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F I S C A L I M P A C T R E P O R T
SPONSOR Garcia, MP
ORIGINAL DATE
LAST UPDATED
03/02/07
HB HM 47
SHORT TITLE Public Assistance Applicant Info Tracking
SB
ANALYST Hanika Ortiz
ESTIMATED ADDITIONAL OPERATING BUDGET IMPACT (dollars in thousands)
FY07
FY08
FY09 3 Year
Total Cost
Recurring
or Non-Rec
Fund
Affected
Total
$48.0 Unknown Unknown Recurring General
Fund
(Parenthesis ( ) Indicate Expenditure Decreases)
SOURCES OF INFORMATION
LFC Files
Responses Received From
Human Services Department (HSD)
SUMMARY
Synopsis of Bill
House Memorial 47 requests the HSD to gather and track more aggregate information on persons
who apply for public assistance.
The memorial provides the following comments:
The legislative health and human services committee regularly requires additional
information on the working poor in New Mexico.
Understanding the needs of and the services now available to Medicaid recipients and
Temporary Assistance for Needy Families recipients will help the legislature plan for the
future.
Recognizing that people who have jobs may still require public assistance due to the
limitations of their salaries and benefits could help legislators tailor state benefits to the
actual needs of public assistance clients.
Collecting information on the employers of persons on public assistance could help
policymakers as they make decisions on future benefits, services and opportunities.
pg_0002
House Memorial 47 – Page
2
FISCAL IMPLICATIONS
HSD will incur costs to develop new Medical and TANF application forms for public assistance;
develop policies and procedures for tracking employer information; and, provide for staff
training in the use of the new form. The memorial does not provide, direct or identify an
appropriation for these efforts.
HSD will also need to provide for system modifications to the automated eligibility system
(ISD2) to produce the necessary disaggregate reports could be produced. These changes are
estimated to cost $48,000. HSD reports it is unlikely the Department can make all of the
necessary changes to the forms; to the ISD2 system; and, have the proper reviews completed in
time to begin collecting the information by the beginning of the fiscal year.
Pursuant to a settlement agreement in a class action lawsuit that occurred in the 1980s, HSD is
required to have attorneys in the Deborah Hatten Gonzales lawsuit review all proposed changes
to Medicaid applications, at a cost to the Department of applicable attorney's fees.
SIGNIFICANT ISSUES
HSD provided the following comments:
The data collection methodology suggested in the memorial utilizes client provided information
from the application form and entered into HSD’s automated eligibility system. Currently the
automated eligibility system does not capture employer information to the level of accuracy or
specificity for creating the report recommended. HSD will also need to establish a standardized
process for entering and recording employer information to minimize inaccuracies from
occurring.
The TANF program currently provides benefits to 37,920 individuals and Medicaid to 404,694
individuals. These numbers do not count individuals who are included in the household, but do
not directly receive Medicaid benefits. The collection of the data would need to occur over a
minimum of a year from data collection implementation as many households for these programs
renew their application only once a year. The data will not capture some of the interim
employment changes that a recipient is not required to report and may not be comprehensive.
PERFORMANCE IMPLICATIONS
HSD will need to develop and report annually to the interim legislative health and human
services committee on the employers listed on fifty or more applications for public assistance,
the name of any employer listed fifty or more times in a single year and the number of times the
employer was listed by TANF and Medicaid applicants. The report submitted is to contain no
personally identifiable information about the applicant, the applicant's dependents or fellow
household members.
ADMINISTRATIVE IMPLICATIONS
The memorial requests that the HSD change its application forms for public assistance to include
information about the current employment of Medicaid applicants and temporary assistance for
needy families’ applicants, the applicants’ dependents and fellow household members. The
pg_0003
House Memorial 47 – Page
3
memorial further requests that information collected include the name of the employer of the
applicant and the name of the city in which the applicant works.
TECHNICAL
The memorial does not specify if any Medicaid categories should be excluded such as Foster
Care Medicaid, Intuitional Care, or other Medicaid programs where the participant is not usually
employed.
ALTERNATIVES
HSD reports the Department could collect this information through other means that would have
a decreased impact for the recipient and be less administratively burdensome to eligibility staff
by creation of a data match between HSD and Department of Labor (DOL) for capturing
employer information for TANF and Medicaid recipients. This would still require additional
Department programming to the eligibility system to develop an aggregate data report. The
match will need to be developed through a Memorandum of Understanding (MOU) between
HSD and DOL to establish the data match and protect the confidentiality of the data transmitted.
This may provide for more accurate data for reporting, however tracking out-of-state based
employers may still be limited.
HSD determines the data match with DOL through this alternative will be approximately
$59,040; however, it lessens the application requirements for participants and significantly
reduces the HSD county office eligibility staffs’ administrative burden.
AHO/csd