Congressional Record S6638-S6655
Unannotated Secondary Research
June 10, 1982

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Case Files, Thornburg v. Gingles Working Files - Guinier. Brooks v. Allain Memorandum of the Appellees, Mississippi Republican Executive Committee, in Opposition to Jurisdictional Statement, 1984. a37287bc-e192-ee11-be37-6045bdeb8873. LDF Archives, Thurgood Marshall Institute. https://ldfrecollection.org/archives/archives-search/archives-item/7d2cd81d-4226-4943-b312-04b532df7cc8/brooks-v-allain-memorandum-of-the-appellees-mississippi-republican-executive-committee-in-opposition-to-jurisdictional-statement. Accessed April 06, 2025.
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j1 . .;{\ ,..i ,'r1l;: ? . .,,i,, , :a ,'.1 -:. ' ; .'li ;:. . , 'tll,r'-:. lt ' ';' ,iifi : '1 ,: frtEIIORAND UII OF'f t{I: .r.Pt') }- !-L I L:i, :,...":iMISSiSS{PPI)t'EP1,BLI{]:t'|i.. .EXECUTIVECOBTI}III"TE[. ,--. ...' IN OPPOSITION TO J T ] I{ ISDICTION AI- ST {TE[tET.JT I M ish.]el B. 1trralla,:e Jrl\ES. l\lOCKBi:E & B,rS.S I08rJ Flir.t D;ire. Suite E P O. Brir -1-i](,7 Jacksort. l,l is ;issippr 19'.1l6 I cl. {6t}l 1t)-19-.lir;:J i\ ttorne;rs fr,r N'ii:,r,isiippi Ri:pub lican E.xccutivc Cornrnittue. Appcltecs * Counsi'l :.t{ fis13r;t i TABLE OF CONTENTS Table of Authorities Statement of the Case The Appeal Presents No Substantial Question . . . . .. 3 I. The Distiict Court's Findings of Fact Are Clearly Erroneous. 4 II. The District Court Applied An Improper Legal Standard In Concluding That Section 2 Had, Been Violated. 9 III. The Remedy Imposed By The District Court And The Further Remedy Sought By The Brooks Plaintiffs Violate Both The Fourteenth Amendment And The Voting Rights Act. . ..... 16 Conclusion Prge ii , 24 ii TABLE OF AUTHORITIES Ceses: Arlington Heights_ _u. Metropolitan Housing Dev. Corp.,429 U.S. 2SZ (1977) Bose Corp. v. Consumers (Jnion of the United Stutes, Inc., - U.S._ 52 U.S.L.W. 45t3 tU.S. api. 30, lg84) Boston Fire/ighters (Jnion, Local 7lg, v. Boston Chapter, NAACP,_ U.S. _ 103 S. Ct.2076 (1e83) Broolcs v. ll'inter, _ U.S. _ I03 S. Ct. ZO77 !.f8]),_vacating and remanding Jordan v. Winter, _ 541 F. Supp. I l3j (N. D. Miss.lggz) . Busbeev. Smith,549 F. Supp.494 (D.Ii.C. l9g2), afldmem.,_U.S._ 103 S. Ct. g09 (t993) . .... . . Chapmanv. Nichobon,579 F. Supp. 1504(N.D. Ala. r9E4) City of Mobib v. Bolden,446 U.S. 55 (t980) . . . . . 5, Connecticut v. Teal,4j7 U.S. 4q (lgg)) Connorv. Finch,43l U.S. q7 Ug77)... . .. Connorv. Johnson,386 U.S. q$ U:;OT Daytoy M. of Hucation v. Brinkman,433 U.S.406 (te77) Fire/ighters Local Union No. l7g4 v. Stotts, _U.S.- No. 82-206 (June lZ,lgg4) Fusari v. Steinberg.4lg U.S. 379 (1975) Herm v. Stafford,663 F.Zd669 (6th Cir. lggt) Joyes v. City of Lubbock,TZT F.2d 364, rehearing en bancdenied,730F.2d233 (5th Cir. t9g4) ........ Ketghum v. Byrne, Nos. 83-2044,g3-2065, &g3_2126 (7th Cir. May 17, t984) . Marshall v. Edwards, 582 F.zd gZ7 (Sth Cir. l97g), cert. denied sub nom. fust Carroll parish police Page II ll l3 l3-t5,21 18, 19 17,23 5 4 19,22 l3 22 4 5 t4 t2 lury v. Marshall, UZ U.S.9O9 (lg7g) . . . . .ZO, Zl, 23 I'l' Mississippi v. Smith, 541 F. Supp. 1329 (D.D.C. 1982), appeal dismissed, - U.S. - 103 S. Ct. 1888 (les3) 7 Regents of the Universily of Cahfornia v. fukke, 438 U.S. 265 (1978) 18, 19 Rybicki v. State M. of Elections, 574 F. Supp. 1082 (1982), on mtn. for reh., 574 F. Supp. I147 (N.D. ilI. 1983) Smithv. Winter,TlT F.2d l9l (5th Cir. 1983) Teamstersv. United States,43l U.S. 324(1977) ..... Upham v. Seomon, Civ. No" P-8149-CA (E.D. Tex. Jan 30, 1984), juris. statement filed sub nom. Strake v. Seamon, No. 83-1823 (U. S. May 9, 1984) United Jewish Organizations v. Carey, 430 U.S. 144 (te77) United Stotes v. Carolene Products Co.,304 U.S. l,t4 (re38) United States v. Morengo County Commission, No. 8l-7796 (l lth Cir. May 14, 1984) . United States v. New York Telephone Co.,434 U.S. r59 (r978) Yelasquez v. City of Abilene, No. 82-1630 (5th Cir. Mar.2,1984). :..... Washingtonv. Davis,426 U.S. 229 (1976) Williams v. City oJ'liew Orleans,729 F.2d 1554 (5th Cir. 1984) (en banc) Yick Wo v. Hopkins, I l8 U.S. 356 (1886) Zimmer v. McKeithen,485 F.2d 1297 (5th Cir. 1974), aff'd sub nom. fust Carroll Parish School Bd. v. Marshall,424 U.S. 636 ( 1975) Constitution, statutes U.S. Const., Amend. U.S. Const.. Amend. 3,9, 42 U.S.C. $1973 42 U.S.C. $1973c 23 20 l8 l5 l3 l9 l9 l6 9 t4 r5 I3, l6 12, 14 l8 12-15,22 4 13, 14, l6 Page passtm passim iv Miscellaneous: 128 Cong. Rec. 57120 (daily ed. June 18, 1982) 128 Cong. Rec. H3844 (daily ed. June 23,l98Z) . . . . . Subcomm. on the Constitution of the Senate Comm. on the Judiciary, Report on the Voting Rights Act, Comm. Print, gTth Cong.,2d Sess. (1982) S. Rep. No.4l7,97th Cong.,2d Sess. (1982) 6, 20,21 l Voting Rights Act: Hearings Before the Subcomm. on the Constitution of the Senate Comm. on the Judiciary,97th Cong., 2d Sess. (1982) . ... .ll, 13, 14, 20, 2l Remarks on Signing H.R. 3l l2 into Law, l8 Weekly Comp. Pres. Doc. 846 (June 29,1982) R. Stern & E. Gressman, Supreme Court hactice(Sth ed. 1978) Bonapfel, Minority Challenges to At-Iarge Ebctions: The Dilution hoblem,l0 Ga. L. Rev.353 (t976) .. Mansfield, The Underhandedness of Afirmative Action, Nat'l Rev. 26 (May 4, 1984) Page 20 ll, l2 2t t5 2t t7 i -:. '... IN THE Suyreme 6.ourt af, t\eJHnite} fitates OCTOBER TERM, 1983 NO.83-r865 OWEN H. BROOKS, et al., Appellants v. BILL ALLAIN, Governor of Mississippi, et al., Appellees On,Appeal From The United States District Court For The Northern District Of Mississippi MEMORAIIDUM OF THE APPELLEES, MISSISSIPPI REPUBLICAN EXECUTIVE COMMITTEE, IN OPPOSITION TO JURISDICTIONAL STATEMENT The Mississippi Republican Executive Committee, Appellees herein, have filed their own Jurisdictional Statement appealing the Judgment of the United States District Court for the Northern District of Mississippi in Mississippi Republican Executive Committee v. Brooks, No. 83-1722. Because they feel that the Judgment below is erroneous in its entirety, they cannot move to affirm that Judgment, as permitted by this Court's Rule l6.l(c), even though they believe the questions presented by the Jurisdictional Statement of the Brooks Plaintiffs "are so unsubstantial as not to need further argument." Cognizant that this Court does not ordinarily receive motions to dismiss an appeal from a federal court, and upon advice of the Clerk, the Republican Defendants submit this Memorandum to convey their position that the Court should not entertain oral argument in No. 83-1865, should note probable jurisdiction in No. 83-l722,and should reverse the judgment of the District Court. 