8 BRNOVICH v. DEMOCRATIC NATIONAL COMMITTEE Opinion of the Court B The present dispute concerns two features of Arizona voting law, which generally makes it quite easy for residents to vote. All Arizonans may vote by mail for 27 days before an election using an “early ballot.” Ariz. Rev. Stat. Ann. §§16–541 (2015), 16–542(C) (Cum. Supp. 2020). No special excuse is needed, §§16–541(A), 16–542(A), and any voter may ask to be sent an early ballot automatically in future elections, §16–544(A) (2015). In addition, during the 27 days before an election, Arizonans may vote in person at an early voting location in each county. See §§16–542(A), (E). And they may also vote in person on election day. Each county is free to conduct election-day voting either by using the traditional precinct model or by setting up “voting centers.” §16–411(B)(4) (Cum. Supp. 2020). Voting centers are equipped to provide all voters in a county with the appropriate ballot for the precinct in which they are registered, and this allows voters in the county to use whichever vote center they prefer. See ibid. The regulations at issue in this suit govern precinctbased election-day voting and early mail-in voting. Voters who choose to vote in person on election day in a county that uses the precinct system must vote in their assigned precincts. See §16–122 (2015); see also §16–135. If a voter goes to the wrong polling place, poll workers are trained to direct the voter to the right location. Democratic Nat. Comm. v. Reagan, 329 F. Supp. 3d 824, 859 (Ariz. 2018); see Tr. 1559, 1586 (Oct. 12, 2017); Tr. Exh. 370 (Pima County Elections Inspectors Handbook). If a voter finds that his or her name does not appear on the register at what the voter believes —————— voting periods, voter identification (ID), election observer zones, sameday registration, durational residency, and straight-ticket voting); Brief for State of Ohio et al. as Amici Curiae 23–25 (describing various §2 challenges); Brief for Liberty Justice Center as Amicus Curiae 1–3, 7–11 (describing long-running §2 challenges to Wisconsin voter ID law).

Select target paragraph3