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Doe v. Commissioner of Transitional Assistance: Massachusetts Supreme Court upholds 6-month residency requirement for state TANF program

Immigrants' Rights Update, Vol. 16, Issue 5, September 10, 2002

     The Supreme Judicial Court of Massachusetts has rejected a challenge to the six-month residency requirement in a state welfare program for immigrants. The state program provides assistance to immigrants who are ineligible for Temporary Assistance for Needy Families (TANF) due to the 1996 federal welfare law. While immigrants applying for the state-funded program must have lived in Massachusetts for six months, there is no such residency requirement for the immigrants (or U.S. citizens) who are eligible for federal TANF in Massachusetts.

     Plaintiffs asserted that the state's imposition of a residency requirement on some lawfully present immigrants, but not others, violates the equal protection clauses of the U.S. Constitution and the Massachusetts Declaration of Rights. However, the court refused to compare the treatment of immigrants under the state program against their treatment under the federal program. Instead, it examined only the restrictions in the separate state program. Concluding that the discrimination in the state program is based on residency in Massachusetts, rather than immigration status, the court applied a "rational basis" standard of review. Had the court found that the state's discrimination was based on immigration status, it would have applied the more stringent "strict scrutiny" review.

     The court found sufficient rational basis to support the six-month state residency requirement. In rejecting the plaintiffs' claims, the court deemed it significant that Massachusetts created a separate program intended only to help immigrants who were rendered ineligible for federal welfare. In this way, it distinguished New York's state-funded medical program, which had been available to both citizens and immigrants before the state restricted coverage for certain lawfully present immigrants. New York's highest court found that such discrimination against lawfully present immigrants was unconstitutional. (See Aliessa vs. Novello, 96 N.Y. 2d 418 (2001); "N.Y. Law Restricting Immigrants' Eligibility for State Medical Aid Found Unconstitutional," Immigrants' Rights Update, June 29, 2001, p. 15.) In ruling against the plaintiffs, the Massachusetts court also considered the consequences of requiring legislatures to enact programs that cover either "all or none" of the immigrants rendered ineligible due to the federal welfare law.

Doe v. Commissioner of Transitional Assistance,
__Mass.__ , 2002 Mass. LEXIS 526 (Mass. Aug. 15, 2002).

 

 

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