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By Renato Rocha and Elizabeth Lower-Basch
CLASP responded to affidavit of support on behalf of immigrants, DHS Docket No. USCIS-2019-0023.
CLASP submitted comments on Oklahoma’s Sooner 2.0 Healthy Adult Opportunity (HAO) waiver application and raises serious concerns about the effects of the waiver on the coverage and health outcomes of Medicaid beneficiaries in Oklahoma.
CLASP submitted comments in response to Indiana’s section 1115 demonstration project known as the Healthy Indiana Plan.
CLASP submitted comments opposing Georgia’s application for its section 1115 waiver that would allow it to apply work requirements as a condition of eligibility for Medicaid. The proposal would also limit its expansion of Medicaid and require individuals with incomes as low as 51 percent of the FPL to pay premiums.
CLASP submitted comments on Idaho's Medicaid reform waiver: section 1115 Medicaid waiver demonstration project application.
CLASP submitted comments to CMS on Montana's Demonstration Amendment and Extension Application: Montana Health and Economic Livelihood Partnership (HELP) Program.
CLASP comments opposing the proposed rule to eliminate broad-based categorical eligibility for SNAP.
CLASP submitted comments opposing HUD’s proposed changes to “verification of eligible status,” which would directly undermine immigrant families in low-income households, including U.S. citizen children.
CLASP strongly opposes the USDA proposed regulation to limit SNAP for adults without dependents or documented disabilities. As antipoverty experts, we believe the proposed changes will not incentivize people to seek and maintain work, and will have damaging consequences for the well-being and long-term success of struggling workers and their families.