FNS has determined WIC state agencies may need the flexibility of providing non-contract formula through the end of February. It is USDA’s expectation that these extensions of flexibilities for non-contract formulas will be the final extensions, barring a significant change in the status of formula supply and availability.
FNS determined there are Quality Control cases in the Fiscal Year 2022 active frame with back-to-back certification period extensions that have been treated inconsistently by QC reviewers. This memo is intended to clarify the QC procedures for cases that were impacted by these extensions.
This memorandum provides a reminder to state agencies that under the Food and Nutrition Act of 2008, all eligible households must have the opportunity to participate in SNAP within 30 days of application or seven days if they are entitled to expedited service.
This rulemaking proposes to revise regulations governing the WIC food packages to align them with the current Dietary Guidelines for Americans and reflect recommendations made by the National Academies of Sciences, Engineering and Medicine in its 2017 report, “Review of WIC Food Packages: Improving Balance and Choice. while promoting nutrition security and equity and taking into account program administration considerations.
FNS is delaying the effective date for the interim final rule - SNAP: Requirement for Interstate Data Matching to Prevent Duplicate Issuances - until Dec. 6, 2022.
The purpose of this memorandum is to clarify how federal access to state systems will be monitored by FNS.
This letter extends the expiration date for certain flexibilities for WIC state agencies following the Abbott Recall and infant formula shortage.
USDA's FNS and ACF at the Department of Health and Human Services are aware of increasing reports of benefit theft by criminal actors through EBT card skimming schemes. After discussions with EBT processors and fraud prevention stakeholders, FNS and ACF have identified prevention measures that can be adopted to improve card security while we work towards longer-term strategies.
FNS recognizes that many state agencies may benefit from guidance regarding the existing flexibilities allowable within current FMNP and SFMNP regulations and has compiled some of these flexibilities for state and local agencies to consider.
FNS encourages WIC state agencies to work collaboratively with the vendor community to identify how state agency vendor selection and/or limiting criteria, application periods or policies, WIC authorized food lists, technology requirements, and participant access criteria may impact vendor participation in the WIC program.