OMB Control #0584-0336
Expiration Date: XX/XX/XXXX
Supplemental Nutrition Assistance Program (SNAP)
Disaster SNAP
Guidance
Policy Guidance, Lessons Learned, and Toolkits to Operate a
Successful D-SNAP
United States Department of Agriculture Food and Nutrition Service
July 2014
Alternative Public Burden Statement
Public reporting burden for this collection of information is estimated to vary
from 30 minutes to 1 hour per response, including the time for reviewing instructions,
searching existing data sources, gathering and maintaining the data needed, and
completing and reviewing the collection of information. An agency may not
conduct or sponsor, and a person is not required to respond to, a collection of
information unless it displays a currently valid OMB control number 0584-0336.
Other OMB control numbers associated with this D-SNAP Guidance are:
0584-0037, 0584-0064, and 0584-0083. Send comments regarding this burden
estimate or any other aspect of this collection of information, including
suggestions for reducing this burden, to: U.S. Department of Agriculture, Food
and Nutrition Services, Office of Policy Support, 3101 Park Center Drive, Room 1014,
Alexandria, VA 22302, ATTN: PRA (0584-0336). Do not return the
completed form to this address.
Policy Guidance
Policy
Contents
Introduction....................................................................................................................................... 1
Part 1. Policy Context ........................................................................................................................ 3
1.1.
D-SNAP vs. SNAP ...................................................................................................................... 3
1.3.
Context of D-SNAP in Government Disaster Response ............................................................... 5
1.2.
Authority .................................................................................................................................. 4
State Role ................................................................................................................................. 5
FNS Role ................................................................................................................................... 5
1.4.
USDA Role ................................................................................................................................ 6
Funding Issues.......................................................................................................................... 6
What Will FEMA Provide? ........................................................................................................... 7
Getting Help ............................................................................................................................. 6
Part 2. Policy Basics ........................................................................................................................... 8
2.1. Key Concepts .................................................................................................................................... 8
Allotment ................................................................................................................................. 8
Household Composition ........................................................................................................... 8
Application Period .................................................................................................................... 9
Benefit Period ........................................................................................................................... 9
Benefit Period Start Date ........................................................................................................... 9
2.2. Eligibility ......................................................................................................................................... 10
Residency ............................................................................................................................... 10
Purchase Food ........................................................................................................................ 11
Adverse Effects ....................................................................................................................... 11
Eligibility and Participation in Other FNS Programs .................................................................. 12
Disaster Gross Income Limit ................................................................................................... 12
Disaster Gross Income Key Terms ........................................................................................... 13
D-SNAP Allotments and Eligibility Standards ........................................................................... 13
Disaster Assistance Payments ................................................................................................. 14
Key D-SNAP Eligibility Questions ............................................................................................ 15
Disaster Guideline Income Limits including Disaster Expenses................................................. 17
2.3. Verification Basics .......................................................................................................................... 17
Virginia Disaster Standard Expense Deduction (DSED) ............................................................. 17
2.4. Issuance......................................................................................................................................... 18
Part 3. Planning................................................................................................................................ 19
3.1. Regional Planning............................................................................................................................ 19
Regional Plan.......................................................................................................................... 19
3.2.
