Brown v. State Officers Electoral Board

2026 IL App (1st) 260169-U
CourtAppellate Court of Illinois
DecidedFebruary 24, 2026
Docket1-26-0169
StatusUnpublished
Cited by1 cases

This text of 2026 IL App (1st) 260169-U (Brown v. State Officers Electoral Board) is published on Counsel Stack Legal Research, covering Appellate Court of Illinois primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Brown v. State Officers Electoral Board, 2026 IL App (1st) 260169-U (Ill. Ct. App. 2026).

Opinion

2026 IL App (1st) 260169-U

SECOND DIVISION February 24, 2026

No. 1-26-0169

NOTICE: This order was filed under Supreme Court Rule 23 and is not precedent except in the limited circumstances allowed under Rule 23(e)(1). ______________________________________________________________________________

IN THE APPELLATE COURT OF ILLINOIS FIRST JUDICIAL DISTRICT ______________________________________________________________________________

TEDORA BROWN, ) Appeal from the ) Circuit Court Petitioner-Appellant, ) Cook County. ) v. ) ) No. 26COEL3 STATE OFFICERS ELECTORAL BOARD, LAURA K. ) DONAHUE, Chair, RICK S. TERVEN, SR., Vice Chair, ) JENNIFER M. BALLARD, Member, CRISTINA D. CRAY, ) Member, TONYA L. GENOVESE, Member, CATHERINE S. ) MCCORY, Member, JACK VRETT, Member, CASANDRA ) B. WATSON, Member, and BLANCA SOUDERS, Objector, ) Honorable ) Anna M. Loftus, Respondents-Appellees. ) Judge Presiding. ______________________________________________________________________________

JUSTICE McBRIDE delivered the judgment of the court. Presiding Justice Van Tine and Justice Ellis concurred in the judgment.

ORDER

¶1 Held: The Board erred when it invalidated Brown’s nomination papers on a ground never raised in Souders’s petition.

¶2 Petitioner Tedora Brown appeals the circuit court’s order denying her petition seeking

judicial review of the decision of the State Officers Electoral Board (the Board) sustaining the No. 1-26-0169

objections of Blanca Souders and holding that Brown’s name shall not be certified for the March

17, 2026, general primary election ballot. Brown argues that the Board exceeded its authority

when it sustained Souders’s petition on grounds not raised in the petition.

¶3 Due to time constraints on election matters, we issued an order on February 13, 2026,

directing the Board to place Brown on the March 17, 2026, general primary election ballot. This

is our decision following that order.

¶4 On November 3, 2025, Brown filed her nomination papers as a candidate of the

Republican Party for the nomination to the office of Representative in the United States

Congress for the 11th Congressional District in the State of Illinois for the March 17, 2026,

general primary election. Her nomination papers included 151 petition sheets containing 1,018

nominating signatures.

¶5 Souders filed a petition objecting to individual signatures on Brown’s nominating papers

for a variety of reasons, including: (1) signature not genuine; (2) signer not registered at address

shown; (3) signer resides outside district; and (4) signer not a member of and affiliated with the

Republican Party. Following Souders’s petition, a records examination of Brown’s nomination

papers was conducted and a detailed report was generated by the Board. The report showed that

Souders challenged 337 signature lines and the examination overruled the objections for 106

lines and sustained the objections for 231 lines. Brown was required to submit 799 valid

signatures for her nomination and after the review, Brown was 12 signatures short of the required

number.

¶6 Following the records examination, each side is allowed to challenge the Board

examiner’s findings and request a hearing before the hearing officer. This motion is known as a

“Rule 9 motion,” pursuant to Rule 9 in the Board’s rules of procedure. State Board of Elections

2 No. 1-26-0169

Rule 9(g)(1) (adopted Nov. 18, 2025). Brown filed her Rule 9 motion on November 26, 2025,

seeking to present evidence to rehabilitate and overturn the “sustained” results for multiple

signature lines from her nominating papers. Brown attached evidence, including certifications of

voter information for several of the contested signature lines. Relevant here, Brown has

narrowed her claim on appeal to three rejected signature lines from her nominating papers: Sheet

29, Line 5; Sheet 98, Line 2; and Sheet 98, Line 3. Souders challenged each of these three lines

as “Signer is not registered to vote at the address shown.”

¶7 For Sheet 29, Line 5, the signer provided a signature, left the optional section for a

printed name blank, and listed an Aurora street address. Brown submitted a voter information

certification from the DuPage County clerk that Adam J. Faber was registered at the address

listed on the nominating sheet across from a signature. For Sheet 98, Line 2, the signer listed an

address on “Bangor Ln” in the address box. The optional section for a printed name showed an

address on “Bar Harbour Rd” that had two lines drawn through with the signer’s name printed

above the struck address. The signer on Sheet 98, Line 3 listed the same address on “Bangor Ln,”

as indicated in the preceding Line 2. Brown submitted voter information certifications from the

DuPage County clerk for Sheet 98, Lines 2 and 3 showing both signers were registered to vote at

an address on Bar Harbour Road.

¶8 Souders filed a response, arguing, in part, that Brown’s evidence was “facially

insufficient and unsupported.” Regarding Sheet 29, Line 5, Souders asserted that Brown failed to

make a prima facie showing that the signer was registered at the address shown, stating “simply

including a certification that someone is registered to vote at an address is not sufficient to show

that the signer is registered at the address.” (Emphasis in original.) Souders’s response for both

of the remaining lines, Sheet 98, Lines 2 and 3, was that the signers’ address was listed on

3 No. 1-26-0169

“Bangor Ln”, but the voter certification indicated an address on “Bar Harbour Rd.” Souders

maintained that Brown had failed to make a prima facie showing on these lines.

¶9 Following a hearing, the hearing officer issued its findings and recommendation to the

Board on December 17, 2025. The officer concluded, in relevant part, that Brown failed to meet

her burden regarding the three contested lines. For Sheet 29, Line 5, the officer observed that

Brown testified she did not circulate Sheet 29 and could not confirm the signature on Line 5 was

Adam J. Faber, the name on the provided voter information certification. The hearing officer

sustained an objection from Souders to Brown’s testimony about a conversation with the

circulator of Sheet 29 about the identity of the signer as improper hearsay. The hearing officer

found Brown “did not meet her burden and establish through admissible evidence that the signer

on Sheet 29, Line 5 resides at the address indicated on” the voter certification.

¶ 10 The hearing officer observed that Sheet 98, Line 2 reflected an address on “Bangor Ln”

but also referenced an address on “Bar Harbour” that was “crossed out.” The voter information

certification listed the address on “Bar Harbour Rd.” The officer stated that Brown “did not

circulate Sheet 98 and there was no testimony or evidence as to why the ‘***Bar Harbour’

address was crossed out and favor [sic] of the clearly written ‘*** Bangor Ln’ address.” The

officer found that Brown failed to meet her burden in overturning the Board’s ruling that the

signer resided at the address shown on Line 2. The hearing officer made similar findings for

Sheet 98, Line 3, noting the voter information certification listed an address on “Bar Harbour

Rd,” but the address listed on Line 3 was on “Bangor Ln.” Unlike in Line 2, there was no address

crossed out. The officer found that Brown failed to meet her burden to establish the signer

resided at the address on the voter certification.

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Related

Brown v. State Officers Electoral Board
2026 IL App (1st) 260169 (Appellate Court of Illinois, 2026)

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