2 STATEMENT OF THE CASE - The Repubrican Defendants have set out their statement ofthe case in some detail in their Jurisdictionat Statemen i at +4,M^ississippi Repubtican Execufive Commitrce v. .Broolcs No. Y-17?2 [hereinafter cited as Republican J. S ]. ;;;;;se theBrooks praintiffs have raiseo ttre issue of i.iiJv l" ,r,.i.Jurisdictionar Statement, it is necessary here to ca, a fewadditional facts to the Court's attention. The Brooks praintiffs strongly impry that they are asking thiscourt to recreate a congressionat District rocated in the Derta Trl 1!11"k populatio n ot OSqo or greater. J. S. at 3-5 & nn. t &4, 8-10 & nn.6 & 7. The r."orj clearly reflects that it isimpossible to create a Delta district which is 65Vo black. Sincethe last such districr existed in 1960, J. S. at 3 ".1,;;pd;tationhas shifted so that it is now porribr" to create either a Deltadistrict or a 65Vo black district, but not both. As the BrooksPlaintiffs' expert testified, 'fl]t becomes readily obvious thatthere is a rimit to the number ol bracks that you ."rrin"o.por"r. in a small derta district if you restrict yourserf to the traditionardelta counties, that is to say, not including f"ff.rron una !fa1U9rn [src], and . excludiiig Hinds Corin*;, -; r.' tZ+.Eicluding those counties, the *u-*irnuo, attainabri brack voting age population would be about 50.gyo.Tr" 125. The plans containing black majorities of 64.35V0 and 63.60V0,described by the Brooks praintifis as being..in thi o.itul."u,,,J's' at I0, in fact both contain a portion of the city of Jackson,as well as other pafts of Hindi County. Tr. 163{6. Hindscounty has never been considered to be "in the derta area,,'ascounsel for the Brooks praintiffs crearry recognized at triar. Tr.163. See also J. S. at 3a n.3. The Brooks praintiffs properly note that the triar court wasreluctant to *combine urban areas of the city of Jackron *i t ,r,.rural Delta area." J. S. at 10. They imply, however, that tfreCourt brought some urban areas into ttre Second Oiririo UVadding "portions of the Jackson suburbs in Hinds couiiv." ra. a1 I l. However, their witness Henry Kirksey testified ar triar that these portions of Hinds County are clearly rural: .' ,i.'..!.. ' Q How would you compare life in those rurai precincts outside of Jackson generally with life in the delta area? A I find personally Mr. Parker - and I don't claim to be an expert in this area - but I find that the basic difference in the rural in the Fourth Congressional District here is wete talking about large plantations up here versus smaller farms down in the Fourth Congressional District. Tr- 163. It should also be noted that the District Court's plan, like all previous Mississippi Congressional districting plans, does not split any municipalities. THE APPEAL PRESENTS NO SUBSTANTIAL QUESTION This appeal presents only the question of the standards to be applied by a district court in devising a remedy for a districting plan found to violate Section 2 of the Voting Rights Act,42 U.S.C. $1973. If this Court agrees with the Republican Defendants that the District Court erred in finding a violation of Section 2, then this appeal presents no question at all. The Republican Defendants submit that the District Court's findings of fact are clearly erroneous and that it applied an improper interpretation of Section 2. Even if Section 2 has been violated, the Brooks Plaintiffs are not entitled to the additional relief they seek. Their argument is that the District Court's remedial plan is insufficiently race- conscious. This Court has never approved a race-conscious remedy in a voting case; Section 2 does not require it, and the Fourteenth Amendment forbids it.' t The Jurisdictional Statement previously filed by the Republican Defendants does not attack the propriety of the remedy. Republican J. S. at 26-27 n.l5.lt this Court agrees with our substantive arguments, then the proper course is to reverse the Judgment of the District Court and direct the reinstatement of either the l98l legislative plan or the 1982 court plan. ld..at6. lf this Court rcjects those arguments. but agrees that a race-conscious remedy is inappropriate, then the proper course is to reverse the Judgment and direct the I I I I 4 I. THE DISTRICT COURTS FINDINGS OF FACT ARE CLEARLY ERRONEOUS. The Brooks'praintiffs are not entitred to the further rerief theyseek on their appeal because the District court's factual findings, necessary to support its concrusion that Section z had been violated, are crearry erroneous. The Repubri*n p.i"ndants recognize that Federal Rule of civil procedure sz(a) ptaces a heavy burden rpgn them to suppoft this contention. bJrtainty, the ultimate finding in this "aii is "a so-calred .constitutionar {act,' " Bo-se -corp. v. consumers (Jnion of the united states,rnc.,_U.S. _,52 U.S.L.w .4s13,452i(U.S. ap.. Jol rgs+l entry of a remedy which is not racc-conscious. Thc Republican Defendants, however, do not scek that resurt. shourd thiscourt decrine to rcinstate eithcr thc lggr plan or the lgg2 plan, they wilracquicsce in the rctention of the l9g4 pran, rather than subjeci tt" uot"., orMississippi ro even further.disruprion.'They raise the i.p"..ir.iu,iiy or tmDistrict court's remedy onry for ihe purpo* of resisting ,rr. i.piriiiJ." "r ""cvcn more drastic remedy. ordinarily' a respondent or an apperee is 'entitred under our precedents tourgc any grounds which wourd lend support to the judgme ntbiow.-baytonturd of &lucation v. Brinkman,433 u.3. oo0, ars i$ill. Hor"erer, ,i"r" "r.apparently some cascs-in which a party has been *barred from presenting anargumcnt which would have supported the judgment in his favor uecause itslogic would have led to the eniry of a juaiment which went further in hisdirection'- R- Stern & E. Gressman , supr"mi courr praaiceEo.:iui +so 1s,tcd. 1978). The court since has indicaied that this is a matter of discretionrather than jurisdiction. united stotes v. New york Terephone c"., +J+ u.s. l5l, 166 n.E (1978). This discretion should be even morc readity availabte inthis casc' becausc an appeafbrings the 'whole case'before the court. Thus, issues that might provide arternativi grounds for support of the District courtjudgment can be considered by this court even though not specificailyp-T:ltd by cross-appa,l.- Fusari v. Steinberg,4lg U.S. :ZS, :g'Z*g n.l:(te7s). . Tur, the Republican Defcndants submit that this court is free to consider their attack on thc propriety of the District court's remedy, .u.n tt orgi'it t ",not been prcscnted in their Jurisdictionar statement or by a cross-appeil in thiscase. If this court shourd concrude that it lacks such discretion, ti"n tt i,Memorandum should be treated as a Jurisdictionar Statement on cross- Appeal, as permitted by this court's Rule 12.4, for the purpose oir.rotrlng this single issue. The additionar materiar required by Rure ts'tras atreaJy been submitted to this Court in the Jurisdictionar btatement in No. g3-r722. (Rehnquist, J., dissenting), but we do not ask this Court to undertake the sort of hypercritical examination of the record which the Court performed in that case. That is the sort of analysis undertaken by the plurality in City of Mobile v. Bolden 446 U.S. 55 ( 1980), which we concede that Congress intended to disapprove by its amendment to Section 2. Republican J. S. at 22. Even under the traditional standard, however, we believe that the record fails to support the District Court's findings. The District Court first noted, "That Mississippi has a long history of de jure and de facto race discrimination is not contested."J. S. at 8a. That is because