Gentges v. Oklahoma Election Bd.

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Prior to the Oklahoma Voter ID Act, Title 26, Section 7-114 required that "[e]ach person presenting himself to vote shall announce his name to the judge of the precinct, whereupon the judge shall determine whether said person's name is in the precinct registry." In April 2009, the Oklahoma Legislature passed S.B. 692, and referred it for a vote of the people as State Question 746, Legislative Referendum 347. The Voter ID Act was approved on November 2, 2010. The Voter ID Act amended Section 7-114 to require that voters provide proof of identity in the form of a document issued by the United States, the State of Oklahoma, or the government of a federally recognized Indian tribe or nation that showed: (1) the name of the person to whom it was issued (substantially conforming to the name in the precinct registry); (2) a photograph of the person to whom it was issued; and (3) an expiration date after the present election (unless the identification belonged to someone over the age of 65 and is valid indefinitely). The Voter ID Act also provided, as an alternative, that a person could present a voter identification card issued by the appropriate county election board. If a person is unable or unwilling to produce proof of identity, the person could sign a statement under oath swearing that they were the person identified on the precinct registry, then the person will be allowed to cast a provisional ballot. Appellant filed suit against the State Election Board contending that the Voter ID Act was unconstitutional as an interference with the free right to suffrage and equivalent to a poll tax. The Oklahoma County District Court held a hearing on competing motions for summary judgment and determined: venue was proper in Oklahoma County, there was no evidence of any voter fraud in Oklahoma, and there was a question of fact regarding the impact of the Voter ID Act on the right to suffrage which would be determined in an evidentiary hearing. In October 2016, the district court found that Appellant had not met her burden of proof and that based on the evidence presented, the Voter ID Act did not violate the Oklahoma Constitution, and entered judgment for the State Election Board on all claims in the case. Finding no reversible error in the district court’s judgment, the Oklahoma Supreme Court affirmed. View "Gentges v. Oklahoma Election Bd." on Justia Law