Black Slaveowners
[Reprinted from Issues & Views Summer 1998]
During this country's period of slavery, many freed blacks worked
for years to purchase the freedom of family members. But a great many freemen
became slave masters themselves, and for the same reason as whites--to make use
of slave labor for the sake of profits. Larry Koger writes, "By and large,
Negro slaveowners were darker copies of their white counterparts."
Following are excerpts from Chapter 6 of his book, Black Slaveowners: Free
Black Slave Masters in South Carolina, 1790-1860 [University of South Carolina
Press].
Many historians have argued that the majority of black masters purchased
their relatives and friends who were held in bondage. Being unable to manumit
their loved ones, the black masters were forced to hold their kinsfolk and
friends as nominal slaves. So they treated their relatives and friends as free
persons, and whenever possible, they attempted to manumit their loved ones.
Thus the dominant pattern of slaveholding that developed among free blacks was
benevolent and based primarily on kinship. The chief architect of the
benevolent interpretation was Carter G. Woodson, and his thesis has been
accepted by most historians.
Yet the Woodson thesis has many weaknesses that have been overlooked or not
fully explored by its supporters. Furthermore, the Woodson thesis has been
overemphasized, while the other side of free black slaveowning has been
characterized as a minor facet by many scholars. However, there is ample
evidence which demonstrates that free blacks purchased slaves as capital
investments. To many black masters, slaves represented valued property being
used to produce more wealth. These slaveowners, therefore, bought slaves as
commercial assets and used them to make a profit. In fact, the commercial side
of free black slaveholding was more prevalent than previously maintained by
historians. In short, the Woodson thesis that most free black slaveowners were
benevolent masters may be a myth. . . .
Even though [black] slaveowners usually demonstrated benevolent behavior
towards their slave relations and friends, a commercial or materialistic
exchange existed between them and their slaves purchased as investments. In
fact, the free blacks who maintained a dual relationship with their slaves had
no universal commitment against slavery. To them, slavery was an oppressive
institution when it affected a beloved relative or a trusted friend, but beyond
that realm, slavery was viewed as a profit-making institution to be exploited.
In many instances, free black slaveowners shared a similar view of slavery
with their white counterparts. Slaveowners of both races occasionally
manumitted a trusted servant and in the same moment requested the sale of
another slave. The act of freeing one or several slaves while others remained
in bondage did not constitute a firm commitment against slavery, but a personal
view which acknowledged that some slaves, through merit or hard work, deserved
their freedom, while others were destined to be slaves until death. So when
philanthropic free blacks purchased slaves and then emancipated them, they were
not always paternalistic owners as Carter G. Woodson suggested.
For example, Richard Holloway, Sr., a free black of Charleston City, bought
a slave named Charles Benford in order that the slave might enjoy his freedom.
Yet at the same time, he owned other slaves who were not treated so kindly. In
1834, for instance, he purchased a Negro woman named Sarah and her two
children, Annett and Edward, from Susan B. Robertson for $575. Within three
years after the purchase, he apparently became dissatisfied with the slave
family and sold them for $945. Even though Richard Holloway, Sr., allowed a
trusted servant to enjoy a greater degree of freedom, he was still a slaveowner
for profit. So he sold and purchased slaves as an investment even while he held
other slaves for benevolent reasons. To consider him a benevolent master would
be erroneous because he also exploited other slaves for his own benefit.
Another example of the dual interaction between black masters and their
slaves is the case of Rose Summers. In her will, she stated: "I desire as
soon as it may be practicable that my Executor herein named will sell for money
my four slaves to the best possible advantage together with all my household
Furniture . . . ." While Summers requested that the children of her
trusted servant Bellah should be emancipated, her other slaves were doomed to
the auction block. In December 1840, her executor sold the slave woman Elsey;
then the slaves Sam and Henry were auctioned to the highest bidder for $970.13
in January 1841. Shortly after that date, the slave woman named Harriet was
sold by the executor of Rose Summers for $300. After the sale of the Negro
slaves and the furniture, the estate of Rose Summers netted $1,334.79, which
was divided among five colored women designated as heirs by the deceased woman.
. . .
When Carter G. Woodson declared that "the majority of Negro owners of
slaves were such from the point of view of philanthropy," he failed to
consider that there were so-called benevolent masters who freed one slave and
sold another slave for profit. Woodson�s perceptions of free black
slaveholding were partially correct; however, when the totality of the
institution is examined, his assumptions are revealed to be erroneous. . . .
Many black masters were firmly committed to chattel slavery and saw no
reasons for manumitting their slaves. To those colored masters, slaves were
merely property to be purchased, sold or exchanged. Their economic
self-interest overrode whatever moral concerns or guilt they may have harbored
about slavery. Since the black masters benefited from slavery, they
rationalized that because the institution was profitable, they could not
relinquish their valuable property without being reimbursed. So black masters
continued to own slaves even when the Union army was preparing to invade South
Carolina in 1864. . . .
The commercial impulse of black masters to exploit the commodity of slave
property was recorded not only by the Secretary of State but the Master of
Equity in Charleston District. In scores of reports, the black masters appeared
to have used their slaves as commodities. . . .
George Shrewsberry and James Hanscome, both colored slave masters, argued
over the ownership of three slaves in the court of equity. Rather than sue each
other, they filed a complaint against the master of the workhouse because he
refused to release the slaves to either of the men until the ownership of the
slaves was established. In 1845, the two colored slaveowners filed a suit
against the master of the workhouse and claimed that he refused to release
their property. . . . The commercial impulses of both colored men are vividly
illustrated by the court proceedings. Such cases are not isolated incidents; in
fact, they are prevalent in the court records. . . .
