Announcing the increase of 2.17% in the need standard (not the grant). Effective July 1, 2014. Includes the new charts by region, and the new income in kind valuations. [Download]
Announcing the increase of 2.17% in the need standard (not the grant). Effective July 1, 2014. Includes the new charts by region, and the new income in kind valuations. [Download]
Instructions about health and personal rights. WIC 16001.9 specifies that minors and non-minor dependents shall have the same rights, and be informed of them every six months. All youth 12 or older also shall get age appropriate information on reproduction, and pregnancy and STD prevention. [Download]
Following up on a federal review of cases claimed for federal foster care, DSS has issued clarification. Some of it was procedural (failure to list requisite language or get all the needed signatures) and some was more substantive (no policies or procedures in place to identify foster care candidates). The letter goes through all the findings and the steps to ensure compliance. [Download]
This letter updates counties about the process they should use for terminating TLICP beneficiaries for non-payment of premiums. For clients in non-payment of premium status, there are no redetermination requirements prior to sending a NOA to discontinue the client unless there’s a change in circumstances. The letter also provides a sample discontinuance notice.
For clients in aid codes H3 and H5, counties will provide a timely notice and terminate eligibility through MEDS. For clients in aid code 5D (Healthy Families Program transition), counties would need to submit a remedy ticket to DHCS after providing timely notice.
To cure the situation and prevent termination, clients must pay past premiums prior to date of discontinuance. If client misses that date but pays within 30 days of date of discontinuance to cure, county must verify payment and reinstate or submit a remedy ticket. After the 30 day cure period, the client would need to reapply; any owed amounts would be charged as part of the first month’s premium.
This letter clarifies questions about the CalFresh Express Lane Enrollment procedures for Medi-Cal, particularly about aid code 7S (those individuals eligible for Medi-Cal under pre-ACA rules).
Additionally, the letter discusses discontinuance NOAs for Express Lane beneficiaries upon change of circumstances or expiration. NOAs will be generated by SAWS, and beneficiaries will be referred for APTC/CSR determinations with a special enrollment period.
Finally, Express Lane enrolled individuals are eligible for retroactive months of coverage up to February 2014. For determination of months before February, individuals will need to submit a RFTHI (for January 2014) or a full pre-ACA application (for December 2013 and before).
This letter notifies counties that printing of Single Streamlined paper applications in threshold languages is being suspended for revisions. Translated applications are still available online in all threshold languages.