Patino v. City of Pasadena

230 F. Supp. 3d 667, 2017 WL 68467, 2017 U.S. Dist. LEXIS 2529
CourtDistrict Court, S.D. Texas
DecidedJanuary 6, 2017
DocketCIVIL ACTION NO. H-14-3241
StatusPublished
Cited by9 cases

This text of 230 F. Supp. 3d 667 (Patino v. City of Pasadena) is published on Counsel Stack Legal Research, covering District Court, S.D. Texas primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Patino v. City of Pasadena, 230 F. Supp. 3d 667, 2017 WL 68467, 2017 U.S. Dist. LEXIS 2529 (S.D. Tex. 2017).

Opinion

MEMORANDUM AND OPINION SETTING OUT FINDINGS OF FACT AND CONCLUSIONS OF LAW

Lee H. Rosenthal, Chief United States District Judge

TABLE OF CONTENTS

Introduction... 673

I. The Law Governing the Court’s Inquiry, Findings, and Conclusions... 674

A. Section 2 of the Voting Rights Act and the Fifteenth Amendment.. .675

B. The Fourteenth Amendment.. .676

II. Findings of Fact... 677

A. Procedural Background... 677

B. The Record Evidence... 678

1. Fact Witnesses... 678
2. Expert Witnesses... 680

[672]*672C. Pasadena’s Election Maps and Plans...681

D. Pasadena’s History... 682
1. Texas Laws Affecting Pasadena. . .682
2. Racially Discriminatory Ordinances and Official Activities in Pasadena ...684
3. Recent Private Racial Discrimination in Pasadena.. .685
E. Pasadena’s Demographics... 686
1. The Latino Population in Pasadena. . .686
2. Latino Citizen Voting-Age Population in Pasadena...687
3. The Eight Single-Member District Plan...690
4. The Six Single-Member District and Two At-Large Plan... 690
5. Racial Cohesion in Pasadena City Council Elections... 691
a. The 2015 AL-Large Race for Place G...691
b. The 2015 At-Large Race for Place H.. .692
c. The November 2013 Special Election on Proposition 1... 692
d. The 2015 District-Level Elections ...692
e. Exogenous Elections... 693
(1). Countywide Elections... 693
(2). Primary Elections... 694
f. Findings on Racially Cohesive Voting in Pasadena Elections... 694
6. Socioeconomic Conditions and the Effects on Pasadena Voting.. .695
a. Income, Education, and Employment. . .695
b. Living Conditions... 695
c. The Effects on Voting.. .696
d. Findings on the Effect of Socioeconomic Conditions on Latino Voting. . .696

F. The Circumstances Surrounding the Change to Pasadena’s City Council Election Map and Plan... 696

1. Recent § 5 Preclearance Objections to Converting to AlALarge Voting in Other Texas Municipalities... 697
2. The Shelby County Decision... 698
3. The Shift from a Special Election to Approve' a Council Bond Proposal to Amending the City Charter... 698
4. Council Consideration of the Charter Amendment.. .700
5. The Campaign to Enact the Charter Amendment to Change to a Six Single-Member, Two At-Large District Map and Plan for City Council Elections ...701
a. Improper Use of City Resources to Mobilize Anglo Voters in South Pasadena.. .701
b. The Use of Race and Party as Proxies for Each Other... 703
c. The Result.. .704
6. Council Approval of the 6-2 Map and Plan.. .704
G. The Impact of Pasadena’s New Election Map and Plan.. .706
1. The Previous 8-0 Map and Plan...706
2. The 2015 Election under the Current 6-2 Map and Plan... 707
H. Summary on Findings of Fact.. .708

III. Conclusions of Law on § 2 of the Voting Rights Act.. .709

A. Cingles Step One... 709

I. The First Two Conditions: The Minority . is Sufficiently Numerous and Geographically Compact.. .709
2. The Third Condition: The Majority Votes as Bloc Sufficiently to Defeat the Minority’s Preferences... 709

B. Gingles Step Two... 713

[673]*6731. History of Discrimination... 713
2. Racially Polarized Voting and Dilu-tive Measures.. .714
3. Racial Appeals in Political Campaigns ...714
4. Successful Elections of Minority Candidates... 715
5 Officials’ Responsiveness to Minority Concerns... 715
6. Tenuousness of the Policy.. .717
7. Proportionality.. .717
8. Conclusion of Law on the Totality of the Circumstances... 718

C. Findings and Conclusions on Intentional Discrimination... 718

1. Guidance from the Fifth Circuit: Veasey v. Abbott.. .719
2.. The Arlington HeightsY&t-tors...721
a. The Historical Background of the Decision.. .721
b. The Sequence of Events Leading Up to the Decision; Legislative History. . .721
c. Departures, Both from the Normal Procedural Sequence and Substantive; Legislative History and Preenactment Statements by Proponents. . .723
d. Meeting the Burdens: The Plaintiffs’ Showing that Racial Discrimination was a Substantial Factor in Enacting the New Electoral Map and the Defendants’ Failure to Demonstrate that the Law Would Have Been Enacted Without this Factor.. .724
3. Conclusion: The City Intended to Dilute Latino Voting Strength... 728

IV. Remedy... 728

V. Conclusion and Order.. .730

Appendix A: Demonstrative Maps... 731

Appendix B: Time Line... 732

Introduction

This suit is one of many filed over the years to protect minority voting rights by ensuring “equal opportunity to participate in the political process.” Thornburg v. Gingles, 478 U.S. 30, 44, 106 S.Ct. 2752, 92 L.Ed.2d 25 (1986) (internal quotation and citation omitted). This suit is one of the first involving redistricting done shortly after, and because, the Supreme Court decided Shelby County, Alabama v. Holder, — U.S. -, 133 S.Ct. 2612, 2631, 186 L.Ed.2d 651 (2013), which removed the federal Department of Justice preclearance requirement under § 5 of the Voting Rights Act. The plaintiffs are Latinos in Pasadena, Texas who are citizens of voting age.

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Bluebook (online)
230 F. Supp. 3d 667, 2017 WL 68467, 2017 U.S. Dist. LEXIS 2529, Counsel Stack Legal Research, https://law.counselstack.com/opinion/patino-v-city-of-pasadena-txsd-2017.