For example, there were mortgages registered by free blacks who used their
slaves as collateral to secure loans. In 1811, Philis Wells, a free colored
woman of Charleston City, used her servant Mark as collateral to obtain a loan
from Peter Desportes for $900. In 1823, a slave named Sarah was used as
security by William Aiken, a free black and a carpenter of Charleston City,
when he applied for a loan from Joseph S. Brown for $600. . . .
The black masters who were not related to their slaves by ties of kinship
were not personally disturbed when default and seizure occurred. In December
1841, John S. Mark, a barber of Charleston City, bought a Negro man named Billy
and his wife, Provy, from Otto Cook for $420. Two years later, he obtained a
loan from George Shrewsberry for $300. To secure the loan, he mortgaged Billy
and Provy. Shortly thereafter, John St. Mark apparently defaulted on the loan
and sold the slaves Billy and Provy for $375. . . .
Most of the black women who conveyed their slaves in marriage settlements
were not related to their slaves by kinship; thus their slaves were primarily
viewed as commodity. For example, shortly after the marriage settlement of
Hannah Norman Miles, she sold her servant woman Lucy, who was part of the
chattel in her marriage contract, for 35 pounds sterling. When the bond of
kinship has been eliminated from the slaveholding of free blacks, the
commercial element becomes a strong motive. Consequently, the colored women who
established marriage settlements viewed their slaves as investments to be
utilized. In the marriage contract of Claudia Angelina Inglis, the daughter of
a colored slaveowning barber from Charleston City, she held one-fifth interest
in three slaves named Lindy, James, and George. . . . By and large, slaves
conveyed in marriage contracts were seen as property by their colored owners.
The probate records also demonstrated the commercial motives of black
slaveholding in South Carolina. In scores of wills, black slave masters used
their human chattel as commercial assets, requesting that their slaves should
be auctioned to the highest bidder for payment of their debts or for the
benefit of family members. In 1820, Benjamin Lincoln, a free black and a tailor
of Charleston City, instructed his executors to "sell my Negro Woman Slave
Phillis and for the proceeds therof to pay my just debts. . . ."
Abraham Jackson, an ex-slave from St. Paul�s Parish, stipulated that
"my Negro Woman by the name Sarah be immediately set free from all
Servitude . . ." However, Jackson did not emancipate the children of the
slave woman, but requested that they be disposed of as "my Executor shall
judge proper . . ." Indeed, even as the colored masters were making their
deathbed testaments, the commercial bond of slavery permeated their dying
demands. To them, slavery remained an economic system to be exploited. . . .
Clearly, the bond of kinship compelled the colored slaveholders to inform
their executors that their loved ones were not chattel to be humiliated and
dehumanized by appraising them at the level of horses, cattle, and swine,
narrowed to the impersonal medium of gold and silver. Yet the colored masters
who were not related to their servants were not restrained from considering
their slaves as chattel. Consequently, when the executors of the commercial
masters filed their inventories, those slaves were appraised just like cattle
and pigs. . . .
The commercial impulse of black slaveholding can be examined nowhere better
than in Charleston City. In the port city, the environment was conducive to
black slaveholding. The urban setting of Charleston provided many free blacks
with the economic opportunity to prosper. . . . In fact, free blacks nearly
monopolized such work as barbering, bricklaying, shoemaking, and tailoring.
Once the black entrepreneurs were able to establish themselves and had
developed a clientele, they began to prosper and eventually earned the capital
needed to invest in slaves. So it was quite common for free black artisans to
purchase slaves and use them in their businesses.
In 1822, Moses Brown, a colored barber, purchased a Negro boy named Moses
from Mary Warhaim for $300. Since Moses Brown was a barber, he instructed his
slave in the art of cutting hair. By 1823 the slave boy was working in his
master�s shop on 5 Tradd Street. Also in 1829, Camilla Johnson, a colored
pastry cook, purchased a mulatto woman named Diana Todd (who was 18 years old)
from Joseph and Ann Wilkie for $375. According to a Charleston socialite,
Camilla Johnson used her mulatto servant to work at several of the parties she
was hired to cater. As these black artisans began to prosper, they were able to
utilize the services of slaves, and so they invested in human chattel and
trained their servants in the skills of their trade to increase the profits of
their businesses. . . .
When black masters exploited their slaves for commercial purposes, they
encountered the same problems which perplexed many white slaveowners.
Regardless of the color of the slave masters, the oppressive nature of slavery
was met with opposition from the slaves.
Many black masters were faced with the dilemma of controlling their slaves
when they exploited the labor of their servants. The black masters believed
that punishment was a necessary instrument to control their slaves and preserve
a sense of authority. Like white slaveowners, the black masters placed
disobedient slaves in the city jail or the workhouse and contemplated further
punishment for their servants. In 1851, Elizabeth Collins Holloway, a colored
woman, placed her servant Celia in the city jail after her slave had run away.
In 1852, Holloway�s servant Peggy was confined in the workhouse for
disciplinary reasons. Such a confinement usually lasted from five to thirty
days, depending upon the disposition of the slave masters. After the slaves
were released from the workhouse, it was not unusual for their masters to give
them a flogging for their disobedience. . . .
By and large, the commercial impulse of black masters to exploit their
slaves was quite apparent in Charleston City. Many slaveowners of African
descent used the labor of slaves for their own benefit. Yet the exploitation of
slave labor was not always a smooth process because the slaves of black masters
attempted to assert their own rights to freedom by resisting their owners.
Thus, Carter G. Woodson's serene picture of black slaveholders does not
totally portray the realities of the institution.
See also:
Tennessee's wealthiest black slave owner
Dixie's Censored Subject
Copyright 2001 � Issues & Views
|

|