State Training ......................................................................................................................... 20
State Planning ......................................................................................................................... 20
Roles and Responsibilities. ..................................................................................................... 21
Readiness Plan. ...................................................................................................................... 21
Implementation Plan. .............................................................................................................. 22
Other State-Specific Considerations ........................................................................................ 23
3.3. State Preparations ........................................................................................................................... 24
Training ................................................................................................................................. 24
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Data Collection ....................................................................................................................... 25
State Systems ......................................................................................................................... 26
Part 4. Requesting a D-SNAP ............................................................................................................. 27
4.1 Determining the Appropriate Disaster Response ............................................................................... 27
The Individual Assistance Declaration ..................................................................................... 29
Is D-SNAP Best? ...................................................................................................................... 30
Other Disaster Waivers ........................................................................................................... 31
4.2 Post Disaster / Pre D-SNAP Considerations ....................................................................................... 32
Immediate Response .............................................................................................................. 32
D-SNAP Timing ...................................................................................................................... 32
Continued Operation of Regular SNAP ..................................................................................... 33
4.3 Decisions to Be Made Prior to Request .............................................................................................. 33
Application Period .................................................................................................................. 33
Application Sites ..................................................................................................................... 34
Benefit Period ......................................................................................................................... 34
Supplements .......................................................................................................................... 35
Replacements ......................................................................................................................... 37
Food Loss ............................................................................................................................... 38
Disaster Standard Expense Deduction ..................................................................................... 39
4.4 Drafting the Request ........................................................................................................................ 41
Components of the D-SNAP request ....................................................................................... 42
4.5 Post-Approval .................................................................................................................................. 44
Changes to the D-SNAP after Implementation ......................................................................... 44
4.6 Additional Resources ........................................................................................................................ 45
Part 5. Operating a D-SNAP............................................................................................................... 46
5.1 Public Information ............................................................................................................................ 46
D-SNAP Eligibility Criteria ....................................................................................................... 47
D-SNAP & Ongoing Clients ..................................................................................................... 47
Where & When to Go ............................................................................................................... 47
What to Bring ......................................................................................................................... 48
Program Integrity ................................................................................................................... 48
Information for SNAP Retailers ................................................................................................ 48
5.2 Site Set-up ....................................................................................................................................... 48
Security .................................................................................................................................. 49
Staffing .................................................................................................................................. 50
Telecommunications............................................................................................................... 50
Human Comforts .................................................................................................................... 51
Site Layout ............................................................................................................................. 51
Posters & Notices ................................................................................................................... 52
Language Services .................................................................................................................. 52
Volunteers.............................................................................................................................. 53
5.3 Application Processing ..................................................................................................................... 54
Completing the Application .................................................................................................... 54
Screening ............................................................................................................................... 55
Duplicate Participation ............................................................................................................ 55
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Interview ................................................................................................................................ 56
Verification ............................................................................................................................. 58
Data Entry & Certification........................................................................................................ 59
Assistance to Ongoing Households ......................................................................................... 60
Special Cases.......................................................................................................................... 63
Onsite Review ......................................................................................................................... 63
5.4 EBT issuance .................................................................................................................................... 64
Replacing Cards and Benefits for Ongoing Clients ................................................................... 64
Reconciliation ......................................................................................................................... 64
Expungement ......................................................................................................................... 65
5.5 Daily Reporting ................................................................................................................................ 65
5.6 Fraud Prevention .............................................................................................................................. 66
Application/Issuance Site Controls .......................................................................................... 67
Information for Applicants ...................................................................................................... 67
Prevent Employee Fraud.......................................................................................................... 68
Monitoring and Reporting ....................................................................................................... 68
5.7 Changes to the D-SNAP .................................................................................................................... 69
Part 6. Post D-SNAP .......................................................................................................................... 70
6.2. Certification Reporting Post-D-SNAP ............................................................................................... 71
FNS-292B ............................................................................................................................... 71
Need Help with Reporting? ...................................................................................................... 71
FNS-388 ................................................................................................................................ 72
FNS-209 ................................................................................................................................ 72
6.3. Issuance Reporting and Reconciliation ............................................................................................. 73
Card production and delivery reconciliation ............................................................................ 73
Benefit authorization and posting reconciliation ...................................................................... 73
Benefit expungement.............................................................................................................. 74
Ensure complete reporting to FNS of disaster benefits issued .................................................. 74
6.4. Fair Hearings, Claims and Restored Benefits .................................................................................... 74
Fair Hearings .......................................................................................................................... 74
Claims .................................................................................................................................... 75
Restored Benefits ................................................................................................................... 76
6.5. Post-Disaster Review Report............................................................................................................ 76
Post-disaster Report ............................................................................................................... 76
Proposed Changes .................................................................................................................. 81
6.6. Conclusion ...................................................................................................................................... 82
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Introduction
Welcome to the revised guidance handbook for the Disaster Supplemental Nutrition
Assistance Program (D-SNAP). This handbook describes D-SNAP policy, provides
lessons learned from previous D-SNAPs, and contains toolkits to help SNAP offices
plan for, organize, and operate a D-SNAP.
