1
IN THE UNITED STATES DISTRICT COURT
FOR THE SOUTHERN DISTRICT OF MISSISSIPPI
JACKSON DIVISION
True the Vote, Jane Coln, Brandie Correro,
Chad Higdon, Jennifer Higdon, Gene
Hopkins, Frederick Lee Jenkins, Mary
Jenkins, Tavish Kelly, Donna Knezevich,
Joseph Knezevich, Doris Lee, Lauren Lynch,
Norma Mackey, Roy Nicholson, Mark
Patrick, Julie Patrick, Paul Patrick, David
Philley, Grant Sowell, Sybil Tribble, Laura
VanOverschelde, and Elaine Vechorik
Plaintiffs,
v.
The Honorable Delbert Hosemann, in his
official capacity as Secretary of State for the
State of Mississippi, The Republican Party of
Mississippi, Copiah County, Mississippi
Election Commission, Hinds County,
Mississippi Election Commission, Jefferson
Davis County, Mississippi Election
Commission, Lauderdale County,
Mississippi Election Commission, Leake
County, Mississippi Election Commission,
Madison County, Mississippi Election
Commission, Rankin County, Mississippi
Election Commission, Simpson County,
Mississippi Election Commission, and Yazoo
County, Mississippi Election Commission
Defendants.
Cause No. 3:14-cv-00532-HTW-LRA
BILL OF PARTICULARS
Come now Plaintiffs True the Vote, et. al. and in accordance with the Courts
instruction given July 16, 2014 at the initial status conference hearing, file this Bill of
Particulars as follows:
Case 3:14-cv-00532-NFA   Document 25   Filed 07/17/14   Page 1 of 11
2
(1)   Plaintiffs have provided verified testimony indicating that absentee ballot
applications have been thrown away at the direction of Executive Committee Members
of the Republican Party of Mississippi
1
;
(2)   Plaintiffs   have   provided  verified  testimony  that   original   poll   books
information is being destroyed with sharpie and white out pen
2
;
(3)   Plaintiffs have verified the facts recited in their Motion for Temporary
Restraining Order;
(4)   In addition to the forgoing, True the Vote volunteers and the Mississippi
voters listed below
3
made requests
4
for un-redacted voter poll books and voting records
5
,
and were denied, from the following counties on the following dates:
Name   Date   County   Description of Request
Gregg Prentice   July 7, 2014   Copiah   Visited Circuit Clerks office in the
afternoon and orally requested access
to   absentee   ballot   applications,
envelopes,   voting   poll   books   and
voting records. Was told Mississippi
law  prohibited   the   general   public
from accessing any voter records.
1
See Doc. 9-1 (verification to Motion for Temporary Restraining Order by Phillip C. Harding, III,
indicating that provisional ballots had not been counted and that absentee applications and envelopes were
thrown away).
2
See Doc. 20-3(Witness statement stating that Rankin County original poll books were altered with
white-out pen); see also Doc. 20-4 (declaration that Harrison County original poll books were altered with
sharpie and white-out pen).
3
This list is non-inclusive. Additional documented requests were made in Scott County, Winston County,
Neshoha County, Jefferson County, Adams County, Noxubee County, Humphreys County, Issaquera
County, Holmes County, Newton County and Kemper County.
4
True the Vote provided written notice to the Cochran Campaign (See Letter dated July 6, 2014 by Ms.
Engelbrecht, attached hereto as Exhibit 1), the McDaniel Campaign (See Letter dated July 6, 2014 by Ms.
Engelbrecht, attached hereto as Exhibit 3), Mississippi Democratic Party (See Letter dated July 6, 2014 by
Ms. Engelbrecht, attached hereto as Exhibit 2), and the Mississippi Republican Party (See Letter dated
July 6, 2014 by Ms. Engelbrecht, attached hereto as Exhibit 4) that True the Vote would be auditing
election documents utilized in the June 24th Republican Senate Primary Runoff Election.
5
The Secretary of State appears to have taken the position the general public may not access voter records
and that even if granted access, birth dates should be redacted pursuant to Mississippi law  thus
indicating the heart of the matter  application of Mississippi state statute is in violation of federal law.
