NAACP, et al. v. Husted, et al.: Documents

Read more about NAACP, et al. v. Husted, et al. on our docket.

Southern District Documents

1. Complaint filed by ACLU of Ohio Foundation – 5/1/2014

2. Notice of Related Case – 5/1/2014

3. Notice of Dispositive Filing in Related Case – 5/16/2014

4. Defendant’s Answer – 5/23/2014

5. Rule 26(f) Report – 6/25/2014

6. Motion for Preliminary Injunction – 6/30/2014

MPI Exhibits ↕ (click to expand)

Affidavit in Support by Freda J. Levenson

MPI Exhibit 1 – Dr. Smith Expert Report

MPI Exhibit 2 – Dr. Roscigno Report

MPI Exhibit 3 – Bliss Institute – A Study of Early Voting in Ohio Elections

MPI Exhibit 4 – Robbins Study – Does Ohio have “Fair” and Sensible Rules for Early In-Person (EIP) Voting?

MPI Exhibit 5 – Franklin County Board of Elections Study – 2008 Early In-Person   Voting

MPI Exhibit 6 – Robbins Study – Do White, African American, and Hispanic/Latino EIP Voters Differ from Election Day and Vote by Mail Voters Income?

MPI Exhibit 7 – Robbins Study – Racial and Ethnic Proportions of Early In-Person Voters in Cuyahoga County, General Election 2008, and Implications for 2012

MPI Exhibit 8 – Dr. Weaver Study – Early Voting Patters by Race in Cuyahoga County, Ohio

MPI Exhibit 9 – Ohio Development Services Agency – Ohio African Americans

MPI Exhibit 10 – Declaration of Ray Wood

MPI Exhibit 11 – Declaration of Carrie Davis

MPI Exhibit 12 – Declaration of Dale Snyder

MPI Exhibit 13 – Declaration of Darryl Fairchild

MPI Exhibit 14 – Declaration of Jamie Simpson

MPI Exhibit 15 – Declaration of Robert E. Jones

MPI Exhibit 16 – Declaration of Delores Freeman

MPI Exhibit 17 – Declaration of David Morgan

MPI Exhibit 18 – Declaration of Anthony Brice

MPI Exhibit 19 – Declaration of Gerald A. Cooper

MPI Exhibit 20 – Declaration of Joseph Copeland

MPI Exhibit 21 – Declaration of Shawn Braxton

MPI Exhibit 22 – Declaration of Jack Frech

MPI Exhibit 23 –  Declaration of Josh Spring

MPI Exhibit 24 – Declaration of Erik Crew

MPI Exhibit 25 – Declaration of Georgine Getty

MPI Exhibit 26 – Declaration of Glorianne Leck

MPI Exhibit 27 – Declaration of Mark Freeman

MPI Exhibit 28 – Declaration of Molly M. Rugg

MPI Exhibit 29 – Declaration of Timothy Cable

MPI Exhibit 30 – Northeast Ohio Coalition for the Homeless – Homeless Voting in Cleveland Ohio

MPI Exhibit 31 – Legislative Testimony of Brian Davis

MPI Exhibit 32 – Senate Bill 238

MPI Exhibit 33 – Ohio Association of Elections Officials Report And Recommendation

MPI Exhibit 34 – Directive 2012-35

MPI Exhibit 35 – Directive 2012-50

MPI Exhibit 36 – Directive 2014-06

MPI Exhibit 37 – Directive 2014-17

MPI Exhibit 38 – Press Release by Secretary of State John Husted

MPI Exhibit 39 – Tie Vote – 9/22/10 – Franklin County

MPI Exhibit 40 – Tie Vote 9/29/10 – Lorain County

MPI Exhibit 41 – Tie Vote 10/21/10 – Athens County

MPI Exhibit 42 – Tie Vote – 10/25/11 – Franklin County

MPI Exhibit 43 – Tie Vote – 10/25/11 – Montgomery County

MPI Exhibit 44 – Tie Vote – 7/11/12 – Summit County

MPI Exhibit 45 – Tie Vote – 7-13-12 – Cuyahoga County

MPI Exhibit 46 – Tie Vote – 8/2/12 – Franklin County

MPI Exhibit 47 – Tie Vote – 8/7/2012- Lucas County

MPI Exhibit 48 – Rowland Article

MPI Exhibit 49 – Coolidge Article

Filing of Amended Declaration

Amended Affidavit of Freda Levenson

7. Cuyahoga County’s Amicus Brief – 7/8/2014

Cuyahoga Amicus Exhibits ↕ (click to expand)