it was not pled, except for "intentional racial discrimination in Mississippi congressional redistricting since 1966." Brooks' Plaintiffs Objections to the Simpson Plan !f7. That allegation was not and could not have been established, in the face of this Court's judgment in Connor v. Johnson, 386 U.S. 483 (1967), rejecting a constitutionalattack on Mississippi's redistricting plan. While the evidence of the other forms of discrimination found by the Court to have existed was admissible as circumstantial evidence in support of the one form of discrimination pled by the Brooks Plaintiffs, the Defendants had no way of knowing that the Court would apply that evidence to establish other allegations not pled. Therefore, they were deprived of the opportunity to make a record on those allegations. The District Court's use of evidence to establish allegations not pled is analogous to an appellate court's affirmance of a judgment on a theory not argued below; it should only be done where "the opposing party is not denied an opportunity to respond to the new theory." Herm v. Stafford 663 F.2d 669,684 (6th Cir. l98l). The Republican Defendants have had no opportunity to respond to the District Court's new theory, which they did not even receive until after they had filed their own Jurisdictional Statement. The District Court's theory is "that the effects of the historical official discrimination in Mississippi presently impede black voter registration and turnout." J. S. at 9a. While low black turnout was not pled by the Brooks Plaintiffs, they did at least allege that the Second District was "majority white in registered voters." Brooks' Plaintiffs Objections to the Simpson Plan !f4. 6 Their own expert testified that there was no official voter registration data and that the best he courd do was to make estimates. Tr. r0r{3. The State Defendants'expert tord counser for the Brooks plaintiffs that the actual relation between black and white registration courd not be precisery determinedr ... I think that you also have to remember the error for the black voter registration is greater than the error for the white registration. enA there is "rr .q;i chance that the white and black registration are equal,just as much as there's an equal .hun". tt,"t tn.j ui. wider. You cant always assume that the error breaks the wrong way. Tr. 458. while the District court's finding of low brack registration may be a reasonable speculation, there is no substantial evidence in the record to support it. with regard to black turnout, the evidence is equalry insubstantiar. 'r-he Brooks Plaintiffs actually found that biack turnout in the Democratic primary exceeded white turnour on a percentage basis. Ex. p-76 at 16. It is true that white turnout excleded blick in the general election, id,,at9, but the evidence shows that some black riaders, including the Brooks ptaintiffs'witness Henry Kirksey, did not .actively campaign for the Democratic nominee. ri. nl-lg. certainly, this sort of contradictory evidence on an issue not pled is insufficient to support the Court's factualfindings. The Brooks Plaintiffs likewise failed to plead the exlstence of 'socio-economic disparities between blacks and whites in the Delta area and the state as a whore.- J. s. at 9a. The court fou-nd this "probative of minorities' unequal access to the political process in Mississippi," on the basis of a footnote in the senate committee Report: "where these conditions are shown, .and where the lever of brack participation in poritics is depressed, plaintiffs need not proue any further causar nexus between their disparate socio-economic status and the depressed Ievel of political participation." S. Rep. No. 4l7,97thCong., 2d Sess. 29 n.l14 (1982) [hereinafter iited as Senate Rep'ort]. Because the District court's tinding that ..the level of ttacr participation in politics is depressed" is clearly erroneous, the evidence of socio-economic disparities is irrelevant to this case. i I,.""'i I I .....'.ri' r 1... '.rr,......r-...'.t-a j..,..:,,.....,:.......,t... .'...i.r......'..r...; j.i.+ 7 The Court further found, "Plaintiffs have established that voters in Mississippi have previously voted and continue to vote on the basis of the race of candidates for elective office." J. S. at l0a. With regard to previous elections, this finding is absolutely unsupported by the record. The Plaintiffs introduced no evidence whatsoever of voting patterns in elections prior to 1982.2 With regard to 1982, the Brooks Plaintiffs'evidence did not deal with Mississippi as a whole, but only with the Second District. Even there, almost lSVo of whites in the general election voted for the black candidate, Ex. P-76 at9, a far less polarized situation than that prevailing in such uncovered jurisdictions as Chicago, Illinois. Tr. 484-85. Indeed, the only striking polarization shown by the record was that exhibited by the class of black voters represented by the Brooks Plaintiffs, only 3.5V0 of whom voted for the white candidate at the general election. Ex. P-76 at 9. The Court sought to bolster this finding of polarized voting by a perfunctory statement that it had been encouraged by "racial campaign tactics."J. S. at l2a. The Court noted, id.,at l2a n.8, that the Republican candidate's slogan was "He's one of us." The record reflects that the slogan had been adopted while the white Democratic incumbent was still in the race, Tr. 339, and thdt the Republican candidate had carried a banner bearing that slogan to a meeting of the Greenwood Voters League, a black organization which Plaintiff Jordan serves as President. Tr. 336. This hardly indicates an attempt to stir racial animosities. The Court also took exception to the following television commercial: There is a new Mississippi, a Mississippi of new jobs and new opportunities for all our citizens. [video pan of black factory workers] We welcome the new, but we must never, ever forget what has gone before. [video pan of Confederate monuments] : Thc Brooks Plaintiffs may attempt to rely upon mention of bloc voting in the stipulation from l/risissippi v. Smith. 