Scott Jarret Declaration
Scott Jarret Declaration
Scott Jarret Declaration
RACHEL H. MITCHELL
1 MARICOPA COUNTY ATTORNEY
2 By: THOMAS P. LIDDY (Bar No. 019384)
JOSEPH J. BRANCO (Bar No. 031474)
3 JOSEPH E. LA RUE (Bar No. 031348)
KAREN J. HARTMAN-TELLEZ (Bar No. 021121)
4 JACK L. O’CONNOR (Bar No. 030660)
SEAN M. MOORE (Bar No. 031621)
5 ROSA AGUILAR (Bar No. 037774)
Deputy County Attorneys
6 liddyt@mcao.maricopa.gov
brancoj@mcao.maricopa.gov
7 laruej@mcao.maricopa.gov
hartmank@mcao.maricopa.gov
8 oconnorj@mcao.maricopa.gov
moores@mcao.maricopa.gov
9 aguilarr@mcao.maricopa.gov
Deputy County Attorneys
10 MCAO Firm No. 0003200
11
CIVIL SERVICES DIVISION
12 225 West Madison Street
Phoenix, Arizona 85003
13 Telephone (602) 506-8541
14 Facsimile (602) 506-4316
ca-civilmailbox@mcao.maricopa.gov
15
Emily Craiger (Bar No. 021728)
16 emily@theburgesslawgroup.com
THE BURGESS LAW GROUP
17 3131 East Camelback Road, Suite 224
Phoenix, Arizona 85016
18 Telephone: (602) 806-2100
19 Attorneys for Maricopa County Defendants
20 IN THE SUPERIOR COURT OF THE STATE OF ARIZONA
21 IN AND FOR THE COUNTY OF MARICOPA
22 KARI LAKE, No. CV2022-095403
23 DECLARATION OF SCOTT JARRETT
Contestant/Petitioner,
IN SUPPORT OF THE MARICOPA
24 COUNTY DEFENDANTS’ RESPONSE
vs. OPPOSING LAKE’S MOTION FOR
25 RELIEF FROM JUDGMENT
KATIE HOBBS, et al.,
26 (Expedited Election Matter)
Defendants.
27
(Honorable Peter Thompson)
28
MARICOPA COUNTY
ATTORNEY’S OFFICE
CIVIL SERVICES DIVISION
225 WEST MADISON STREET
6 DUPLICATE BALLOTS.
7 18. For the November 2022 General Election, Maricopa County duplicated a total
8 of 11,918 ballots. Of the 11,918, there were a total of 2,656 Election Day ballots. Of the
9 2,656 Election Day ballots, 1,282 came from three Vote Centers (999 - Gateway Fellowship,
10 215 - Journey Church, 68 - LDS Church Lakeshore) that were identified as having a “fit-to-
11 page” setting inadvertently turned on at a Vote Center. The duplication process was
12 performed in accordance with state statute and the Elections Procedures Manual. This
13 included the duplication process being completed by bi-partisan teams and the assigning of
14 marrying numbers to match the duplicated ballots with the original ballots. Maricopa
15 County segregates the storage of the original ballots and the storage of the duplicated ballots
16 after they are tabulated. The combination of the marrying number and the segregated storage
17 allows for the matching of the original ballot with the duplicated ballot. Every duplicated
18 ballot was tabulated and the vote tallies included in the final results.
19 19. While preparing for the inspection of the ballots that was ordered by this
20 Court in this matter in December, 2022, I recognized that there were over 1,562,000 ballots
21 stored on 60 separate pallets. I offered, through the County’s attorneys, the opportunity for
22 plaintiff’s inspector to pre-select the batches of ballots so on the date of the inspection
23 (December 20, 2022), there would be more time to perform the inspection of ballots.
24 Despite that offer, to my knowledge, the Plaintiff’s attorneys never provided a list of
25 preselected batches.
26 20. On the date of the court ordered ballot inspection, I met with ballot inspectors
27 and attorneys for both parties and the court appointed ballot inspector. The purpose of the
28
MARICOPA COUNTY
ATTORNEY’S OFFICE
5
CIVIL SERVICES DIVISION
225 WEST MADISON STREET
PHOENIX, ARIZONA 85003