8. Ohio General Assembly’s Motion to Intervene, Memorandum in Support, and Answer – 7/11/2014

9. Response to Ohio General Assembly’s Motion to Intervene – 7/18/2014

10. Ohio General Assembly’s Reply in Support of Motion to Intervene – 7/21/2014

Ohio General Assembly’s Reply in Support Exhibit A – Libertarian Party of Ohio v Husted Order

11. Ohio General Assembly’s Response in Opposition to Motion for Preliminary Injunction – 7/23/2014

OGA Response Exhibits ↕ (click to expand)

12. Defendant’s Response in Opposition to Motion for Preliminary Injunction – 7/23/2014

Defendants Response Exhibits ↕ (click to expand)

13. Defendant Attorney General DeWine’s Response to Motion for Preliminary Injunction – 7/23/2014

14. Order Denying Ohio General Assembly’s Motion to Intervene – 7/30/2014

15. U.S. Department of Justice’s Statement of Interest – 7/30/2014

16. Ohio General Assembly’s Emergency Motion for Reconsideration and Memorandum in Support – 7/30/2014

17. Response to Emergency Motion for Reconsideration – 7/30/2014

18. Reply to Response to Motion for Preliminary Injunction – 7/30/2014

Reply to Response Exhibits ↕ (click to expand)

19. Defendant Ohio Attorney General’s Supplemental Memorandum Contra Plaintiffs’ Motion for Preliminary Injunction – 7/31/2014

20. Order Denying Ohio General Assembly’s Motion for Reconsideration – 7/31/2014

21. Ohio General Assembly Reply in Support of Emergency Motion for Reconsideration – 7/31/2014

22. Motion for Leave to File Amicus Brief by Ohio Senate Democratic Caucus and Ohio House Democratic Caucus – 8/1/2014

23. Amicus Brief by Ohio Senate Democratic Caucus and Ohio House Democratic Caucus – 8/1/2014

Democratic Caucus Amicus Exhibits ↕ (click to expand)

24. Notice of Appeal by Ohio General Assembly – 8/1/2014

34. Order Granting Motion for Preliminary Injunction –  9/4/2014

45. Motion to Enforce September 4 Order – 9/10/2014

46. Order Regarding Defendants’ Deadline to Respond to Motion to Enforce September 4 Order – 9/11/2014

Settlement Agreement  – April 16, 2015

 

Sixth Circuit Documents

Appeal Regarding General Assembly Intervention

1. Motion of Appellant, Ohio General Assembly, to Expedite Appeal – 8/1/2014

2. Response to Motion to Expedite Appeal filed by ACLU of Ohio Foundation – 8/4/2014

Response to Motion to Expedite Exhibits ↕ (click to expand)

3. Reply of General Assembly in Support of Motion to Expedite – 8/5/2014

4. Order Denying Motion to Expedite Appeal – 8/6/2014

Appeal Regarding Preliminary Injunction

1. Preliminary Injunction Appeal Statement – 9/8/2014

2. Defendants’ Motion to Expedite Preliminary Injunction Appeal – 9/8/2014

3. Plaintiffs’ Response to Motion to Expedite Preliminary Injunction Appeal – 9/10/2014

4. Order Granting Expedited Preliminary Injunction Appeal – 9/11/2014

5. Preliminary Injunction Appeal Briefing Schedule – 9/11/2014

6. Defendants’ Motion to Stay Preliminary Injunction Pending Appeal – 9/11/2014

7. Plaintiffs’ Opposition to Motion to Stay Preliminary Injunction – 9/12/2014

8. Sixth Circuit Order Denying Stay of Preliminary Injunction Pending Appeal – 9/12/2014

9. Ohio General Assembly’s Motion for Leave to File Brief, Instanter – 9/15/2014

10. Appellant Brief of Attorney General DeWine and Secretary of State Husted – 9/15/2014

11. Amicus Brief of U.S. Department of Justice – 9/19/2014

12. Amicus Brief of Cuyahoga County – 9/19/2014

13. Appellees’ Brief Filed by ACLU – 9/19/2014

Defendants’ Reply Regarding Preliminary Injunction Appeal – 9/22/2014

Sixth Circuit Decision Affirming Preliminary Injunction – 9/24/2014

 

U.S. Supreme Court Documents

1. Defendants’ Application to U.S. Supreme Court for Stay – 9/25/2014

2. General Assembly’s Application to U.S. Supreme Court for Stay – 9/25/2014

3. U.S. Supreme Court Order Regarding ACLU Response to Application for Stay – 9/26/2014

4. Plaintiffs’ Response to Defendants’ Application to U.S. Supreme Court for Stay – 9/27/2014

5. Defendants’ Reply in Support of Application to U.S. Supreme Court for Stay – 9/28/2014

6. U.S. Supreme Court Order Granting Application for Stay of Preliminary Injunction – 9/29/2014

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