541 F. Supp. 1329 (D.D.C. 1982), appealdismissed,- U.S. - I03 S. Ct. lE88 ( 1983). J. S. at 8 n.6. None of thc Defendants in this case were parties to that case, it was admitted into evidence over thcir objection. and neither of the District Court's opinions in this case has given it any credence whatsoever. Cf. Republican J. S. at 7. I i,' 'r,, iiiil iillrllt.rrii il,il ,llii ,lt'l,rltl:iii iili r I .l l:r .:,t i'jl lrlli l'jl, irtjl I r,ll't'!l ,riliill ,'lii: ll,l rij r:li 8 ; J. s. at lla n.8. It is more reasonable to interpret this juxtaposition of images as an attempt to bridge the gajbetween blacks and whites in the Second District. Anyfinding ihat it was intended to widen that gap must be rejected as clearlferroneous. on the basis of these clearly erroneous findings of subsidiary fact, the District court reached its clearly e..onious finding of ultimate fact: We therefore find racial bloc voting operates to dilute black voting strength in Congressional districts where blacks constitute a minority of the voting age population. Since the Second District under the) Simpson PIan does not have a majority black voting age population, the presence of racial bloc voting in . that district inhibits black voters from participating on an equal basis with white voters in electing representatives of their choice. J- S- at I Ia. The record clearly reflects that other factors, including the unwillingness of some black leaders to support the Democratic nominee, contributed to the inability of bhil voters to elect the candidate a. majority of them preferred. The Brooks Plaintiffs'expert testified that, while blacks were disadvantaged by not having a majority of the voting age population, it was not impossible for their candidate to win an erection in the second District as then constituted. Tr. 148-51. The state Defendants' expert testified that a black candidate in the Second District would have a reasonable opportunity to be elected. Tr. 403{4.: I counsel for the Brooks Plaintiffs mischaracterizes his testimony by saying that equal access would exist only "so long as the white .ro.ror..'uoting rate reached at least the level which occurred in the l9g2 general election.-J.-S. at l7 n.9. ln fact, he testified that it would only be necessary for a black candidate to *rcceive a significant factor of the white vote." Tr. 463. The evidence in this casc shows that to be entirely possible. i t i I I i ; ,]] lrli 1,1 .il \ i. ! :.. ..t. .",'r'.,<,' .'. r.....". .,: ...,?.r...,..' ...t ... ... ,.' It should not be necessary to review each.of these findings rn detail. The districting plan found illegal by'the District Court had been used only once. In the Democratic primary, a black candidate defeated white opponents, while in the Republican primary, a white candidate det'eated a black opponent. When those victors faced each other in the general election, the white candidate won by only 2,000 votes. A more racially equal result, even if Section 2 requires that, can hardly be imagined. The clearly erroneous finding that equal access did not exist can only be explained by a conclusion that the law requires superior access for black voters. That conclusion is equally false. II. THE DISTRICT COURT APPLIED AN IMPROPER LEGAL STANDARD IN CONCLUDING THAT SECTION 2 HAD BEEN VIOLATED. Counsel for the Brooks Plaintiffs once again misrepresents the record in contending that "all parties now concede that there was a violation" of his clients' rights. J. S. at 13. The Jurisdictional Statement previously filed by the Republican Defendants in No. 83-1722 denies that there has been a violation of the Fourteenth Amendment, the Fifteenth Amendment, Section 2, or Section 5. It is not necessary to repeat those arguments here to demonstrate that the Brooks Plaintiffs are entitled to no further relief. It will, however, be useful to examine the contours of a Section 2 violation as they emerge, however murkily, from the District Court's opinion and the Brooks Plaintiffs' Jurisdictionil Statement. Neither the District Court nor the Brooks Plaintiffs take the trouble to define the nature of the rights conferred by Section 2. This makes it awkward to construct a remedy, for it is hard to restore a litigant to his rights without knowing what those rights are. Indeed, it is from examining the remedies favored by the District Court and the Brooks Plaintiffs, together with a few revealing comments from each, that one can best determine their concepts of the substantive rights protected by Section 2. The District Court apparently believes that black voters are entitled to an electoral advantage, but not to a guarantee of success; the Brooks Plaintiffs believe that they are entitled to a guarantee. Both are wrong. Ip.. ". The District courtt opinion nowhere precisery defines therights which Section 2 ;;il ;;however, nnJ .that .i;il;;i,".1,,"ff:' Jli"i"Hl,,Il;prevented ..black lor:., .rro,, p"rti"iputine-on" u?,ll*r u"ri,with white voters in,er""rin-g i.iir.ntatives of their choice.,, J.S. at I la. As a re.medy, ,f," i"r,{."ncluOed that..the creation ofa second Distri.ct t'Jiin " il; ii"* voting age popurationmajority of s2.g3vo ir rrni.i.iiiJo*r*.e the effects of pastdiscrimination and .""i"ruio";;; and wi, provide a fair andequal contest to all voter, ;h; #:ericti o ns. -- ii.l4 i +". 1n. Affi TJ"i:ll: ip-"j: i n co n gress i o nal proposedbypraintirrs:;*il;','"'bfiffif ;;*,ll::fll[.rr:?Tbtack.congr.rirnan in the s..5; djl#i1"",::*::Ithi s etecti Jn g*r" n,y, w_h ich $rGi jiI,k,?: ir:ijlH:,, ;ff ,Tnavea certain advglle-gffe., ,pon if,L rmpact of black voters inthe Fourth District.,, Id,, ail;;. ;;;"*ntry, the District Courtbetieved that Sectio" ,';ir;;'il5: etect o ra r " a * ni" g. *r,. r.i., il; ',l;ifi I ri, ili:l : ;. t :,j[was crearrv aistuibed ,r,"i-i-'tl il;*. it-wourd aisadvantageeven further those ptu*, fiviig;;rril" the favored district.+The Brooks plaintiffq ilil'il;i huna, seek to transformthe"totarity of the cir"r;;;;r- il:t section 2 into an ..a,or nothing" test' They defin" u-uior"rion of Section 2 as the ^;r1",^.lTjl:::fl,l,::':i;sj:*;,,:.,"ssortheopp"iJi,v.,otrr" p i,iii "i a;* b, ;; T;;; ilil;.,{o; ;,i!.li;, il iJ ; illi: ::that opportunity' -rn r".,' ,1" "rrr'.ou* rejected praintiffs,proposed prans for the expiicit ,tuit"orra .probabry insure theelection of a bhck congressma 11., ,, Id. _ln short, i "ourt "an "fully "' provide" orotection or i..tion 2 rights onry when itsremedy woutd ..jrobably il*;;';;: election of a blackcongressman' " That this guarant.. or ru"".ss to the black voters ..TheCourt indicared as much in its opinion. .TI dirurebrack'",ine'i..ig,r,;nco-n'e;.;ffi i;,:*r#i#r;:l,[r.""r,',?,T,'J: fl ,T:;#,tjl:r,""J;i"1* pop u h t [n. - J. J.' " il.r" secti on 2. t hen. i,,iol" t.o g-"1r.,.ii,,.*orri'i,lfi ff ,;'jil':,H,:,tt;p,,r'.couiii.n",,i""".,n. beforc. _.v...e.. ,ruw vrolate section 2 more egregiously than -i--t-]FFEE, '!' ..1;. ..;'...'1, '.,.' i I '..' of one district may disadvantage the black voters of adjoining districts is no concern of Section 2. "This does not constitute a prohibited diiution of biack voting strength where the adjoining district does not contain a black voting majority." Id., at 17. Section 2 is satisfied only when black voters are capable of controlling an election; where black voters cannot constitute a ma_iority, no matter how creative the gerrymander, the Brooks Plaintiffs'version of Section 2 provides no protection. In short, the Brooks Plaintiffs seek electoral apartheid; a court should create as many bantustans as possible, and ignore everyone outside their boundaries. The Brooks Plaintiffs have even quantified the amount of advantage that they believe Section 2 guarantees them. 'fA] district which is 65 percent black in population or 60 percent black in voting age population was necessary as a remedy to give black voters an equal opportunity to participate in the political process and to elect candidates of their choice." Id., at 8. The Brooks Plaintiffs raised this contention on their last appeal, and the Justice Department properly rejected it. "The letter [objecting to the l98l legislative plan] did not state, nor does the Attorney General maintain, that a 657oblack district is required for purposes of Section 5 preclearance." Brief for the United States as Amicus Curiae at 12. Brooks v. Winter,-U.S.