This memo provides information about which states are eligible to waive Able Bodied Adults Without Dependents (ABAWD) time limits for participation in the Supplemental Nutrition Assistance Program(SNAP) for fiscal year 2013. Under SNAP regulations at 7CFR 273.24(f)(2), a state can qualify for a 12-month statewide ABAWD waiver if the Department of Labor's Unemployment Insurance Service determines it meets the criteria for extended unemployment benefits.
The DOL EC Trigger Notice 2011-13, effective April 10, 2011, indicates that 46 states or geographic areas met the EC criteria; however, the 46 qualifying states or geographic areas may suspend the time limits on ABAWDs through at least Sept. 30, 2012
Attached are questions and answers in response to common issues raised by states regarding the Census 2010 Demonstration Projects.
The American Recovery and Reinvestment Act of 2009 suspends restrictions on Able Bodied Adults Without Dependent participation in SNAP as of April 1, 2009 continuing through Sept. 30, 2010, unless state agencies choose to impose specific work requirements.
The recently-enacted Unemployment Compensation Extension Act of 2008 modified the criteria used by the Department of Labor for the extended benefits program for the duration of the legislation. As a result, some states qualify for the EB program based on the recently-revised criteria rather than the traditional criteria.
We recently received a request from a state agency to completely waive the requirement that the state agency conduct an interview at recertification for all households
This is to advise you that we are modifying our criteria for the approval of waivers of the face-to-face interview at both initial and recertification.
This is to advise you that we are revising conditions associated with waivers of 7 CFR 273.10(f)(4) which would allow state agencies to shorten the certification periods of food stamp households
This is to advise you that we are expanding our criteria for the approval of waivers of the face-to-face interview at both initial and recertification. We also wish to note that since state agencies already may waive the face-to-face interview on an individual case basis based on a finding of hardship, we are now categorizing these waivers as waivers of the requirement that state agencies document hardship prior to utilizing alternatives to the face-to-face interview.
This is a follow-up of our memorandum of Feb. 3, 2006, authorizing 2-year waivers of the work requirements for able-bodied adults without dependents. Since we issued the original memorandum, we have received several requests in which state agencies have requested waivers under which they proposed to include the same jurisdiction in waivers covering two different approval periods.