Gannon v. Kansas

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On February 11, 2016, the Kansas Supreme Court affirmed the holding of the three-judge district court panel that found changes made to the State's K-12 funding system through enactment of the Classroom Learning Assuring Student Success Act of 2015 (CLASS) violated the equity component of Article 6, section 6(b) of the Kansas Constitution. Specifically, the Court determined the operation of capital outlay state aid and local option budget (LOB) supplemental general state aid, as formulated under CLASS, still allowed inequitable distribution of funding among school districts that it had held unconstitutional in "Gannon v. State," (319 P.3d 1196 (2014) (Gannon I)). This case required the Supreme Court to determine whether the State met its burden to show that recent legislation brought the State's K-12 public school funding system into compliance with Article 6 of the Kansas Constitution. After review, the Court held that it had not: (1) H.B. 2655 cured the capital outlay inequities affirmed to exist in "Gannon II;" (2) H.B. 2655, which included a hold harmless and extraordinary need provisions, failed to cure the LOB inequities affirmed to exist in Gannon II; and (3) the unconstitutional LOB funding mechanism was not severable from CLASS, thus making CLASS unconstitutional. View "Gannon v. Kansas" on Justia Law