Case 3:14-cv-00532-NFA   Document 25   Filed 07/17/14   Page 2 of 11
3
Jeanne Webb   July 7, 2014   Copiah   Written request to review poll books
and absentee applications made. Was
told that  the documents  were not
available for review, and that the poll
books would need to be redacted.
6
Melinda Kinley   July 7, 2014   Hinds   Made a written request
7
for voter poll
books and other records with Ms.
Wall   to   Election   Commissioner
Cochran and Hinds County Circuit
Clerks Office and was denied access
to the run-off poll books.
Melinda Kinley   July 8, 2014   Hinds   Made a written request for voter poll
books and other records with Ms.
Wall from the Hinds County Circuit
Clerks Office and was denied access
to poll books.
Ruth Wall   July 7, 2014   Hinds   Made a written request for voter poll
books and other records to Election
Commissioner Cochran and Hinds
County Circuit Clerks Office and
was denied access to the run-off poll
books.
Ruth Wall   July 8, 2014   Hinds   Made a written request for voter poll
books and other records from Hinds
County Circuit  Clerks Office and
was denied access to poll books.
Jan Loar   July 7, 2014   Hinds   Made   an   oral   request   for   voter
records in Hinds County to Election
Commissioner Cochran as part of a
True   the   Vote   volunteer   group.
Commissioner Cochran advised the
volunteer   group   that   the   County
would not make records available for
copying or  inspection.   Later,  the
group made a handwritten request for
voter   records   and   submitted   the
request the Hinds County Circuit.
6
See Incident Report by Ms. Webb, dated July 7, 2014 (pertaining to Copiah County), attached hereto
as Exhibit 5.
7
See written request by Melinda Kinley, filed with Circuit Clerk July 7, 2014, attached hereto as Exhibit
6.
Case 3:14-cv-00532-NFA   Document 25   Filed 07/17/14   Page 3 of 11
4
Julia Hoenig   July 7, 2014   Jefferson
Davis
  Orally requested records  from the
Circuit Clerks office. A deputy clerk
named   Michelle   Williams   advised
that   no   electronic   poll   books,
absentee   ballot   applications   or
envelopes would be provided to the
general public.   At a later visit, the
volunteer   group   was   advised   any
records   made   available   would   be
subject  to redacting dates of  birth
from such records.
Mike Rowley   July 7, 2014   Jefferson
Davis
  Went to the Circuit Clerks office in
person with a group of volunteers
requesting voter  poll  books.   The
Circuit Clerk advised the group that
no records would be made publically
available for inspection and later told
the   group   that   records   may   be
produced, provided voter birth dates
were redacted from such records.
8
Karen Hobson   July 7, 2014   Lauderdale   Requested   voter   polls   books   and
other  records in writing and gave
such request to the Circuit Clerk. The
Clerk office advised that confidential
information may need to be redacted
from   the   records   prior   to   their
production.
9
John Hobson   July 7, 2014   Lauderdale   Requested   voter   polls   books   and
other  records in writing and gave
such request to the Circuit Clerk. The
Clerk office advised that confidential
information may need to be redacted
from   the   records   prior   to   their
production.
8
See Declaration of Mike Rowley, attached hereto at Exhibit 7.
9
See Incident Report by John and Karen Hobson, dated July 7, 2014 (pertaining to Lauderdale County
request) attached hereto as Exhibit 8.
Case 3:14-cv-00532-NFA   Document 25   Filed 07/17/14   Page 4 of 11
5
Ellen Swenson   July 7, 2014   Leake   Written request for voter rolls, poll
books,  absentee ballot  applications,
absentee ballot  request  forms,  and
absentee   ballot   envelopes.   Was
informed that AG instructed Clerk to
make the poll books available, but
only   with   the   birthdates   redacted
therefrom at Ms. Swenson and Ms.
Morses cost.
10
Susan Morse   July 7, 2014   Leake   Written request for voter rolls, poll
books,  absentee ballot  applications,
absentee ballot  request  forms,  and
absentee   ballot   envelopes.   Was
informed that AG instructed Clerk to
make the poll books available, but
only   with   the   birthdates   redacted
therefrom at Ms. Swenson and Ms.
Morses cost.
11
Denied access to
other records.
