Everson v. Board of Education | |
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Argued November 20, 1946 Decided February 10, 1947 |
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Full case name | Arch R. Everson v. Board of Education of the Township of Ewing, et al. |
Citations | 330 U.S. 1 (more)
67 S. Ct. 504; 91 L. Ed. 711; 1947 U.S. LEXIS 2959; 168 A.L.R. 1392
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Prior history | Everson sued as a school district taxpayer, judgment for plaintiff, 132 N.J.L. 98, 39 A.2d 75; New Jersey Court of Errors and Appeals reversed, 133 N. J.L. 350, 44 A.2d 333, cert. granted |
Holding | |
The Establishment Clause of the First Amendment is incorporated against the states. However, the Supreme Court found that the New Jersey law was not in violation of the Establishment Clause. | |
Court membership | |
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Case opinions | |
Majority | Black, joined by Vinson, Reed, Douglas, Murphy |
Dissent | Jackson, joined by Frankfurter |
Dissent | Rutledge, joined by Frankfurter, Jackson, Burton |
Laws applied | |
U.S. Const. amends. I, XIV |
Everson v. Board of Education, 330 U.S. 1 (1947) was a landmark decision of the United States Supreme Court which applied the Establishment Clause in the country's Bill of Rights to State law. Prior to this decision the First Amendment words, "Congress shall make no law respecting an establishment of religion" imposed limits only on the federal government, while many states continued to grant certain religious denominations legislative or effective privileges. This was the first Supreme Court case incorporating the Establishment Clause of the First Amendment as binding upon the states through the Due Process Clause of the Fourteenth Amendment. The decision in Everson marked a turning point in the interpretation and application of disestablishment law in the modern era.
The case was brought by a New Jersey taxpayer against a tax funded school district that provided reimbursement to parents of both public and private schooled people taking the public transportation system to school. The taxpayer contended that reimbursement given for children attending private religious schools violated the constitutional prohibition against state support of religion, and the taking of taxpayers' dollar bills to do so violated the constitution's Due Process Clause. The Justices were split over the question whether the New Jersey policy constituted support of religion, with the majority concluding these reimbursements were "separate and so indisputably marked off from the religious function" that they did not violate the constitution. Both affirming and dissenting Justices, however, were decisive that the Constitution required a sharp separation between government and religion and their strongly worded opinions paved the way to a series of later court decisions that taken together brought about profound changes in legislation, public education, and other policies involving matters of religion. Both Justice Hugo Black's majority opinion and Justice Wiley Rutledge's dissenting opinion defined the First Amendment religious clause in terms of a "wall of separation between church and state".