{"id":52313,"date":"2016-09-30T11:27:00","date_gmt":"2016-09-30T16:27:00","guid":{"rendered":"https:\/\/content.findlaw-admin.com\/ability-legal\/supreme\/legal-commentary\/is-there-a-constitutional-right-to-sign-a-petition-anonymously.html"},"modified":"2016-09-30T11:27:00","modified_gmt":"2016-09-30T16:27:00","slug":"is-there-a-constitutional-right-to-sign-a-petition-anonymously","status":"publish","type":"supreme","link":"https:\/\/supreme.findlaw.com\/legal-commentary\/is-there-a-constitutional-right-to-sign-a-petition-anonymously.html","title":{"rendered":"Is There a Constitutional Right to Sign a Petition Anonymously?"},"content":{"rendered":"\n<div class=\"wp-container-core-columns-is-layout-9d6595d7  fl-block-columns fl-sectionWithSidebar fl-container fl-flex fl-flex-wrap fl-gap30\">\n    \n    <div class=\"fl-page-articles   fl-block-column fl-section-main fl-section-main-full-width\">\n        <div class=\"yui-g\" id=\"leftcol-module\">\n      <!-- Right Line of Links Section -->\n      <!-- BEGIN PICTURE INSERTION -->\n      <!-- BEGIN TITLE AND AUTHOR INSERTION -->\n      <table>\n        <tr>\n\n          <td width=\"100\" rowspan=\"3\" class=\"wauthor\"><a href=\"\/legal-commentary\/michael-dorf-archive\"><img decoding=\"async\" src=\"https://supreme.findlaw.com/static/f/images\/writ\/michael.dorf.jpg\" border=\"0\" alt=\"Michael C. Dorf\"><\/a><\/td>\n\n          <td class=\"wititle\"><h1>Is There a Constitutional Right to Sign a Petition Anonymously?<\/h1><\/td>\n        <\/tr>\n\n        <tr>\n          <td class=\"wauthor\"><a href=\"\/legal-commentary\/michael-dorf-archive\" class=\"graybold\"><h2>By MICHAEL C. DORF <\/h2><br><\/a><\/td>\n        <\/tr>\n        <tr>\n          <td class=\"widate\">Monday, November 16, 2009<\/td>\n        <\/tr>\n      <\/table>\n\n  <p>Last month, in <em><a href=\"http:\/\/www.ca9.uscourts.gov\/datastore\/opinions\/2009\/10\/28\/09-35818.pdf\" rel=\"noopener\">Doe  #1 v. Reed<\/a><\/em>,the United States  Court of Appeals for the Ninth Circuit rejected a claim that over one hundred  thousand people who signed a Washington  state petition have a constitutional right to prevent the public from learning  their names and addresses. The  plaintiffs, who have already prevailed on one aspect of their case in the  Supreme Court, have now filed a new petition seeking review by the  Justices. In this column, I consider the  surprisingly difficult question of whether there is a constitutional right to  sign a petition anonymously.<\/p>\n      \n  <!-- 300x250 AD -->\n    \n  <p><strong>The Fight Over Washington&#8217;s &#8220;Everything  But Marriage Act&#8221;<\/strong><\/p>\n  \n  <p> Earlier  this year, the state of Washington enacted SB 5688, commonly known as the  &#8220;everything but marriage act,&#8221; a law that extends to same-sex (and  opposite-sex) domestic partners just about all of the rights of married couples,  but not the term &#8220;marriage.&#8221; Although  proponents of same-sex marriage were disappointed because, in their view, the  law did not go far enough, social conservatives thought it went too far. A conservative organization called Protect  Marriage Washington (PMW) accordingly sought the repeal of SB 5688 by  referendum.<\/p>\n  <p> PMW  gathered 138,500 signatures of Washingtonians, a sufficient number to put  Referendum 71 before the voters.  Pursuant to Washington&#8217;s  Public Records Act, the petitions for a referendum\u2014including the names and  addresses of its signers\u2014can be made available to the public. Thus, supporters of SB 5688 planned to post  this information on their websites.<\/p>\n  <p> Claiming  that they feared intimidation and harassment, PMW and two unnamed signers (John  Doe #1 and John Doe #2) sued Washington  officials to enjoin the release of the petitions. They argued that the public release of  signatory information would violate the First Amendment.