12
Steve
Crampton
  June 26, 2014   Lee   Orally asked to view poll books from
Joyce Loftin in Lee County and was
denied   based   on   confidentiality
concerns.   Records   were   later
produced   but   with   birth   dates
redacted.
Sandi
Steinbacher
  July 7, 2014   Madison
13
Went to the Circuit Clerks office in
Madison County and requested access
to voter rolls for copies or inspection.
Circuit Clerks office informed the
records would not be made available
pursuant to Mississippi law unless the
group agreed to pay to redacted voter
birth dates.
10
See Incident Report by Ms. Swenson, dated July 7, 2014 (pertaining to Leake County request)
attached hereto as Exhibit 9.
11
See Incident Report by Ms. Morse, dated July 7, 2014 (pertaining to Leake County request) attached
hereto as Exhibit 10.
12
See Incident Report by Ms. Morse, dated July 8, 2014 (pertaining to Leake County request) attached
hereto as Exhibit 11.
13
See Letter from Madison County Circuit Clerk, dated July 8, 2014, attached hereto as Exhibit 12
(indicating that poll books must have birth dates redacted).
Case 3:14-cv-00532-NFA   Document 25   Filed 07/17/14   Page 5 of 11
6
Mary   Kathryn
Armstrong
  July 7, 2014   Madison   Went  to the Circuit  Clerks office
with   a   group   of   True   the   Vote
volunteers.   Made an oral request to
Circuit Clerks office for voter rolls.
Circuit Clerks office informed the
records would not be made available
to the general public for inspection
pursuant to Mississippi law per Ms.
Westbrooks instruction. The Clerks
Office advised that even if records
would be made available, the records
would have to be redacted of voter
birth dates at a cost of $.25 per page.
Jeanne Webb   July 7, 2014   Rankin   Visited   Rankin   County   Circuit
Clerks office in person with Julia
Hoenig   to   request   access   to   poll
books   from  Circuit   Clerk   Boyd.
Completed written request for records
at  Clerk Boyds  direction.   Clerk
Boyd informed the volunteers that
they would be granted access only to
redacted records at a cost to them of
$.50/page   or   $20/hour.   Redacted
information included dates of birth.
Gregg Prentice   July 8, 2014   Rankin   Visited   Rankin   County   Circuit
Clerks office with a group of True
the Vote volunteers  and requested
voter poll books and other records
including absentee ballot applications
and  envelopes   from  Circuit   Clerk
Boyd,   who   advised   that   records
would  only  be   made   available   if
redacted and she proceeded to redact
voter birth dates on the first page of
the original voter roll records.
Roy Nicholson   June 27, 2014   Rankin   Orally requested access to voter poll
books   from  Circuit   Clerk   Boyd.
Informed the clerks office could not
and would not make records available
to the general public.
14
14
See Declaration of Roy Nicholson, dated July 16, 2014, attached hereto as Exhibit 13.
Case 3:14-cv-00532-NFA   Document 25   Filed 07/17/14   Page 6 of 11
7
Mike Rowley   July 7, 2014   Rankin   Went to the Circuit Clerks office in
person with a group of volunteers
requesting poll books and absentee
applications,   among   other   records.
The group made an oral request for
records to Circuit Clerk Boyd who
initially advised them that no records
would be made publically available.
Circuit Clerk Boyd later advised that
the records could be made available
but only after redacting voter birth
dates.   She informed the group it
would have to pay for the cost of such
redaction.
Julia Hoenig   July 7, 2014   Rankin   Visited   Rankin   County   Circuit
Clerks office in person with a group
of True the Vote volunteers to request
access to poll  books from Circuit
Clerk   Boyd.   The   Circuit   Clerk
informed the volunteers they were not
entitled, as members of the general
public,   to   inspect   absentee   ballot
applications  or  voter  poll  books.
15
The   Clerk   relied   on   Mississippi
Statute   23-15-911   and   instructions
from   the   Secretary   of   State   as
grounds for the decision. After being
instructed to fill out a request for the
records,   the   group   completed   a
written request for records, asking to
review   electronic   poll   books.
Concerning   the   voter   poll   books,
Clerk Boyd informed the volunteers
that  they would be granted access
only to redacted records at $.50/page
or $20/hour.   Redacted information
included dates of birth.
