Colo. Dept. of Revenue v. Creager
Annotate this CaseCreager Mercantile Co., Inc., a wholesale distributor of groceries and tobacco products, sells Blunt Wraps, a type of cigar wrapper made of thirty to forty-eight percent tobacco. Blunt Wraps are designed to be filled with additional tobacco or marijuana and then smoked. The Colorado Supreme Court was called on the determine whether Blunt Wraps could be taxed as “tobacco products,” as that term was defined in section 39-28.5-101(5), C.R.S. (2016). Because Blunt Wraps are a “kind” or “form” of tobacco, and are “prepared in such manner as to be suitable . . . for smoking,” the Court held Blunt Wraps fell within the plain language of the definition of “tobacco products” under section 39-28.5-101(5) and were taxable accordingly.
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