Wallace v. Jaffree
"Such an endorsement is not consistent with the established principle that the government must pursue a course of complete neutrality toward religion" and so the Court ruled in favor of Jaffree and upheld the Eleventh Circuit's decision.He began by pointing out that the statute authorizing a moment of silence at the beginning of a school day, which mentioned the word "prayer," did not unconstitutionally promote a religion.Next, Burger discussed the differences between the debated statute and its predecessor by bringing up the Court's opinion that the inclusion of the phrase "or voluntary prayer" endorsed and promoted religion.In his conclusion, Justice Burger reiterated the fact that the statute was not an unconstitutional endorsement and promotion of religion that sought to establish a state church but an entirely-constitutional measure designed to prevent truly-unconstitutional infringements upon the rights of students to pray individually as they please.Justice Rehnquist's dissenting opinion relied heavily upon pointing out the faults behind the common misunderstanding of Thomas Jefferson's statements about the "wall of separation of church and state" in his letter to the Danbury Baptist Association.Justice Rehnquist suggested instead to turn to the actions of the Congress and James Madison's significant role in it for insight into the original intent of the Establishment Clause.Those who upon that basis opposed ratification thought that the government, without such an enumeration of rights, had a great potential to follow the authoritarian path that they wished to avoid.In his conclusion, Rehnquist denounced the Lemon Test as "having no more grounding in the First Amendment than the wall theory created from 'separation of church and state' " in Everson v. Board of Education.