 447 F.3d 686 (9th Cir. 2006)

. . . One TRW, Model M14, 7.62 Caliber Rifle, 441 F.3d 416, 418-19 (6th Cir.2006). . . .

ACE CONSTRUCTORS, INC. v. UNITED STATES,, 70 Fed. Cl. 253 (Fed. Cl. 2006)

. . . and taxiway were to be 5.75 meters by 5.75 meters square, those on the new runway section were to be 7.62 . . . meters by 7.62 meters square, and those on the storage pad were to be 4 meters by 4 meters square. . . .

UNITED STATES v. M- K SPECIALTIES MODEL M- MACHINEGUN SERIAL NUMBER, 424 F. Supp. 2d 862 (N.D.W. Va. 2006)

. . . Brief Summary of Facts The defendants are MK Specialities model M-14, 7.62 caliber machineguns that are . . . One TRW, Model M14., 7.62 Caliber Rifle, 294 F.Supp.2d 896, 901-902 (E.D.Ky. 2003); U.S. v. . . . One Harrington and Richardson Rifle, Model M-14, 7.62 Caliber, Serial Number 85279, 278 F.Supp.2d 888 . . .

UNITED STATES v. ONE TRW, MODEL CALIBER RIFLE, K. K., 441 F.3d 416 (6th Cir. 2006)

. . . ONE TRW, MODEL M14, 7.62 CALIBER RIFLE, Serial Number 1488973 from William K. . . . Rifle, Model 14, 7.62 x 51 mm caliber, involves the same rifle manufactured by the same company, a similar . . . Rifle, Model 14, 7.62 x 51 mm caliber, No. CIV 02-264-TUC-RCC (D.Ariz. Apr. 16, 2004). . . . One Harrington & Richardson Rifle, Model M-14, 7.62 Caliber Serial No. 85279, 378 F.3d 533 (6th Cir.2004 . . . See One Harrington & Richardson Rifle, Model M-14, 7.62 Caliber Señal No. 85279, 378 F.3d at 534-35. . . . One Harrington .& Richardson Rifle, Model M-14, 7.62 Caliber Serial Number 85279, 278 F.Supp.2d 888, . . .

S. ILETO, v. GLOCK, INC., 421 F. Supp. 2d 1274 (C.D. Cal. 2006)

. . . North Industries Corp’s (‘Norin-co’s’) model 320, a 9mm short-barreled rifle; Maadi’s model RML, a 7.62 . . .

UNITED STATES v. F. ABBOUD, 438 F.3d 554 (6th Cir. 2006)

. . . does not change the fact that 92.38% of Defendants’ deposits came from their own accounts, and only 7.62% . . .

UNITED STATES v. ROBERTS, a k a, 165 F. App'x 568 (10th Cir. 2006)

. . . Roberts had been in possession of two firearms — a 12-gauge shotgun and a 7.62 x 39 mm caliber rifle. . . . Roberts submitted the following written statement: Between January 1999 and August 5, 2002,1 had an SKS 7.62 . . .