What is D-SNAP?
D-SNAP provides temporary food assistance for households affected by a natural
disaster. A D-SNAP provides one month of benefits to eligible disaster survivors and
can facilitate the issuance of supplemental SNAP benefits for ongoing households. To
be eligible for D-SNAP, a household must live in the identified disaster area, have been
affected by the disaster, and meet certain D-SNAP eligibility criteria.
Why operate a D-SNAP?
D-SNAP is designed for situations where a large number of households have disaster-
related expenses not considered by the regular program and where the need is so
great that the vastly streamlined D-SNAP certification process is warranted.
Where does it happen?
An affected area must have received a Presidential declaration of “Major Disaster” with
Individual Assistance in order to request a D-SNAP.
When does it happen?
D-SNAP timing varies with the unique circumstances of each disaster, but always
begins after commercial channels of food distribution have been restored and families
are able to purchase and prepare food at home. Before operating a D-SNAP, a State
will ensure that proper public information, staffing and resources are in place.
Who does what?
The State has the primary role for planning, requesting, and operating a D-SNAP. The
Food and Nutrition Service (FNS) approves a State’s request to operate a D-SNAP and
supports the State’s D-SNAP efforts through policy guidance, training, and technical
assistance.
This D-SNAP guidance handbook will provide State agencies with the tools they need
to operate a successful D-SNAP that is consistent with the Stafford Act and established
D-SNAP policy. FNS recognizes that disaster situations and State agencies’ responses
D-SNAP Guidance |1
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to them vary widely. The guidance is not designed to provide an exhaustive list of
problems that will arise or prescriptive solutions to those problems. Rather, it is
intended to help State agencies design a disaster plan and disaster response that
addresses their unique geographic, economic, political and demographic
circumstances, the nature of the disaster, and the scope of the damage.
Alternative Public Burden Statement
Public reporting burden for this collection of information is estimated to vary
from 30 minutes to 1 hour per response, including the time for reviewing instructions,
searching existing data sources, gathering and maintaining the data needed, and
completing and reviewing the collection of information. An agency may not
conduct or sponsor, and a person is not required to respond to, a collection of
information unless it displays a currently valid OMB control number 0584-0336.
Other OMB control numbers associated with this D-SNAP Guidance are:
0584-0037, 0584-0064, and 0584-0083. Send comments regarding this burden
estimate or any other aspect of this collection of information, including
suggestions for reducing this burden, to: U.S. Department of Agriculture, Food
and Nutrition Services, Office of Policy Support, 3101 Park Center Drive, Room 1014,
Alexandria, VA 22302, ATTN: PRA (0584-0336). Do not return the
completed form to this address.
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Part 1. Policy Context
The first part of this section provides a context for D-SNAP, including:
•
•
•
Distinction between regular SNAP and D-SNAP
D-SNAP authority
Broader government disaster response
This part also outlines the roles of the Department of Agriculture (USDA), FNS, and
States and provides resources for broader disaster assistance information.
1.1. D-SNAP vs. SNAP
D-SNAP is an entirely different program from the regular Supplemental Nutrition
Assistance Program (SNAP). The chart below compares the programs.
Figure 1. Comparison of Eligibility Standards for SNAP and D-SNAP
Eligibility Element
SNAP
D-SNAP
Disaster Status
N/A
Experienced an adverse effect as a result of
Identity of
Verified
Verified
Residency
Residence in State or
Living in disaster area at the time of the disaster,
applicant
Household
Composition
Project area is verified
Individuals who
purchase and prepare
meals together
disaster
State option to include those working in disaster
area. Verified where possible
Persons living and eating together at the time of
a disaster
Benefit amount
Varies depending on
Maximum allotment for household size
Restricted
Student, IPV,
Student, IPV, citizenship status, and work
Categories
work registration
Eligibility
circumstances
citizenship status, and
registration not applicable
restrictions apply
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Resources
Counted separately
No separate resource test. Accessible liquid
resources and income added together to find
Disaster Gross Income.
