- Utah v. Evans
SCOTUSCase
Litigants=Utah v. Evans
ArgueDate=March 27
ArgueYear=2002
DecideDate=June 20
DecideYear=2002
FullName=Utah, et al. v. Evans, Secretary of Commerce, et al.
USVol=536
USPage=452
Citation=122 S. Ct. 2191; 153 L. Ed. 2d 453; 2002 U.S. LEXIS 4645; 70 U.S.L.W. 4628; 2002 Cal. Daily Op. Service 5474; 2002 Daily Journal DAR 6881; 15 Fla. L. Weekly Fed. S 420
Prior=Utah sought an injunction compelling respondents to change the official census results. North Carolina intervened. The District Court for the District of Utah found for the Census Bureau
Holding=Utah had standing to sue for a revision of the census results. The Bureau's use of hot-deck imputation did not violate 13 USC sec. 195. The Bureau's use of hot-deck imputation did not violate the census clause of the Constitution.
SCOTUS=1994-2005
Majority=Breyer
JoinMajority=Rehnquist, Stevens, Souter, Ginsburg, O'Connor (Parts I and II)
Concurrence/Dissent=O'Connor
Concurrence/Dissent2=Thomas
JoinConcurrence/Dissent2=Kennedy
Dissent=Scalia
LawsApplied=UnitedStatesCode|13|195, U.S. Const., Art. I, section 2, clause 3"Utah v. Evans", 536 U.S. 452 (
2002 ), was a United States Supreme Court case regarding the use of certain statistical techniques in the census.In instances where the Census Bureau remained unsure of the number of residents at an address after a field visit, the Bureau inferred its population characteristics from its nearest similar neighbor, a practice called "hot-deck imputation." In the
2000 census, hot-deck imputation resulted in Utah receiving one less Representative in Congress than it would have without the practice.Utah sought aninjunction requiring the Bureau to revise the census results without the use of imputation.North Carolina , which stood to lose a Representative under such an injunction, intervened in the case, disputing Utah's standing to sue. The Utah federal district court refused to grant the injunction.Utah argued that, although the census statute allowed the Bureau to use sampling to address under-counting, hot-deck imputation did not fit the statute's concept of sampling. It further argued that imputation did not satisfy the
United States Constitution 's requirement of an "actual enumeration" for the purpose of apportioning Representatives. The Supreme Court rejected Utah's arguments and affirmed the district court's opinion.ee also
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List of United States Supreme Court cases, volume 536
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