This policy memorandum supplements an FNS instruction on the use of WIC acronym and logo.
This policy memorandum identifies the purpose, necessary elements and outcomes for nutrition services documentation in the WIC program.
In March 2007, WIC state agencies and Regional Offices received a memorandum that provided guidance on the process for State Agency Model (SAM) transfers. It has come to our attention that there is some confusion as to what is required to justify adoption of a non-SAM system.
The policy regarding the WIC program explanation is being updated to align more effectively with the participant-centered, positive approach emphasized in the Value Enhanced Nutrition Assessment initiative.
The purpose of this memorandum is to provide guidance on the cost allowability of program incentive items. These items are allowable under certain terms and conditions only for three purposes: outreach, breastfeeding promotion, and nutrition education.
This memorandum provides clarification of our policy on the allowability of transportation costs for WIC participants.
Attached is a set of Questions and Answers to assist WIC state agencies in implementing the NVRA and to identify issues and decisions which may require consultation with state election officials. As indicated in Policy Memorandum: 94-4, state agencies should integrate voter registration services in the least burdensome, most efficient manner.
This policy memorandum provides clarification regarding the classification of loggers as migrant farmworkers. Also, in anticipation of other queries about occupational groups which might be defined as migrant farmworkers, the following guidance is provided.
This policy memorandum is intended to facilitate the implementation of a Congressional mandate, set forth in the House Appropriations Committee's Report accompanying the Fiscal Year 1994 Agriculture, Rural Development, Food and Drug Administration, and Related Agencies Appropriations Act (PL 103- 111), enacted Oct. 21, 1993.
In consultation with the Office of the General Counsel, FNS has determined that state agencies may not exercise any options to renew, extend, or otherwise continue any infant formula cost containment contract at amounts not specified in the original contract.