Income
Deductions &
Expenses
Must meet gross
Only net (take-home) income during the benefit
income test to qualify
period counted. Add to resources to find disaster
Deductions calculated
Maximum standard and shelter deductions
households.
standards. Use of net income eliminates need to
for eligible
gross income.
already incorporated into disaster eligibility
calculate earned income deduction.
Unreimbursed, out of pocket, disaster-related
expenses not expected to be reimbursed during
the 30-day disaster benefit period are allowed as
deductions.
Intentional
Penalties are 12
Violations
and permanent
Program
months, 24 months,
SNAP IPV not applicable in D-SNAP. D-SNAP IPV
counts toward disqualification in SNAP.
disqualification
More information on D-SNAP eligibility is detailed in subsequent sections, most
notably Eligibility.
1.2. Authority
The Robert T. Stafford Disaster Relief and Emergency Assistance Act provides the
Secretary of Agriculture with the authority to operate a D-SNAP when affected areas
have received a Presidential major disaster declaration and when commercial channels
of food distribution are available. The Food and Nutrition Act of 2008 provides the
Secretary of Agriculture with the authority to establish temporary emergency standards
of eligibility for households who are survivors of a disaster that disrupts commercial
channels of food distribution after those channels have been restored.
FNS has elected to approve the operation of D-SNAP under Stafford Act authority when
affected areas have received a Presidential disaster declaration for individual
assistance. Receipt of an individual assistance declaration is indicative of the need for
assistance at the household level in the affected area. Using this measure helps FNS
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and our State partners target D-SNAP resources to the hardest hit areas likely to
require intensive food assistance. Aligning D-SNAP with the President’s declarations of
individual assistance ensures that FNS is able to provide aid to affected households in
a consistent manner.
Figure 2. Determining Factors Required by D-SNAP Authorities
Food and Nutrition Act
Commercial channels
of food distribution
were disrupted.
Stafford Act
Commercial channels
of food distribution
are now available.
Presidential
declaration of “Major
Disaster assistance”
1.3. Context of D-SNAP in Government Disaster Response
D-SNAP is one important part of a broader government response in the aftermath of a
disaster. Effective collaboration and communication among various government
agencies is essential to serve those in need in the aftermath of a disaster.
State Role
The primary responsibility for providing emergency food assistance rests with the State
agency. State agencies must design their own D-SNAP Plans and update them
annually. After a disaster strikes, they must evaluate the need for a D-SNAP or another
feeding program and, if desired, submit to FNS a detailed request to operate a D-
SNAP. Once a D-SNAP has been approved, the State agency is responsible for
effectively implementing the program, ensuring program integrity, complying with Civil
Rights laws, and submitting daily reports. Once program operations close, the State
must perform post-disaster reviews and report their findings to FNS.
FNS Role
FNS provides disaster nutrition assistance in three ways:
•
Provides USDA Foods for shelters and other mass feeding sites;
D-SNAP Guidance |5
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•
Provides USDA Foods for distribution directly to households in need in certain
limited circumstances,
•
Approves D-SNAP operations and provides funding for 100% of disaster benefits
and 50% of State administrative costs
The approval of a D-SNAP plan is not a legal determination by FNS of compliance with
Federal Civil Rights laws.
FNS supports the State’s efforts to provide D-SNAP benefits by providing policy
guidance, training, and technical assistance to State agencies as they plan, implement,
and assess their D-SNAP activities. FNS provides approval for State D-SNAP Plans and
State applications to operate the D-SNAP and uses the information provided in postdisaster reviews and assessments to improve D-SNAP policy, training, and technical
assistance.
