iii. Election administrators have stated that BIPA causes extra, unnecessary paperwork, additional printing expenses, and more election staff time. County election administrators and their staff have had to deal with agitated voters as a result of BIPA. Moore Dep. Tr. 53:4-16. iv. No funding was provided to counties or the Secretary of State to implement or provide education outreach regarding BIPA. 09/10/20 Trial Tr. (Corson) at 481:15-17; Moore Dep. Tr. 53:4-16. v. The fiscal statement for this ballot measure indicated it would have zero fiscal impact. Pl. Ex. 18/Stip. Ex.25;09110120 Trial Tr. (Corson) at 479:13-18. o. No Rational Basis. i. Defendant Mangan, Scott Cook, Katie Beall and some county elections administrators, including Dulcie Bear Don't Walk and Rina Moore, agree that BIPA is unnecessary. Mangan Dep. Tr. 167:4-8,10, 14-15 (BIPA is "a solution in search ofa problem."); Cook Dep. Tr.74:4-7 ("So, in my personal opinion, BIPA is, yeah, trying to solve a problem of voter fraud without presenting evidence that the problem even exists."); Beall Dep. Tr. 132:13-17 ("1 don't feel that there was any data, besides anecdotal stories, that showed that voter fraud was happening and thus [that] BIPA was a solution to a problem."). ii. BIPA makes it harder for people to vote and is more likely to harm rural and Native Voters. Pi. Ex.'s 23lStip. Ex. 4;24lStip. Ex. 6; 26lStip. Ex. 8; 113/Stip. 8x.2. 40

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