15
See Incident Report by Julia Hoenig, dated July 7, 2014 (concerning Rankin County), attached hereto
as Exhibit 14.
Case 3:14-cv-00532-NFA   Document 25   Filed 07/17/14   Page 7 of 11
8
Michael
(Mike)
Rowley
July 7, 2014   Simpson   Went to the Circuit Clerks office in
person with a group of volunteers and
made written request for voter poll
books.
16
The Circuit Clerk advised
the group that no records would be
made   publically   available   for
inspection and later told the group
that   records   may   be   produced,
provided   voter   birth   dates   were
redacted from such records.   The
group was further advised that the
poll books were located at the board
of   elections   rather   than   clerks
office.
Gregg Prentice   July 8, 2014   Simpson   Visited  Circuit   Clerks   office   and
orally requested access to absentee
ballot   applications   and   envelopes
along with voter poll books.   Was
denied any access to absentee voter
materials,   based  on  circuit   clerks
interpretation   of   Mississippi   law
prohibiting and general public access
to such records.
Julia Hoenig   July 7, 2014   Simpson   Requested (written)
17
records  from
the Circuit Clerks office.   A deputy
clerk named LuAnn Bailey offered
the following day that  the County
could make voter poll books available
only with redactions.
Roberta Swank   July 7, 2014   Yazoo   Requested to review absentee ballots
and poll books from primary and run
off.  Was informed they must pay for
a county employee to redact the poll
book at $1 page for 700 pages.  Then
informed they could not review other
records because they did not  have
sufficient   credentials   and   were
locked out.
18
16
See Incident Report by Julia Hoenig, dated July 8, 2014 (with written records request signed by Mr.
Rowley), attached hereto as Exhibit 15.
17
See Exhibit 15.
18
See Incident Report by Roberta Swank and Erin Anderson, dated July 7, 2014 (concerning Yazoo
County), attached hereto as Exhibit 16.
Case 3:14-cv-00532-NFA   Document 25   Filed 07/17/14   Page 8 of 11
9
A number of these volunteers, who also requested to review absentee ballot
applications and the ballot envelopes, saw a number of disturbing things, including ballot
envelopes that were marked as accepted (indicating they were counted) but never
opened
19
, absentee ballot ID numbers that didnt match the voters ID number in poll
book
20
, and double voting
21
.  All occurrences are indicia of fraudulent voting activity to
which the Republican Party has not properly responded as it pushed certification
forward
22
, in violation of Plaintiffs constitutional rights.
19
See Incident Report by Ruth Weiss and Debra Jackson dated July 8, 2014, attached hereto as Exhibit
17.
20
See Incident Report by Ruth Weiss and Debra Jackson dated July 8, 2014, attached hereto as Exhibit
18.
21
See Incident Report by Susan Moore dated July 9, 2014 (citing double voting in Noxubee County,
Mississippi by Faye Ward), attached hereto as Exhibit 19; see also Incident Report by Susan Moore,
dated July 9, 2014 (citing double voting in Noxubee County, Mississippi by Degardiques Mattox),
attached hereto as Exhibit 20.
22
See Doc. 20-2 (Declaration of Kim Lunde with memorandum indicating certification of election results
were required without properly allowing executive committee members to canvass the vote).
Case 3:14-cv-00532-NFA   Document 25   Filed 07/17/14   Page 9 of 11
10
Respectfully submitted,
/s/   L. Eades Hogue
Joseph M. Nixon  pro hac vice
Texas State Bar No. 15244800
[email protected]Kristen W. McDanald  pro hac vice
Texas State Bar No. 24066280
[email protected]Kelly H. Leonard  pro hac vice
Texas State Bar No. 24078703
[email protected]BEIRNE, MAYNARD &PARSONS, LLP
1300 Post Oak Blvd, Suite 2500
Houston, Texas 77056
(713) 623-0887   Tel.
(713) 960-1527   Fax
L. Eades Hogue
Mississippi State Bar No. 2498
Louisiana State Bar No. 1960
[email protected]BEIRNE, MAYNARD &PARSONS, LLP
Pan-American Life Center
601 Poydras Street
Suite 2200
New Orleans, LA 70130
(504) 586-1241 Tel.
