collected ballot, and there is no data, evidence, analysis or studies that indicate that ballot collectors who are known to voters are less likely to tamper with a ballot in Montana. 09/10/20 Trial Tr. (Corson) at 488: 15-489:3. m. Mail Exemption. i. Defendant Mangan and Defendant Stapleton have interpreted BIPA to apply to only ballots hand-delivered and not to ballots put into the mail . 09110120 Trial Tr. (Corson) at 482:17-19; Pl. Ex. 14. The Attomey General agrees. AG Dep. Tr.77:8-17 . ii. The exemption of mail ballots only further disproportionately impacts Native American communities living on reservations. Pl. Ex. 25 at 9-1O/Stip. Ex. 5; see also 09109/20 iii. Trial Tr. (McCoot) ar339:17-24, Given the limitations and issues with mail service on reservations in Montana, ballots had been historically collected and tumed into polling places and election centers and not put in the post. 09/09/20 Trial Tr. (McCool) at 339: I 724; see also 09109120 Trial Tr. (Street) at 274: l9-276:23. n. Additional, Unnecessary Work i. The process of compliance and enforcement is cumbersome and time consuming. Staff in Defendant Mangan's office have complained that BIPA is an unfunded mandate for election adminiskators and their office. Beall Dep. Tr. 134:12-136:17; Pl. Ex. 40. ii. Cascade County election administrator Rina Moore has also called BIPA an "unfunded mandate." She also refers to BIPA as the "Voter Suppression Act of 2018." Moore Dep. Tr.29:9-10;53:4-16. 39

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