USDA Role
The Federal government’s National Response
Framework designates various Emergency Support
Functions (ESFs) to coordinate and leverage Federal
resources to assist State and local disaster response
and recovery efforts. USDA is the lead agency for
ESF-11, Agriculture and Natural Resources, which
includes disaster nutrition assistance. Different
ESFs may be activated depending on the type and
Getting Help
To get assistance from any
other Federal agency, or any
other agency within USDA,
contact your Regional
Disaster Coordinator.
severity of a disaster. FNS staff participates at the National and Regional level when
ESF-11 is activated. For more information about coordinated Federal disaster
response, see the Toolkit for Regional Offices or contact your Regional Disaster
Coordinator.
1.4.
Funding Issues
FNS provides reimbursement of 50 percent of State administrative costs to operate a
D-SNAP, and funds 100 percent of benefits issued. States may not use any Federal
funds received from FEMA to obtain FNS matching funds. As FNS cannot provide
reimbursement for State expenditures made with funds that are Federal in origin,
States may not use any Federal funds received from FEMA to obtain FNS matching
funds.
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What Will FEMA Provide?
FEMA does not provide funds for the sole purpose of operating a D-SNAP. FEMA will
pay for extra expenses incurred by FNS in performance of its ESF-11 mission
assignment. FEMA may also contribute funds for staff assigned to perform functions
associated with both an ESF-11 mission assignment and the D-SNAP (e.g., staff
gathering information at D-SNAP sites for use in FEMA-required reports).
If a D-SNAP application site is at a location jointly staffed by FEMA, FEMA may provide
directly for the cost of leasing the facility, human comfort items for those waiting in
lines (e.g., portable toilets, tents), and other shared resources. The decision to co-
locate Disaster Recovery Centers (DRC) and D-SNAP sites should be coordinated early
with FEMA, FNS and the State agency so that needs are identified and agreements
made as to whether and to what extent FEMA will provide funding or other resources.
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Part 2. Policy Basics
As highlighted in the introduction, D-SNAP provides one month of benefits to eligible
disaster survivors and can facilitate the issuance of supplemental SNAP benefits for
ongoing households. To be eligible for D-SNAP, a household must live in the
identified disaster area, have been affected by the disaster, and meet certain D-SNAP
eligibility criteria.
This part describes the basics of D-SNAP policy, including:
•
•
•
•
Key concepts
Eligibility
Verification
Issuance
This section serves as a resource for common D-SNAP terms and definitions and how
they relate to D-SNAP benefits, eligibility, and issuance.
2.1. Key Concepts
Allotment
D-SNAP provides a full month’s allotment to households who may not normally qualify
for or participate in SNAP. The allotment for a household is equal to the maximum
monthly allotment for the household size provided under regular SNAP. D-SNAP
allotments are updated yearly and available on the FNS website.
As part of a D-SNAP, States should supplement the regular SNAP benefits of ongoing
households affected by the disaster to bring them up to the maximum allotment. For
more information, see Supplements.
Household Composition
Household composition is established as of the date the disaster struck. A household
includes those people living together, purchasing and preparing food together at the
time of a disaster. D-SNAP household does not include those people with whom
applicants are temporarily staying due to the disaster.
Example: Susan and her two children were affected by a tornado that struck their town.
All three of them are temporarily residing with Susan’s aunt until it is safe to return
home. When Susan applies for D-SNAP, she requests benefits only for herself and her
D-SNAP Guidance |8
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children, as the three of them lived together and purchased and prepared meals
together before the disaster struck.
Application Period
The State agency may accept applications for D-SNAP benefits from new households
and requests for supplements from ongoing households only during the application
period. If the State is accepting requests for affidavits from ongoing households over
the phone and mailing the forms to the household, the request must be received
during the application period. Each State agency can determine an appropriate amount
of time, such as ten days, to allow for the return of the affidavit for supplements.
FNS generally approves application periods of 7 days, though States retain the option
to operate for fewer days as they deem appropriate to the circumstances. The State
should inform FNS, as part of the D-SNAP request, whether applications will be
accepted on Saturday or Sunday.
The State should not begin accepting applications until public information and
outreach have begun, trained staff and resources are in place, and State systems are
ready to begin D-SNAP processing and issuance. More information about D-SNAP
timing can be found in D-SNAP Timing.
