Harris v. Ariz. Indep. Redistricting Comm’n

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After the 2010 census, Arizona’s Redistricting Commission, with two Republicans, two Democrats, and one Independent, redrew legislative districts. The initial plan had a 4.07% maximum population deviation from absolute equality of districts, but a statistician reported that the Justice Department might not approve the plan under the Voting Rights Act requirement that a new plan, compared to the existing plan, not diminish the number of districts in which minority groups can elect their preferred candidates. The Commission adopted a revised plan with an 8.8% deviation on a 3-to-2 vote, with Republican members dissenting. Under the final plan, a Republican-leaning district became more competitive. The Justice Department approved the plan as consistent with the Act. The Supreme Court upheld the plan, concluding that the “deviations were primarily a result of good-faith efforts to comply with the Voting Rights Act . . . though partisanship played some role.” Mathematical perfection is not required. Deviations may be justified by legitimate considerations, including compactness and contiguity, and state interests in maintaining the integrity of political subdivisions, competitive balance among political parties, and, before the Supreme Court’s 2013 Shelby County decision, compliance with the Act. Because the deviation here is under 10%, objectors cannot rely on numbers to show a constitutional violation, but must show that it is more probable than not that the deviation reflects predominantly illegitimate reapportionment factors. Objectors failed to meet that burden: the deviations reflected efforts to achieve compliance with the Act, not to secure advantage for the Democratic Party. View "Harris v. Ariz. Indep. Redistricting Comm’n" on Justia Law