VoteAmerica v. Schwab, No. 23-3100 (10th Cir. 2024)
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The case involves a challenge to Kansas's restrictions on private parties partially filling out mail-ballot applications before sending them to registered voters. Plaintiffs, VoteAmerica and Voter Participation Center (VPC), argue that these restrictions violate their First Amendment rights to freedom of speech and association. They seek an injunction to prevent Kansas officials from enforcing the law.
The United States District Court for the District of Kansas ruled in favor of the plaintiffs after a bench trial based on stipulated facts. The court applied strict scrutiny to the law, finding that it violated the plaintiffs' First Amendment rights. The court held that the mailing of prefilled applications was protected speech and that the law was not narrowly tailored to serve a compelling state interest. The court also found that the law infringed on the plaintiffs' associational rights and declared the law unconstitutionally overbroad.
The United States Court of Appeals for the Tenth Circuit reviewed the case. The court first determined that the prefilled applications should be considered separately from the cover letter included in the mailings. It then concluded that mailing the prefilled applications constitutes speech protected by the First Amendment. However, the court rejected the application of strict scrutiny under the Meyer-Buckley framework, finding that the law did not restrict access to a fundamental avenue of political discourse. The court also rejected the argument that the law was subject to strict scrutiny due to speaker discrimination, as the law's speaker-based exception did not reflect a content preference.
The Tenth Circuit held that the proper level of scrutiny for the law is intermediate scrutiny, as the law is a content-based but viewpoint-neutral regulation. The court reversed the district court's rulings on the overbreadth and freedom-of-association claims, remanding for entry of judgment in favor of the defendants on these claims. The court also remanded the free-speech claim for further proceedings consistent with its opinion, applying intermediate scrutiny.
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