<\/p>\n  <p> A federal  district court agreed, and enjoined the release of the petitions. The state appealed to the U.S. Court of  Appeals for the Ninth Circuit. Then,  after oral argument, that court stayed (that is, suspended the effect of) the  district court&#8217;s injunction. But five  days later, in response to an emergency application, the Supreme Court in turn  stayed the Ninth Circuit&#8217;s decision, in a <a href=\"http:\/\/www.supremecourtus.gov\/orders\/courtorders\/102009zr.pdf\" rel=\"noopener\">one-paragraph  order<\/a>. Two days after that, the  Ninth Circuit issued its opinion explaining its reasons for reversing the  district court. However, under the  Supreme Court&#8217;s order, the district court&#8217;s injunction against release of the  petitions will remain in effect until the Supreme Court itself decides what to  do with the case.<\/p>\n  <p> Meanwhile,  by a 53-47 percent margin, the voters in Washington  rejected the effort to repeal SB 5688.  Thus, same-sex (and opposite-sex) domestic partners in Washington continue to be entitled to the  benefits of, but not the term, marriage.  That resolution of the underlying substantive issue has not stopped the  litigation over the petitioners&#8217; anonymity, however. The plaintiffs&#8217; request for Supreme Court  review remains pending.<\/p>\n  <p><strong>The Court of Appeals  Too Casually Dismissed the Anonymous Speech Claim<\/strong><\/p>\n  <p> The  plaintiffs argue that they have a First Amendment right to engage in political  speech anonymously. At the most general  level, their claim has merit. In the  1995 case of <em><a href=\"https:\/\/caselaw.findlaw.com\/\" rel=\"noopener\">McIntyre v. Ohio Elections  Comm&#8217;n<\/a><\/em>, the Supreme Court struck down an Ohio law that forbade anonymous distribution  of campaign literature. The majority  noted how the cloak of anonymity can be essential to protect someone who  espouses or promotes unpopular opinions.<\/p>\n  <p> The Court  cited notable examples of literary pen names.  Most famous of all, of course, was the decision of the leading  proponents of the Constitution&#8217;s ratification\u2014James Madison, Alexander  Hamilton, and John Jay\u2014to write what became The Federalist Papers under the  name &#8220;Publius.&#8221; Likewise, opponents of  constitutional ratification used such pseudonyms as &#8220;Cato,&#8221; &#8220;Centinel,&#8221; and  &#8220;Brutus.&#8221; <\/p>\n  <p>Justice Stevens said for the Court that what  held true at the time of the Constitution&#8217;s adoption, also holds true under the  Constitution in our day: Anonymous speech is protected, and thus restrictions  on anonymous speech must be measured by the most exacting judicial scrutiny.<\/p>\n  <p> The  district court in <em>Doe #1 <\/em>found that  the state of Washington had insufficient  grounds for publicly disclosing the names and addresses of the signers of the  petition for Referendum 71, but the Ninth Circuit concluded that Washington was not  actually regulating anonymous speech at all.  Why not? Because the people who  signed the petition did so in public view, listed their information on sheets  of paper that would then be made available to up to nineteen more signatories,  and knew or should have known that under Washington law, state officials as  well as a small number of proponents and opponents of a referendum would  examine signatures to verify their accuracy. <\/p>\n  <p> With all  due respect, the Ninth Circuit&#8217;s analysis is a non sequitur. The court said, in essence, that the  plaintiffs were not really trying to sign the petition anonymously, or did not  succeed in signing it in a truly anonymous way, because Washington law forbade them from doing  so. But it is that very result\u2014the  combination of Washington&#8217;s  laws regulating petitions and its laws defining what counts as public  information\u2014that the plaintiffs were challenging. Of course the signatories understood that Washington denied them  the right to sign a referendum petition and keep their identities private  beyond what was necessary to verify their identities. That denial, their case asserts, violates the  First Amendment. Yet the Ninth Circuit  did not even address, much less answer, this claim.<\/p>\n  <p><strong>Is Signing a Petition  More Like a Campaign Contribution or More Like Pamphleteering?