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Format: 09-19-2018
Format: 09-19-2018
SUMMARY OF THE ARGUMENT In their brief urging reversal of the district court’s grant of summary judgment to Plaintiffs-Appellees, Defendants-Appellants (“Appellants”) argue that they have...
September 10, 2018 | Litigation |
The promise of America is that each of us has an equal say in our democracy and an equal chance in our economy. In Everyone’s America: State Policies for an Equal Say in Our Democracy and an Equal...
July 24, 2018 | Report |
SUMMARY OF THE ARGUMENT Florida automatically strips persons convicted of any felony of the right to vote. Fla. Const. art. VI, § 4(a); Fla. Stat. § 97.041(2)(b) (2018). This case is about whether...
June 28, 2018 | Litigation |
ORDER Before the Court is Defendant John Ashcroft’s Motion to Dismiss (Doc. #28). The Court, being duly advised of the premises, denies said motion. Plaintiffs League of Women Voters, St....
June 21, 2018 | Litigation |
The National Voter Registration Act (NVRA) addresses the removal of ineligible voters from state voting rolls, 52 U. S. C. §20501(b), including those who are ineligible “by reason of” a change...
June 11, 2018 | Litigation |
Supreme Court of the United States
COMPLAINT 1. This action concerns a recently-amended Indiana statute, Indiana Code § 3-7-38.2-5(d)– (e), which violates the National Voter Registration Act of 1993 (“NVRA”), 52 U.S.C. § 20501 et seq...
June 8, 2018 | Litigation |
American Civil Liberties Union
American Civil Liberties Union of Indiana
Davis Wright Tremaine, LLP
ORDER This matter is before the Court on a Motion for Preliminary Injunction filed pursuant to Federal Rule of Civil Procedure 65 by Plaintiff Common Cause Indiana (“Common Cause”) (Filing No. 75)....
June 8, 2018 | Litigation |
US District Court, Southern District of Indiana
Dear Secretary Ashcroft and Director Walters, As grassroots and non-profit voter advocates in Missouri, we work to remove barriers that impede the right to vote and discourage...
May 31, 2018 | Advocacy Letter |
Missouri Voter Protection Coalition
COMPLAINT 1. This action concerns the ongoing failure of Defendant officials of the State of Missouri to comply with portions of the “Motor Voter” provisions of the National Voter...
April 17, 2018 | Litigation |
Demos, Advancement Project, and American Civil Liberties Union
Thank you for the opportunity to testify here today. My name is Allie Boldt and I’m a Counsel for Demos. Demos is a non-partisan, national public policy organization working for an America...
March 8, 2018 | Testimony |