(504) 584-9142 Fax
Lead Counsel
James E. Trey Trainor, III.  pro hac vice
Texas State Bar No. 24042052
[email protected]BEIRNE, MAYNARD &PARSONS, LLP
401 W. 15th Street, Suite 845
Austin, TX 78701
(512) 623-6700   Tel.
(512) 623-6701   Fax
Counsel for Plaintiffs
Case 3:14-cv-00532-NFA   Document 25   Filed 07/17/14   Page 10 of 11
11
CERTIFICATE OF SERVICE
I hereby certify that on July 17, 2014 a copy of the foregoing instrument and
accompanying exhibits were served on The Republican Party of Mississippi; the Copiah
County,  Mississippi  Election Commission;  the Hinds County,  Mississippi  Election
Commission;   the   Jefferson  Davis   County,   Mississippi   Election  Commission;   the
Lauderdale County, Mississippi Election Commission, the Leake County, Mississippi
Election Commission, and the Madison County, Mississippi Election Commission; via
the Courts e-file service. Plaintiffs have served the remaining Defendants, who have not
yet registered to the Courts ECF system for this matter, via United States Postal Service,
in accordance with Federal Rules of Civil Procedure.
/s/   L. Eades Hogue
2013299v.1 IMANAGE 107308
Case 3:14-cv-00532-NFA   Document 25   Filed 07/17/14   Page 11 of 11
IN THE UNITED STATES DISTRICT COURT
FOR THE SOUTHERN DISTRICT OF MISSISSIPPI
JACKSON DIVISION
True the Vote, Jane Coln, Brandie Correro,
Chad Higdon, Jennifer Higdon, Gene
Hopkins, Frederick Lee Jenkins, Mary
Jenkins, Tavish Kelly, Donna Knezevich,
Joseph Knezevich, Doris Lee, Lauren Lynch,
Norma Mackey, Roy Nicholson, Mark
Patrick, Julie Patrick, Paul Patrick, David
Philley, Grant Sowell, Sybil Tribble, Laura
VanOverschelde, and Elaine Vechorik
Plaintiffs,
v.
The Honorable Delbert Hosemann, in his
official capacity as Secretary of State for the
State of Mississippi, The Republican Party of
Mississippi, Copiah County, Mississippi
Election Commission, Hinds County,
Mississippi Election Commission, Jefferson
Davis County, Mississippi Election
Commission, Lauderdale County,
Mississippi Election Commission, Leake
County, Mississippi Election Commission,
Madison County, Mississippi Election
Commission, Rankin County, Mississippi
Election Commission, Simpson County,
Mississippi Election Commission, and Yazoo
County, Mississippi Election Commission
Defendants.
Cause No. 3:14-cv-00532-HTW-LRA
APPENDIX  VOLUME 1 TO BILL OF PARTICULARS
EXHIBIT 1-10
EXHIBIT   DESCRIPTION
1   Letter dated July 6, 2014 by Ms. Engelbrecht to Cochran Campaign
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 1 of 34
2
  Letter dated July 6, 2014 by Ms. Engelbrecht to Mississippi Democratic
Campaign
3   Letter dated July 6, 2014 by Ms. Engelbrecht to McDaniel Campaign
4   Letter dated July 6, 2014 by Ms. Engelbrecht to Mississippi Republican Party
5
  Incident Report by Ms. Webb, dated July 7, 2014 (pertaining to Copiah
County)
6   Written request by Melinda Kinley, filed with Circuit Clerk July 7, 2014
7   Declaration of Mike Rowley
8
  Incident Report by John and Karen Hobson, dated July 7, 2014 (pertaining
to Lauderdale County request)
9
  Incident Report by Ms. Swenson, dated July 7, 2014 (pertaining to Leake
County request)
10
  Incident Report by Ms. Morse, dated July 7, 2014 (pertaining to Leake
County request)
Respectfully submitted,
/s/   L. Eades Hogue
Joseph M. Nixon  pro hac vice
Texas State Bar No. 15244800
[email protected]Kristen W. McDanald  pro hac vice
Texas State Bar No. 24066280
[email protected]Kelly H. Leonard  pro hac vice
Texas State Bar No. 24078703
[email protected]BEIRNE, MAYNARD & PARSONS, LLP
1300 Post Oak Blvd, Suite 2500
Houston, Texas 77056
(713) 623-0887   Tel.