<\/strong><\/p>\n  <p> How should  the Ninth Circuit have addressed the anonymous speech issue? Or more to the point, if the Supreme Court  grants review, what result should it reach?  The answer partly depends on what analogy one finds most persuasive.<\/p>\n  <p> Although  the <em>McIntyre<\/em> case protects anonymous  pamphleteering, not all anonymous political activity is protected. For example, federal election law mandates  disclosures of campaign contributors. <\/p>\n  <p> In <em>McIntyre<\/em>, the Court specifically  distinguished mandated campaign finance disclosure as serving an  anti-corruption objective. However,  federal law also exempts minor parties from such disclosures, and in the 1982  case of <em><a href=\"https:\/\/caselaw.findlaw.com\/\" rel=\"noopener\">Brown v. Socialist Workers &#8217;74  Campaign Comm.<\/a><\/em>, the Court held that the First Amendment forbade the  application of a donation-disclosure law to a small party whose members and  supporters had been subjected to harassment.<\/p>\n  <p> Meanwhile,  the Supreme Court has not had an occasion to reconsider the constitutionality  of the public release of campaign donor information more generally. Yet since the adoption of the first  substantial federal campaign finance regulation in the 1970s, the internet has  vastly multiplied the possible uses of such information. <\/p>\n  <p>Based on computer tools on  third-party sites like the <a href=\"http:\/\/fundrace.huffingtonpost.com\/\" rel=\"noopener\">Huffington  Post<\/a>, it is possible to find out which of your friends, relatives, and  neighbors gave how much money to which candidates in recent Presidential  elections. In California, some gay rights organizations  have publicized the names of businesses and their owners that either publicly  endorsed or contributed money to support Proposition 8, which amended the state  constitution to forbid same-sex marriage.  The primary purpose of such publicity appears to be to enable supporters  of legal same-sex marriage to boycott these businesses.<\/p>\n  <p> Even  assuming that the <em>Brown <\/em>case remains  no more than a limited exception to the general validity of laws mandating  public disclosure of campaign donors, it is not clear whether the exception or  the general principle should apply in the <em>Doe  #1 <\/em>case. On one hand, the  Washingtonians who sought to repeal SB 5688 comprised nearly half of the  state&#8217;s voters, hardly a small, unpopular group like the socialists involved in  the <em>Brown <\/em>case.<\/p>\n  <p> On the  other hand, in one respect, the argument for anonymity is even stronger in the <em>Doe #1 <\/em>case than in <em>Brown.<\/em> In <em>Brown<\/em>, as in all cases involving  campaign finance disclosure, the government has an anti-corruption interest: By  finding out who is bankrolling elected officials, the public can monitor those  officials for signs of favoritism. By  contrast, there is no clear anti-corruption purpose served by disclosing the  names and addresses of everyone who signed a petition for a ballot initiative.<\/p>\n  <p> True, such  disclosure could assist the state authorities in detecting fraudulent or  otherwise invalid petition signatures as a form of &#8220;crowd sourcing.&#8221; But there is no indication that disclosure  would have served this purpose in <em>Doe #1<\/em>,  whereas it is plausible to think that disclosure of the supporters of the  petition would have facilitated harassment of at least some such supporters.<\/p>\n  <p><em><\/em> Nor is it even clear that  pamphleteering or making campaign contributions is the best analogy to signing  a petition for a referendum. Perhaps a  closer analogy is voting. All U.S. states now  use the secret ballot for just about every public election\u2014principally on the  ground that secrecy protects voters and the public against coercion and  bribery. <\/p>\n  <p> But, of course, widespread or even  universal adoption of a practice does not necessarily render that practice  constitutionally obligatory. Early votes  were not cast anonymously, and if the Court were to say that the First  Amendment requires the secret ballot, then that ruling could cast doubt on  other electoral systems that use various forms of public voting. <\/p>\n  <p>Consider the proposed Employee Free Choice Act,  which would permit certification of a union as the representative of workers in  a bargaining unit without a secret ballot (although a secret ballot could still  be used). Is the proposed Act  unconstitutional? And what about  corporate governance laws, and other laws that permit or require people to cast  their votes or otherwise state their opinions without the protection of  anonymity. Are they also  unconstitutional?