State agencies that need to change the application period dates from those in their
approved D-SNAP request must seek FNS permission to do so. In limited
circumstances, if demand for D-SNAP benefits among the general community or
specific groups/areas remains significant, FNS may consider State requests to extend
the application period beyond 7 days. States requesting an extension should consider
the ongoing need of affected households as well as resource availability and program
integrity concerns. For more information on extensions, see Changes to the D-SNAP.
Benefit Period
The benefit period is critical to determining
household eligibility: it is the period during
which disaster-related expenses may be
counted and the start date used to determine
household composition and resources. Only
income, resources, and expenses during the
Benefit Period Start Date
The date the disaster struck (known
as the Incident Period) is included in
every Presidential Disaster
Declaration for Individual Assistance
and is available on FEMA’s website.
benefit period are considered in determining D-SNAP eligibility. The benefit period
approved by FNS for each D-SNAP is 30 days, except in extraordinary circumstances.
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The benefit period begins on the date of the disaster or the date of any mandatory
evacuation preceding the disaster. This date is generally the first day of the “Incident
Period” provided by the Presidential Disaster Declaration. In some instances, State
agencies may feel it is appropriate to select a date later than the first day because of
when the storm struck a particular area. States considering this option should discuss
the appropriate start date to the benefit period with each locality prior to the
submission of the initial D-SNAP request.
Example: The Presidential Disaster Declaration for Individual Assistance lists the
incident period for a hurricane in six South Carolina counties as June 13 – 15. The
State confers with each county and determines that the hurricane struck the State on
the 13th and that is the appropriate start date for the benefit period. In this instance,
the benefit period would be June 13 – July 12.
Example: The Presidential Disaster Declaration for Individual Assistance lists the
incident period for tornadoes and flooding in 2 Illinois counties as August 26 – 30.
The State confers with the counties and determines that County A was struck by the
tornadoes on August 26th, while County B was mostly affected by subsequent flooding
beginning on the 29th. The State opts to utilize separate benefit periods in each county
in order to adequately capture disaster expenses for all households. In this instance,
the benefit period would be August 26 – September 24 for County A and August 29 –
September 27 for County B.
2.2. Eligibility
To be eligible for D-SNAP, an applicant household must first meet basic criteria,
including:
•
•
•
Residing in the disaster area
Purchasing or planning to purchase food during the benefit period
Experiencing an adverse effect due to the disaster. Households meeting the
basic criteria will then be measured against the D-SNAP income limits in order
to determine eligibility.
Residency
In most cases, the household must have lived in the disaster area at the time of the
disaster. States may also choose to extend eligibility to those who worked in the
disaster area at the time of the disaster. When submitting their D-SNAP requests
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States should specify if they will serve households that a) lived in the disaster area or
b) lived or worked in the disaster area.
Residency Requirement
Example: Michael lives in County X and works in
neighboring County Y. His place of employment was
damaged in the disaster, so he was unable to work and
experienced a loss of income as a result. The State
agency has opted to serve those who lived or worked in
the disaster area, so Michael can apply for D-SNAP,
based on his employment in County Y and his lost
income due to the disaster.
As in the regular program,
States can only serve their
own residents through DSNAP. In large disasters
where families may have
temporarily relocated to
other States, FNS may
grant approval for various
options under the D-SNAP
Purchase Food
Evacuee Policy developed
The household must plan on purchasing food during
in the wake of Hurricane
Katrina.
the disaster benefit period or have purchased food
during that time if the benefit period has passed. This
would likely apply to the majority of households, except
after very large disasters where households may remain in shelters and be served
through congregate feeding throughout the benefit period.
Adverse Effects
Disaster-related adverse effects fall into three categories: loss of income, inaccessible
resources, and disaster expenses. The household must have experienced at least one
of the following adverse effects in order to be eligible.
Figure 3. Types of Disaster-Related Adverse Effects
Adverse Effects
Loss of
Income
Inaccessible
Resources
Liquid
Resources
Deductible
DisasterExpense
related
Expense
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⁂ Lost or Inaccessible Income. Lost or inaccessible income includes reduction or
termination of income, or a delay in receipt of income during the benefit period due to
the disaster.