(713) 960-1527   Fax
L. Eades Hogue
Mississippi State Bar No. 2498
Louisiana State Bar No. 1960
[email protected]BEIRNE, MAYNARD & PARSONS, LLP
Pan-American Life Center
601 Poydras Street
Suite 2200
New Orleans, LA 70130
(504) 586-1241 Tel.
(504) 584-9142 Fax
Lead Counsel
James E. Trey Trainor, III.  pro hac vice
Texas State Bar No. 24042052
[email protected]BEIRNE, MAYNARD & PARSONS, LLP
401 W. 15th Street, Suite 845
Austin, TX 78701
(512) 623-6700   Tel.
(512) 623-6701   Fax
Counsel for Plaintiffs
2014030v.1 IMANAGE 107308
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 2 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 3 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 4 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 5 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 6 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 7 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 8 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 9 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 10 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 11 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 12 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 13 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 14 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 15 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 16 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 17 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 18 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 19 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 20 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 21 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 22 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 23 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 24 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 25 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 26 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 27 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 28 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 29 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 30 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 31 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 32 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 33 of 34
Case 3:14-cv-00532-NFA   Document 25-1   Filed 07/17/14   Page 34 of 34
IN THE UNITED STATES DISTRICT COURT
FOR THE SOUTHERN DISTRICT OF MISSISSIPPI
JACKSON DIVISION
True the Vote, Jane Coln, Brandie Correro,
Chad Higdon, Jennifer Higdon, Gene
Hopkins, Frederick Lee Jenkins, Mary
Jenkins, Tavish Kelly, Donna Knezevich,
Joseph Knezevich, Doris Lee, Lauren Lynch,
Norma Mackey, Roy Nicholson, Mark
Patrick, Julie Patrick, Paul Patrick, David
Philley, Grant Sowell, Sybil Tribble, Laura
VanOverschelde, and Elaine Vechorik
Plaintiffs,
v.
The Honorable Delbert Hosemann, in his
official capacity as Secretary of State for the
State of Mississippi, The Republican Party of
Mississippi, Copiah County, Mississippi
Election Commission, Hinds County,
Mississippi Election Commission, Jefferson
Davis County, Mississippi Election
Commission, Lauderdale County,
Mississippi Election Commission, Leake
County, Mississippi Election Commission,
Madison County, Mississippi Election
Commission, Rankin County, Mississippi
Election Commission, Simpson County,
Mississippi Election Commission, and Yazoo
County, Mississippi Election Commission
Defendants.
Cause No. 3:14-cv-00532-HTW-LRA
APPENDIX  VOLUME II TO BILL OF PARTICULARS
EXHIBIT 11-14
EXHIBIT   DESCRIPTION
11
  Incident Report by Ms. Morse, dated July 8, 2014 (pertaining to Leake
County request)
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 1 of 18
12   Letter from Madison County Circuit Clerk, dated July 8, 2014
13   Declaration of Roy Nicholson, dated July 16, 2014
14   Incident Report by Julia Hoenig, dated July 7, 2014
Respectfully submitted,
/s/   L. Eades Hogue
Joseph M. Nixon  pro hac vice
Texas State Bar No. 15244800
[email protected]Kristen W. McDanald  pro hac vice
Texas State Bar No. 24066280
[email protected]Kelly H. Leonard  pro hac vice
Texas State Bar No. 24078703
[email protected]BEIRNE, MAYNARD &PARSONS, LLP
1300 Post Oak Blvd, Suite 2500
Houston, Texas 77056
(713) 623-0887   Tel.
(713) 960-1527   Fax
L. Eades Hogue
Mississippi State Bar No. 2498
Louisiana State Bar No. 1960
[email protected]BEIRNE, MAYNARD &PARSONS, LLP
Pan-American Life Center
601 Poydras Street
Suite 2200
New Orleans, LA 70130
(504) 586-1241 Tel.
(504) 584-9142 Fax
Lead Counsel
James E. Trey Trainor, III.  pro hac vice
Texas State Bar No. 24042052
[email protected]BEIRNE, MAYNARD &PARSONS, LLP
401 W. 15th Street, Suite 845
Austin, TX 78701
(512) 623-6700   Tel.