- 103 S.Ct. 2077 (1983). This is fully consistent with the testimony that the Justice Department had previously presented to Congress. As Assistant Attorney General Reynolds told the Senate Judiciary Committee. "ln evaluating reapportionment or redistricting plans submitted under Section 5, ... we proceed on a case-by-case basis, in the light of all the facts, without imposing any rigid mathematical standards."Voting Rights Act: Hearings before the Subcomm. on the Constitution of the Senate Comm. on the Judiciary, 97th Cong., 2d Sess. 183 (1982) [hereinafter cited as Senate Hearings]. In the House, Representative Levitas of Georgia, who was then involved in litigation identical to this as a result of the Justice Department's refusal to preclear Georgia's redistricting plan, see Busbee v. Smith,549 F. Supp. 494 (D.D.C. 1982), aff'd mem. U.S. - 103 S.Ct. 809 (1983), asked whether the Act contained "any numerical percentage of what would constitute a minority district." I fl u fl 1.1 I .:i|.li r ... rl.'ii ; Chairman Edwards assured him that "the bill contains no such provision." 128 Cong. Rec. H3844 (daily ed' June 23, 1982)' Nor iras this Court eve; imposed such a requirement. In United Jewish Organizations v. Carey,430 U'S' l4 (1977\, this Court permitted New York voluntarily to create legislative districts ih"t *"r. 65Vo black, but this Court has never held that a State or a district court is required to create such districts. Moreover, counsel for the Brooks Plaintiffs has misrepresented the District court's decision by claiming that it holds "that Section 2 prohibits the creation of a 65 percent black district as a remedy io, uppruring racial discrimination and redistricting'" J' S' at 14. lniact, the District Court did no more than recognize the obvious fact that "the use of a race-conscious remedy for discrimination can come into tension with Congress' disclaimer in $2 of any right to proportional representation." Id., at I3a. ThL District Court held only that Congress had not wished to mandate the guarantee of black success which the Brooks Plaintiffs desire. Despite this clear history of rejection of the 65% standard, it remains necessary for this court explicitly to repudiate it-. Just last month, the Seventh circuit reversed a district court for its failure to create 65Vo black districts. Ketchum v' Byrne' Nos' 83-204,83-2065&83-2126(TthCir'May17,1984)'TheCourt found that the figure had been "either specifically adopted or tacitly approved; by many courts' Slip op' at 32' This ,.quir.*int of a supermajority i'lows naturally from the Court's mistaken conceptio; of minority rights: "[A]n effective majority means.a majorily of the population substantial enough to allow lroup choici to be effective.,n Id., at24 n.13. Thus, the Seventh tir"uit provided the guarantee of success that the District Court in this case properly refused to give' Perhaps it. tnott honest and comprehensive summary of the emergini jurisprudence under amended Section 2 was given last ,on,i iy lrdg" Wisdom for the Eleventh Circuit in United States v. Marengo Counry Commission' No' 8l-7796' slip op' at 3 146 ( I I th Cir. MaY 14, I 984): Some authorities suggest that a finding of discrimina- tory result is compelled when the plaintiffs show ti l3 racially polarized voting combined with an absence of minority elected officials. ... Others have argued that discriminatory effect is irrebuttably established when these factors are combined with a history of discrimi- nation and present socioeconomic disparities between the races. ... Certainlt, when the plaintiffs establish these factors and no other factors weigh strongly against the plaintiffs'case, dilution must be found. Most courts have faithfully parroted the long list of factors given in the Senate Report. See Republican J. S. at 20. Nevertheless, every single decided case, with the exception of Upham v. Seamon, Civ. No. P{l-49-C.{ (E.D.Tex. Jan. 30, 1984), juris. statement filed sub nom. Strafte v. Seomon, No. 83-1823 (U.S. May 9, 1984), is consistent with Judge Wisdom's summary. Judge Wisdom's summary is inconsistent, however, with the legal analysis of Chapman v. Nicholson, 579 F. Supp. 1504 (N.D. Ala. 1984). and the entire legislative history of amended Section 2. The Chapman Court found that "the practical effect of the 1982 amendment is to return the court's inquiry in a statutorily-based vote dilution case to the Zimmer [v. McKeithen, 485 F.2d. 1297 (5th Cir. 1973),1 criteria as they existed priSr to the Washington v. Davisl, 426 U.S. 229 ( 1976),1 and Arlington Heights lv. Metopolitan Housing Development Corp.,429 U.S. 252 (1977),] decisions." 579 F. Supp. at 1507.5 This is clearly the most extreme reading of Section 2 which can be supported by the legislative history.6 As counsel for the Brooks Plaintiffs told the Senate Judiciary Committee, "The 5 The result in Chapman however. is consisrent with Judge Wisdom's formulation because the Court found insufficient evidence of past discrimi- nation or polarized voting. 579 F. Supp. at 1513. Whether these findings can survive appcllate review is problematical. See Marengo County, slip op. at 3t3840. 6 A somewhat less extrcme reading is that Congress intended to impose the same substantive standard as in Section 5. lndeed, that is all the plaintiffs sought in Cily of Mobile. "[T]he standard for judging election practices is the same under section 2 as under section 5 ...." Brief for Appellees at 16. Cit.v of Mobile. lf this Court adopts that reading of Section 2. the District Court's l9E2 Order should be reinstated. Republican J. S. at l0-12. rl ,1 ,ti I lt t4 amendment restores the original intent of Congress and would also restore the legal standard applied by the courts prior to the Mobile decision." Senate Hearings at I183 (testimony of Frank Parker). Nevertheless, the Fifth Circuit has rejected Zimmer and fashioned a new test out of the Senate Report. Jones v. City of Lubbock,727 F.2d 364, 383{6, reh. en banc denied, 730 F.2d 233 (5th Cir. 1984). Most irnportantly, that Court noted that "Congress has articulated as an objective factor an evidentiary issue - polarized voting - that this Court's pre-Bolden cases had not treated as a tnatter of primary importance ." 727 F.2d at 384. See generally 730 F.2d at 233:36 (Higginbotham, J., concurring). The elevation of polarized voting to such importance has meant, again contrary to the assurances of counsel for the Brooks Plaintiffs, that the amended Section 2 will "ensure near certain victory for minority voters." Senate Hearings at I184 (testimony of Frank Parker). Indeed, three of the Justices of this Court have recognized, "Where it occurs, voting for or against a candidate because of his race is an unfortunate practice. But it is not rare ...." United Jewish Organizations, 430 U.S. at 166 (Opinion of White, J.). Two of the other factors cited by Judge Wisdom, *a history of discrimination and present socio- economic disparities between the races," Marengo County, slip op. at 3146, are likewise not rare.7 Indeed, unless this Court finds that such factors are present on a nationwide basis, it should hold Section 2 unconstitutional. Republican J. S. at 24 & n.13. 