[Federal Register: April 18, 2005 (Volume 70, Number 73)]
[Notices]
[Page 20114-20116]
From the Federal Register Online via GPO Access [wais.access.gpo.gov]
[DOCID:fr18ap05-48]
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ELECTION ASSISTANCE COMMISSION
Proposed Voluntary Guidance on Implementation of Statewide Voter
Registration Lists
AGENCY: United States Election Assistance Commission (EAC).
ACTION: Notice; proposed guidance and request for comments.
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SUMMARY: The EAC is proposing voluntary policy guidance on the
interpretation of section 303(a) of the Help America Vote Act of 2002
(HAVA). HAVA was enacted to set standards for the administration of
Federal elections. Included in the new standards is a requirement that
each State develop and maintain a single, statewide list of registered
voters. The voluntary guidance proposed by EAC will assist the States
in understanding and interpreting HAVA's standards regarding statewide
voter registration lists.
DATES: Submit written or electronic comments on this draft guidance on
or before 5 p.m. e.d.t. on May 25, 2005.
ADDRESSES: Send comments to Juliet Thompson, General Counsel, via mail
to U.S. Election Assistance Commission, 1225 New York Avenue, Suite
1100, Washington, DC 20005; via fax to 202-566-1392; or via e-mail to
guidance@eac.gov. An electronic copy of the proposed guidance may be
found on the EAC's Web site: http://www.eac.gov.
FOR FURTHER INFORMATION CONTACT: Juliet Thompson, General Counsel,
Washington, DC, (202) 566-3100, Fax: (202) 566-1392.
Proposed Voluntary Guidance on Implementation of Statewide Voter
Registration Lists
I. Introduction
The Help America Vote Act of 2002 (HAVA) requires the Chief
Election Official in each State to implement a ``single, uniform,
official, centralized, interactive computerized statewide voter
registration list.'' That list is to be ``defined, maintained, and
administered at the State level'' and must contain the ``name and
registration information of every legally registered voter in the
State.''
The details of implementing these statewide voter registration
lists were left to the States. However, Congress authorized the United
States Election Assistance Commission (EAC) to issue voluntary guidance
to assist the States with interpreting and implementing the provisions
of HAVA as they relate to the requirement for a statewide voter
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registration list. It is important to note, however, that the EAC does
not have legal authority to interpret HAVA beyond providing voluntary
guidance in assisting States and local governments to meet the
requirements of HAVA. The civil enforcement of Title III of HAVA is
expressly assigned to the United States Department of Justice (DOJ).
Although it is clear that a single, uniform, official, centralized,
interactive computerized voter registration list is one that is
technically and functionally able to perform tasks described in
sections 303(a)(1)(A)(i) through 303(a)(1)(A)(vii) of HAVA,
clarification is needed as to how and to what extent each of these
functions must be accomplished by the statewide voter registration
list. The following is interpretative guidance that clarifies the
meaning of certain portions of section 303(a) of HAVA (42 U.S.C.
15483(a)).
The guidance also serves to encourage state and local election
officials to work together to define and assume their appropriate
responsibilities for meeting this HAVA requirement, as well as to
engage other relevant stakeholders in this process.
The guidance set forth below as developed by the EAC through a
process which involved holding a public meeting regarding the statewide
voter registration lists as well as convening a working group of state
and local election officials to assist with identifying the issues and
solutions involved with implementing a statewide voter registration
list. EAC held a public meeting wherein it received testimony from four
state election officials whose states have implemented statewide voter
registration lists, either prior to or since the passage of HAVA.
Subsequently, EAC, assisted by the National Academies, convened a two-
day working group meeting wherein state and local election officials
discussed issues that persist in the implementation of this HAVA
requirement. The working group received technical assistance from
technology experts invited by the Academies and representatives of the
country's motor vehicle administrators. EAC used these discussions as a
basis for developing the guidance that is presented below.
The following guidance on statewide voter registration lists is
restricted to issues of policy related to the development and
implementation of a single, uniform, official, centralized interactive
computerized statewide voter registration list. EAC and the working
group of state and local election officials will continue to explore
technical issues related to the maintenance and upgrade of these
database systems, with assistance from the National Academies.
Additional guidance and/or best practices related to these technology
issues will be developed, presented for comment, and adopted in the
coming months.
II. Scope and Definitions
1. Is guidance regarding statewide voter registration lists or Section
303(a) of HAVA mandatory?
No. The guidance issued here by EAC is voluntary. States can choose
to adopt this guidance as interpretative of HAVA's requirement for a
statewide voter registration list.