(512) 623-6701   Fax
Counsel for Plaintiffs
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 2 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 3 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 4 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 5 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 6 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 7 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 8 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 9 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 10 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 11 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 12 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 13 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 14 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 15 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 16 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 17 of 18
Case 3:14-cv-00532-NFA   Document 25-2   Filed 07/17/14   Page 18 of 18
IN THE UNITED STATES DISTRICT COURT
FOR THE SOUTHERN DISTRICT OF MISSISSIPPI
JACKSON DIVISION
True the Vote, Jane Coln, Brandie Correro,
Chad Higdon, Jennifer Higdon, Gene
Hopkins, Frederick Lee Jenkins, Mary
Jenkins, Tavish Kelly, Donna Knezevich,
Joseph Knezevich, Doris Lee, Lauren Lynch,
Norma Mackey, Roy Nicholson, Mark
Patrick, Julie Patrick, Paul Patrick, David
Philley, Grant Sowell, Sybil Tribble, Laura
VanOverschelde, and Elaine Vechorik
Plaintiffs,
v.
The Honorable Delbert Hosemann, in his
official capacity as Secretary of State for the
State of Mississippi, The Republican Party of
Mississippi, Copiah County, Mississippi
Election Commission, Hinds County,
Mississippi Election Commission, Jefferson
Davis County, Mississippi Election
Commission, Lauderdale County,
Mississippi Election Commission, Leake
County, Mississippi Election Commission,
Madison County, Mississippi Election
Commission, Rankin County, Mississippi
Election Commission, Simpson County,
Mississippi Election Commission, and Yazoo
County, Mississippi Election Commission
Defendants.
Cause No. 3:14-cv-00532-HTW-LRA
APPENDIX  VOLUME III TO BILL OF PARTICULARS
EXHIBIT 15-20
EXHIBIT   DESCRIPTION
15
  Incident Report by Julia Hoenig, dated July 8, 2014 (with written records
request signed by Mr. Rowley to Simpson County)
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 1 of 31
16
  Incident Report by Roberta Swank and Erin Anderson, dated July 7, 2014
(concerning Yazoo County)
17
  Incident Report by Ruth Weiss and Debra Jackson dated July 8, 2014
(concerning Simpson County)
18
  Incident Report by Ruth Weiss and Debra Jackson dated July 8, 2014
(concerning Yazoo County)
19
  Incident Report by Susan Moore dated July 9, 2014 (citing double voting
in Noxubee County, Mississippi by Faye Ward)
20
  Incident Report by Susan Moore, dated July 9, 2014 (citing double voting
in Noxubee County, Mississippi by Degardiques Mattox)
Respectfully submitted,
/s/   L. Eades Hogue
Joseph M. Nixon  pro hac vice
Texas State Bar No. 15244800
[email protected]Kristen W. McDanald  pro hac vice
Texas State Bar No. 24066280
[email protected]Kelly H. Leonard  pro hac vice
Texas State Bar No. 24078703
[email protected]BEIRNE, MAYNARD &PARSONS, LLP
1300 Post Oak Blvd, Suite 2500
Houston, Texas 77056
(713) 623-0887   Tel.
(713) 960-1527   Fax
L. Eades Hogue
Mississippi State Bar No. 2498
Louisiana State Bar No. 1960
[email protected]BEIRNE, MAYNARD &PARSONS, LLP
Pan-American Life Center
601 Poydras Street
Suite 2200
New Orleans, LA 70130
(504) 586-1241 Tel.
(504) 584-9142 Fax
Lead Counsel
James E. Trey Trainor, III.  pro hac vice
Texas State Bar No. 24042052
[email protected]BEIRNE, MAYNARD &PARSONS, LLP
401 W. 15th Street, Suite 845
Austin, TX 78701
(512) 623-6700   Tel.
(512) 623-6701   Fax
Counsel for Plaintiffs
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 2 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 3 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 4 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 5 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 6 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 7 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 8 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 9 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 10 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 11 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 12 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 13 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 14 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 15 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 16 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 17 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 18 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 19 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 20 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 21 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 22 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 23 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 24 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 25 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 26 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 27 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 28 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 29 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 30 of 31
Case 3:14-cv-00532-NFA   Document 25-3   Filed 07/17/14   Page 31 of 31