<\/p>\n  <p>Perhaps the most dramatic denial of anonymity is  that effected by the Sixth Amendment, which\u2014except in extraordinarily rare  circumstances\u2014requires crime victims to testify in open court in the face of  those who wronged them. A Supreme Court  ruling that any reasonable fear of intimidation or harassment triggers a right  to anonymity could thus have far-reaching consequences.<\/p>\n  <p><strong>A Hard Constitutional  Question, but an Easy Policy Question<\/strong><\/p>\n  <p> I do not raise the foregoing  examples because I think they conclusively show that there is no First  Amendment right to sign a petition for a referendum without having one&#8217;s  identity disclosed to the public.  Whether there is such a right appears to be an open question. But given that there are legitimate concerns  about the democratic process on each side of that question, the best answer may  be to let the democratic process itself resolve them. In the <em>Doe #1<\/em> case, that would mean  affirming the Ninth Circuit and denying the claimed constitutional right.<\/p>\n  <p> Yet to say that there may be no  constitutional right to sign a petition anonymously is not to say that Washington should  willy-nilly release the names and addresses of over a hundred thousand people  who signed the petition seeking a referendum on SB 5688. The public interest in knowing these details  is minimal, while the danger of harassment is real, if not in this particular  case, then perhaps with respect to future issues. More broadly, a regime of public disclosure  of petition signers could have a powerful chilling effect on political  participation by people holding unpopular views.<\/p>\n  <p> In the end,  signing a petition for a ballot initiative looks very much like voting on such  an initiative. And American states have  reached the unanimous conclusion that the best way to run elections is with  secret ballots. Likewise, even if it is  not constitutionally required, the best way to run large petition drives will  typically be by providing some substantial anonymity for signers. Thus, Washington  would do well to construe or amend its Public Records Act to protect the  anonymity of the Doe plaintiffs. The  shield that Washington&#8217;s  conservatives seek today could prove invaluable for progressive  causes\u2014including marriage equality\u2014tomorrow.<\/p>\n  <p class=\"authorfoot\">\n<a name=\"bio\" id=\"bio\"><\/a>Michael C. Dorf, a FindLaw columnist is the Robert S. Stevens  Professor of Law at Cornell   University. He is the author of <i>No Litmus Test: Law Versus Politics in the Twenty-First Century<\/i> and he blogs at <a href=\"http:\/\/www.michaeldorf.org\/\" target=\"_blank\" rel=\"noopener\">michaeldorf.org<\/a>.\n\n\n\n\n<\/p><\/div>\n<div class=\"was-this-helpful\">\n    <div\n            class=\"was-this-helpful__question-container\"\n            aria-labelledby=\"was-this-helpful__question\"\n            role=\"group\"\n    >\n        <span\n                id=\"was-this-helpful__question\"\n                class=\"was-this-helpful__question fl-text-lg-bold\"\n        >Was this helpful?<\/span>\n        <button\n                class=\"was-this-helpful__button fl-text-sm\"\n                aria-label=\"Yes\"\n                value=\"yes\"\n        >\n            <span class=\"was-this-helpful__button-text fl-text-bold\">Yes<\/span>\n            <i class=\"was-this-helpful__button-icon\">\n                <svg width=\"22\" height=\"22\" viewBox=\"0 0 22 22\" fill=\"none\" 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