2. Who would benefit from this guidance?
This guidance is targeted to assist the States and local
governments in fulfilling their requirements under Section 303(a) of
HAVA. This guidance may help election officials understand HAVA's
intent to comprise a single, uniform statewide voter registration list
and the responsibilities that HAVA places on all election officials to
assure that the names and information contained in the statewide voter
registration list are accurate.
3. To whom is Section 303(a) of HAVA applicable?
The provisions of Section 303(a) apply to all States, the District
of Columbia, the Commonwealth of Puerto Rico, Guam, American Samoa, and
the United States Virgin Islands except those that on or after the date
of enactment of HAVA had no requirement for registration of voters with
respect to elections for Federal office. Currently, only North Dakota
has no voter registration requirement.
4. Does this guidance in any way alter, interpret, or effect the
requirements of the National Voter Registration Act of 1993?
No. Nothing in this guidance should be construed to alter,
interpret or effect, in any way whatsoever, the requirements of the
National Voter Registration Act of 1993, including requirements and
timeframes with respect to the administration of voter registration
and/or the process States must follow in removing names of registrants
from the voting rolls.
5. Who is a local election official?
A local election official is the person or persons who have primary
legal responsibility for determining the eligibility of an individual
to vote and maintaining and updating the voter registration information
of eligible voters in his/her voter registration jurisdiction.
6. Who is responsible for implementing the provisions of Section 303(a)
of HAVA?
The State through the State's Chief Election Official is
responsible for ensuring that the State has a single, uniform,
official, centralized, interactive computerized statewide voter
registration list. However, local election officials also have certain
responsibilities outlined in Section 303(a) of HAVA, particularly with
regard to entering voter registration information into the statewide
voter registration list on an expedited basis.
7. What is the official list of voters pursuant to Section 303(a) of
HAVA?
The official list is the list defined, maintained and administered
by the State through the State's Chief Election Official.
III. Guidance on Statewide Voter Registration Lists
8. What types of databases meet the requirements of HAVA to generate a
single, uniform voter registration list?
HAVA requires State and local election officials to use and access
the same statewide voter registration list for purposes of conducting
voter registration and voting in an election for Federal office. While
databases hosted on a single, central platform (e.g., mainframe and/or
client servers) are most closely akin to the requirements of HAVE, a
database which gathers its information from local voter registration
databases or servers may also meet the single, uniform list requirement
as long as the statewide voter registration list is defined, maintained
and administered by the State (e.g., the State establishes uniform
software for use by all local databases) and the statewide voter
registration list contains the name and registration information of
every legally registered voter in the State with a unique identifier
(i.e., the last four digits of a Social Security Number, driver's
license number, or a unique number assigned by the election official).
9. How frequently must the statewide voter registration list be
synchronized with any local databases to assure that the statewide
voter registration list is the single source for the names and
registration information of all legally registered voters in the State?
At a minimum, the statewide voter registration list should be
synchronized with local voter registration databases at least once
every 24 hours to assure that the statewide voter registration list
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contains the names and registration information for all legally
registered voters in the State and that local election officials
throughout the State have immediate electronic access to such
information, as appropriate.
10. How should the statewide voter registration list be coordinated
with other agency databases?
HAVA makes accurate voter registration lists a priority. States
should coordinate the statewide voter registration list with other
state agency databases (e.g., voter registration agencies as defined by
NVRA) that may contain information relevant to the statewide voter
registration list.
Additionally, coordination between the statewide voter registration
list and other government sources of information (e.g., death and
felony records) is equally critical. States should take steps to
provide for regular coordination of their statewide voter registration
lists with death and felony records so as to assure that the statewide
voter registration list is current.
Moreover, section 303(a) of HAVA requires States to match
information received on voter registration forms against drivers
license and social security databases for the purpose of verifying the
accuracy of the information received from all new voter registrants.
Under Section 303(b), such validation provides an exemption to the
voter identification requirements for first-time registrants by mail if
the information matches.
11. Who should have immediate electronic access to the statewide voter
registration list?
At a minimum, local election officials must have immediate
electronic access to the statewide voter registration list. This means
that the local official must have access through some electronic
connection to the official statewide voter registration list when
needed to process voter registrations, assist voters, input or change
data, or determine eligibility of an individual to vote. The level of
access given to each user should be appropriate to the function of the
user and should be established collaboratively by the State and local
election officials. However, all voter registration information
obtained by any local election official must be electronically entered
into the statewide voter registration list on an expedited basis at the
time the information is provided to the local official.
Dated: April 12, 2005.
Gracia Hillman,
Chair, Election Assistance Commission.
[FR Doc. 05-7713 Filed 4-15-05; 8:45 am]