7 The continually expanding theory of dilution is illustrated by the efforts of the plaintiffs in City of Mobile to downplay the importance of past discrimination.'No decision of this Court suggests that multi-member districts should be struck down wherever there is a recent history of discrimination in voting ....- Brief for Appellees at 45 n.27, Ciry of Mobile. This sutement remains true today. Of Judge Wisdom's four factors, then, the only one which might not be found almost everywhere is "an absence of minority elected officials." Marengo County, slip op. at 3146. Yet this is exactly the factor which Section 2(b) says is not sufficient by itself to establish a violation. In short, if this Court approves the emerging jurisprudence under Section 2, it will enshrine exactly what the President thought he had forestalled in agreeing to the compromise version of Section 2. See Remarks on Signing H.R. 3l 12 into Law, 18 Weekly Comp. Pres. Doc. 846 (June 29,1982). Judge Wisdom's assurance that a violation might not be found where'other factors weigh strongly against the plaintiffs' case,- Marengo County, slip op. at3146, rings hollow in light of the actual disposition of that case. The District Court's finding that the absence of elected black officials was due to voter apathy was deemed clearly erroneous. Id., at 313940. The District Court's finding that local authorities were not unresponsive to black needs was likewise found clearly erroneous. Id., at 314y',45. The Fifth Circuit was somewhat less abrupt in Velasquez v. City of Abilene, No. 82-1630 (5th Cir. Mar.2, 1984), merely reversing the defendants'verdict because of insufficiently detailed lindings of fact. Slip op. at 2290-91. Apparently the hypercritical standard of review applied by the plurality in City of Mobile is now to be applied only where the plaintiffs lose. Nor did countervailing factors weigh in favor of the Defendants in this case. The Court explicitly found that the Representative elected from the Fourth District under the 1982 plan was "reasonably receptive and sensitive to the needs of the black community," J. S. at l4a, and gave no credence to the evidence offered by the Plaintiffs purporting to show that the Representative from the Second District was unresponsive. Compare Tr. 272-73 (testimony of David Jordan) with Tr. 3N42, 357-59 (testimony of Dana Bruce Covington). This would lend support to "the State legislature's policy favoring the division of the black population of the State into two 'high impact'districts rather than concentrating it into one district." J. S. at I la. These factors were found insufficient to defeat the t6 i:r ';lii;!). : It trl ,ll plaintiffs'case because "section 2 precludes dependence on this p",i;r;; Id. The District Court's opinion in Upham' the only i."irion which is not in accordance with Judge Wisdom's formulation, is thus in direct conflict with the decision in this case. That court approved "the legislature's decision to create * i.p"., districti instead of one safe district." Jurisdictional io,.*"n, at A-l_14, strake v. seamon Unlike the District Courtinthiscase,thetJphamCourtfounditconclusivethatthe two Representatives elected from those districts had "established ,,rong iecords of support for the concerns of black voters." /d., at A-l-16. Ironically, the most important of the Zimmer factors"'a lack of access to the Process of slating candidates'- 485 F'2d at I 305 ' i. ;;" present in this case, but on th" part of the white minority' The Plaintiff Jordan testified that "a caucus of black delegates from various counties in the Second congressional District" was -t,"rai'Julyoflg82toselectacandidateforCongress.Tr.260. That caucus selected Robert Clark, who went on to become the p.-o.oti" nominee. Tr' 26L Black voters went on to vote in a bloctoamuchgreater,extentthanwhitevoters.ltisironicinthe extreme that this conduct, condemned under Zimmer' should have been rewarded with a newly gerrymandered district' TII. THE REMEDY IMPOSED BY THE DISTRICT COURT AND THE FURTHER REMEDY SOUGHT BY THE BROOKS PLAINTIFFS VIOLATE BOTH THE FOURTEENTH AMEND' MENT AND THE VOTING RIGHTS ACT. TheBrooksPlaintiffsarenotentitledtoanyfurtherrelief from this Court, because the relief they have already received i;;; the District Court violates both the Fourteenth Amendment and the Voting Rights Act' As we have already u-tgu.J, Republican J' S' at 26' the Court imposed a race- conscious remedy which harmed more alleged victims than it i.fp.O. This Couit has never approved a race-conscious remedy in'the area of voting, "nd it has never approved any race-conscious remedy ,it i.t, harms more victims than it helps. Moreover, the legislative history of Section 2 indicates that Cligt..t did not iitend to permit such racial gerrymanders' t,; lrl t7 The District Court, however, did not violate the remedial principles set down by this Court in Connor v. Finch,43l U.S. N7 (1977).Indeed, it is only because the Court followed those principles so carefully that its constitutional and statutory mistakes are so obvious. This Court was concerned that departures from "neutral guidelines can lead, as they did here, to a charge that the departures are explicable only in terms of a purpose to minimize the voting strength of a minority group." Id., tt 425. A district court, therefore, "should either draw Iegislative districts that are reasonably contiguous and compact ... or explain precisely why in a panicular instance that goal cannot be accomplished."/d., at425-26.In this case, the District Court admitted that its plan *does not provide a compact geographical configuration for the Second District.-J. S. at l5a. The Court nevertheless explained its departure as being necessary "to overcome the effects of past discrimination and racial bloc voting" in the Second District. Id., at l4a. The Court candidly recognized that its plan "necessarily reduces the black population of the Fourth District to 41.99Vo." Id. ln short, the District Court carried out its "purpose to minimize the voting strength of a minority group," Connor v. Finch,43l U.S. at4ZS, whites in the Second District, by further *minimiz{ing] the voting strength of a minority group,- blacks everywhere else.S This Court in Connor v. Finch was not concerned with attaining some ideal representation of minority voters. Rather, it was concerned with avoiding even the appearance of racial gerrymandering. The Court cautioned the District Court..to put to rest suspicions that Negro voting strength is being impermissibly diluted." Id., at 425-26. Justice Blackmun's concurrence was primarily concerned with "whether a racial or improperly motivated gerrymander has taken place," id., at 427 (Blackmun, J., concurring), and to "avoid any appearance of partisanship." Id., at 430 (Blackmun, J., concurring). The t rhe District court's care in following connor v. Finch is the defect of its opinion, because, as Professor Mansfield has recently stated, *affirmative action works only when it is concealed and lied about. ... [T]he concealment and the lies are all the more necessary because everyone knows the truth.- Mansfield, The Underhondedness of AfJirmative Action, Nat'l Rev. 26(May 4, r984). r.. r .i ,t{ 1i ir t', : rl 1i rl r8 District Court's opinion broadcasts that a racial gerrymander has taken place. fnt-titttotal strength of both black and white voters around ttre state has Leen salrificed to make it easier for a few black voters i;;; a;.ond District to control an election. This Court has never before even hinted that a federal court may execute such a blatant gerrymander' - The Brooks Plain't'i-fFs;tg* that blacks in the Fourth District d;;;iiv u, di;;il;;ged even further in order to achieve an..increas" in Ufacl vo,-ii-g"r,r.rrgth i.n the Second District." J' il "iiZ. This Court has iecently rejected a similar statutory argument raised irr-ttrt context oi employment discrimination' where *petitionert ;;i;iil]t t" iustifv discrimination against respondents on th;;;'i' of iheir favo'able treatment of other members of respon'dJii';t"i"r group'- Connecticut v' Teal' 457 U.S. 440, 454 (198;i'-et tf ii .Court concluded' *The fact remains, how"'"r, it'* itt"tpective of the form taken by the discriminatory p'ut-G' an employer's treatment of other members of the prii"iiirr'gioup can-be'of little comfort to the victims of ... Aiscriminatioi'' T'o*'t'," v' United States' [431 u.s. 324J 342t!s;;;i';isi us' a1+ls' Assuming' for the sake of argument, that''iiJ'gtoots Plaintiffs are correct that black voters have been ;;;;J in Mississippi' their solution is to victimize the vast majority of them even further so as to aid a . small group in tt" Slllni Dist'itt' A- remedy which distributes its burdens and benefits so capriciousry is hardly "precisely tailored to serve a competting governmental interest"' Regents of the Universit| ;; ;'W'":1 u:-Yoo'' 438 u'S' 26s' lee (19?8) (Opinion oipo'nitt' J')' as is ordinarily required for race-conscious action' The Justice ptp"ti*""t' in a brief recently filed with the Fifth Circuit, t ur ,""oJiJ'Jii'"i u"ttt blacks "i1H::t are equallv entitled to proteciion from such government actlon: That the proposed consent order would disadvantage nonminoriti"iptoytts rather than a "discreet and insular #;;tri; Qnited-- srures v' carolene Product sc^ 3# iJ's' t ++' l-5! n'a( I 938) ) is witho'ut constitutio;;i;igtifi*nce' "[l]t is the individual who is entitled to judicial protection against classifications !t rl .{€*a<*^- l9 based upon his racial or ethnic background because such distinctions impinge on personal rights, rather than the individual only because of his membership in a particular group t*t." Regents of the University of Californio v. fukke, supra,438 U.S. at 299 (opinion of Powell, J.); see e.g., Yick Wo v. Hopkins,l l8 U.S. 356,369 (1886). Suggestion of Rehearing en Banc for the United States as Intervenor-Appellee at22-23, Williams v. City of New Orleans, 729 F.2d 1554 (5th Cir. 1984) (en banc). The Department went on to criticize the remedy in that case: First, and most important, ... the proposed consent decree would embrace nonvictims as well as victims of defendants' unlawful discrimination ... and would thus accord racially preferential treatment to persons having no *rightful place"claim... . [G]overnment has no compelling interest in according such preferential treatment to nondiscriminatees at the expense of innocent third parties ... . Id;,at 25. The remedy in this case is equally susceptible to this criticism. It affords'preferential treatment to nondiscriminatees [whites in all districts but the Second] at the expense of innocent third parties [blacks in those districts].'r The relief sought by the Brooks Plaintiffs would only exacerbate the constitutional infirmity already present in the District Court's remedy. The amendment to Section 2 does nothing to overcome this constitutional infirmity. Indeed, supporters of the compromise version were conscious of the traditional emphasis on individual rights, as expressed by this Court in Connecticut v. Teal, and sought assurances that the rights of individuals would not be lost in the rights of a class. The following interchange between Senator Gorton and Senator Dole is indicative: q This Court has agreed with the Department's position, on satutory grounds, holding only last week that a race<onscious remedy is appropriate *only when the bcneficiary of the award has actually been a victim of illegal discrimination-" Firefighters Local Union No. 1784 v. Stotrs, - U.S. -.No. 82-206, slip op. at l6 (June I 2, 1984). There is no indication in this record that the white beneficiaries of this award have ever been victims of illegal discrimination. 20 'til rri I ' MR. GORTON. Is Congress in any way trans- forming what in my mind ought to be an inAiviauat right into a "class right'? MR.. DOLE. Senator, you raise an important point. I think I can best respond in this way: The right to vote remains an individual right, but in some cases the denial of their right may be based on a class characteristic. 128 Cong. Rec. 57120 (daily ed. June 18, l9g2). Assuming that the right to vote is even implicated in redistricting decision-s, but cf . Smith v. Winter, TtT F.2d t9l, 196 n.3 (Sthtir. 1983), the right of white individuals in the second District and 6hck individuals everywhere else has been denied purely on the basis of *a class characteristic." This concern for individual rights and rejection of racial gerrymandering was most obvious in the debate over proportional representation, eventually resulting in the language codified in section 2(b). counsel for the Broo[s phintiffJ now says, *This entire subsection addresses only what constitutes a violation, and does not control the issue of a remedy." J. S. at 14. He thereby finds himself in the awkward position of agreeing with chairman Hatch, who had consistently taken that position throughout the debate. senate Report at 97 (additional views of Sen. Hatch). The awkwardness is compounded by his own testimony before the Subcommittee on the constitution: ..The specter raised by some witnesses at these hearings that this 'results'standard would lead to proportionar representation by race and racial quotas has no basis whatsoever." Senate Hearings at 1204 (testimony of Frank parker). ..This has not been empty rhetoric on the part of the Fifth Circuit, but has been implemented in actual practice. Indeed, in the context of court-ordered remedial plans designed to replace unconstitu- tional election systems, the court has held it impermissible to use proportional representation as a benchmark. Marshall v. :-r'-qr-=17n :2] fulwards,582 F.2d g27,g3g(5th Cir. I978)."r0 Senate Hearings at 1208 (testimony of Frank Parker).tt He apparently convinced the Democratic minority of the Subcommittee: "The minority joins the majority in rejecting proportional representation as eitheran appropriate standard for complying with the Act or as a proper method of remedying adjudicated violations." Subcomm. of the Constitution on the Constitution of the Senate Comm. on the Judiciary, Report on the Voting Rights Act, Comm. Print,9Tth Cong., 2d Sess. 83 (1982) (additional views of Sen. DeConcini and Sen. Leahy). Counsel now seems to think that proportional representation should' indeed be used as a benchmark, so long as the benchmark is not achieved. *Providing black voters with an opportunity to elect one out of five members of Congress (20 percent) does not constitute proportional representation in any Serse."J. S. at l3-14. In support of his new position, he cites a passage in the Senate Committee Report to the effect that a *court should exercise its traditional equitable powers to fashion the relief so that it completely remedies the prior dilution of minority voting strength." Senate Report at 31. Leaving aside the unreliability of the Senate Report as an accurate index of the intent of Congress and the President, see Republican J. S. at 20-22, it should be clear that the "traditiohal equitable powers,' of a court do not extend to racial gerrymandering. This Court has never approved such a remedy, much less made a tradition of it. ro The standard set forth in Morshall is in fact quite sound: "The boundaries should be drawn with an eye to compactness, contiguousness, and the prescrvation of natural, political and traditional boundaries; not racially balanced representation." 582 F.2d at 937. While counsel may now be able to distinguish this holding, the imporunt consideration for purposes of derermining Congressional intent is that he failed to do it before the Subcommittee. These, then, were the "traditional equitable powers,- Senate Report at 3l . Congress thought it was endorsing. ll Counscl took a different position in an earlier appearance beforc this Court: * [T]hc inability to elect a share of representatives substantially proportionate to their numbers is alleged to be a denial of the effective representarion to which they are entitled under the Constitution."' Brief for [awyers'Committee for Civil Rights under Law as Amicus Curiae at 10. City of Mobile, quoting Bonapfel, Minority Challenges to At-Large Elections: The Dilution Problem. l0 Ga. L. Rev. 353, 360 ( 1976). 'r', rji il i. ti ti ,l riii ,: jl 'ii lr li If congress had.intended to permit, much less mandate, suchan unconventional and potentially unconstitutional i...ay, itshould be expected to have r"iil;'in much crearer terms. As theJustice Department has said oiu'*..*onscious layoff order,such remedies shourd u" .onria.r"; il ;;;il.i,/lir",,,,fairry crear that congress i"i.ro-.i-r" authorize such rerief andthereby force the C6urt ,o .roiu"," Congress, power to actthrough the courts on a race "onr"ro* basis.,, Brief for theUnited States as Amicus Cr;;.1;;u!-port of petitioners at 25,Boston Fire/igfuers (Jnion, L.;"i Zl^s-,_u. Boston Chopr"r,NAAcp, _ u.s. -, rots:4,.. 2076 a;;;;.ir.cfrt"irry,nothing in the regisrative rlr,ory "r.-rrty inaicates it u,ionu."r,rntended "to act through trre "ourtr on a race conscious basis.,,courts certainry shourd'noi ;;;il;our ru"l .i.r, "rri".i,r.Indeed' the only.ra..*onr.iou, remeoies which courd extendto alleged victims riving outside ii" i"uor.a district are the sortsof remedies discussed-uy Juage -wiraoln in the context of acounty commission: Alternatively, all nine members could be electedat-large, but- each voter coulJ ie given the right tovote for only. five candidates,- ttrus **rrie -ii"i minority political interests t-"* u chance to electmembers io -the board. Orf,L, alternatives arecumulative voting and transferable prefer.nti"i r"rirg. Morengo County, slip op. at 3 l3 I n.24.These kinds of remedieshave a name: proportionur r"pi"r.niliion. These are exactly theremedies which congress and president Reagan intended todeny the courts. when ttre execuiivoJnd regisrative branches ofgovernment deny to the judiciar branch ttr"-onty."-.1, *nt"ncan futly redress a deniaiof th" r;;;;;;tive right defined by thecourts, it becomes clear that tt. "orrtr. rrur."a"i*i.ii. ,rrrfr, #;::t:"'' as the Republican-p.[naunt, r,"u. "onrir,.nrrv 12 This Court last *.1f :rTld. rhat the legislative history of the EqualEmployment opportunity Act of r972.so s,"a%2, was insufficient to supponan argument that consress had intended ,o uriio.,r. race-conscious remedies. ,::frx,|ii,ff"I*""'-'tip op' ". ia-rei.l;:ffi srip op. ", zz-zsiih";,,,'ir :|: 'a r : 23 Regardless of the definition of the right, there is at least one remedy which would not in and of itself violate the Constitution and the Voting Rights Act. That is the remedy prescribed by this Court in Connor v. Finch. This Court required District Courts to divide the jurisdiction into contiguous districts, as compact and equal in population as possible, and to explain their reasons wherever they departed from those principles. Where, as here, the District Court declares its intent to prefer one race over another, that remedy becomes clearly infirm. The proper remedy has recently been described by Judge Grady of the Northern District of lllinois: The relief I would grant would be a map drawn according to the traditional neutral. criteria, without regard to what I believe is the constitutionally impermissible consideration of race or ethnic character. Such a map would consist of compact and contiguous districts, drawn with due regard to the one-person-one-vote requirement as well as natural political boundaries. See, e.g., Connor v. Finch,43l U.S. at 425,97 S. Ct. at 1839; Marshall v. Edwards, 582 F.zd at 937.It would be a colorblind map. ... [W]hatever the bloc voting effect of a colorblind map might be, it would be unintended. That, in my view, is the only way the Constitution permits. There is no way to draw racially conscious lines that will be 'neutral." Rybickiv. State M. of Elections,574F. Supp. 1082, I 14l (N.D. IIl. 1982) (Grady, J., concurring in part and dissenting in part).r3 The District Court erred by failing to adhere to this standard, and the Brooks Plaintiffs are entitled to no further reiief. 13 Judge Grady's opinion was not changed by the amendment ro Section 2. Rybicki v. State M. of Eleuiow,574 F. Supp. I I47, I t60 n.t (N.D. Iil. 1983) (Grady, J., dissenting in part and concurring in part). l'f a )L ''. :i! \, '; . CONCLUSION The District court improperly found a violation of Section 2, and awarded rclief which violates both thc constitution and the voting Rights Act conscquently, thc Brooks plaintiffs arE not cntitled to the additional relief they scek on this appeal. Their Jurisdictional statemcnt, thns, prcscnts no subsuntiaj qucstions rgnhy of oral argumcnt on appcal. The Judgmcnt of tirc court bclow should not bc affirmed, however, uecausc it is undcr atack in No. 83-172L Probable jurisdiction should be noted of thatappqf and.the Judgmcnt should be rerrcrscd. Rcspcctfu[y submitted, +Michacl B. Wallacc JONES, MOCKBEE & BASS 1080 Flynt Drivc, Suite E F. o. Box 55507 Jackson, Mississippi 39216 Tcl. (Ol)939-3895 Attorncys for Mississippi Republican Executive Csmyn i 11ge, Appcllccs ) Cowrselof Record .{.t . .J. :