⁂ Inaccessible Liquid Resources. Inaccessible liquid resources (e.g., banks are closed
due to the disaster) during the benefit period. Note that this is an infrequent
occurrence, as household can usually access their resources via online banking or
ATMs even if bank branches are closed in the affected area.
⁂ Deductible Disaster-related Expenses. Out of pocket disaster-related expenses paid
(not only incurred) by the household that are not expected to be reimbursed during the
30-day benefit period. This can include damage to or destruction of the household's
home or self-employment business. Types of eligible expenses are described in more
detail in Adverse Effects.
Eligibility and Participation in Other FNS Programs
A household is not eligible for D-SNAP if it is already being served by the disaster
household distribution of USDA Foods, which is separately authorized under disaster
regulations. This disaster household distribution program is distinct from the normally
operating Food Distribution on Indian Reservations (FDPIR) and The Emergency Food
Assistance Program (TEFAP) as described below.
⁂ Food Distribution on Indian Reservations (FDPIR)
If a household received regular FDPIR benefits after the disaster occurred, it would not
be entitled to receive D-SNAP in the same month. FDPIR benefits received by a
household prior to the date the disaster struck should not be considered in
determining a household's eligibility for D-SNAP, since any benefits on hand at the
time of the disaster were likely destroyed.
⁂ The Emergency Food Assistance Program (TEFAP)
Households may participate in both TEFAP and the D-SNAP or SNAP in the same
month. However, if the TEFAP site offers an FNS approved disaster household
distribution of USDA Foods, a household may not simultaneously receive D-SNAP
benefits and a disaster household food package.
Disaster Gross Income Limit
Unlike regular SNAP, which includes separate tests for income and resources, D-SNAP
groups income and resources together under one test.
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The household's take-home income received (or
expected to be received) during the benefit period
plus its accessible liquid resources minus disasterrelated expenses (unreimbursed disaster related
expenses paid or anticipated to be paid out of
pocket during the disaster benefit period) shall not
exceed the Disaster Gross Income Limit (DGIL). In
D-SNAP Allotments and
Eligibility Standards
For the latest D-SNAP
allotments and eligibility
standards, go to:
calculating a household’s Disaster Gross Income,
http://www.fns.usda.gov/disast
income and resources. Resources are determined
SNAP_Handbook/guide.htm.
care must be taken to avoid the double counting of
ers/response/D-
on the first day of the benefit period; anything
received during the remainder of the benefit period would be counted as income.
Figure 4. D-SNAP Income and Resource Test
Total
Take-Home
Income
+
Accessible
Liquid
Resources
-
Deductible
DisasterRelated
≤
Expenses
Disaster
Gross Income
Limit
FNS calculates each year’s DGIL by adding together the maximum monthly net income
limit, the maximum standard income deduction amount, and the maximum capped
shelter expense deduction.
Disaster Gross Income Key Terms
The following are the definitions of terms related to the calculation of a household’s
disaster gross income. For more relevant terms, please refer to previous descriptions
in Key Concepts and Eligibility.
•
Income. The total take-home pay of household members. This includes:
o
Wages a household actually receives after all payroll withholding (payroll
withholding includes any automatic deductions from gross pay, such as
taxes, insurance premiums, contributions to 401(k) or other inaccessible
accounts, automatic payments to creditors, etc…)
o
o
Public assistance payments or other unearned income
Net self-employment income.
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Example: Laura Smith lives with her mother, Joan, and her three children. They are
not currently participating in SNAP. Their household was impacted by the disaster and
they apply for D-SNAP. Joan is employed and receives monthly take-home pay of
$1200, after payroll taxes and her health insurance premium are taken out. Laura
receives $850 in TANF benefits each month along
with $325 in SSI for her youngest child, who is
Disaster Assistance Payments
disabled. The family’s total income for D-SNAP
As mentioned in this part,
purposes is $1200 + $850 + $325 = $2375.
disaster assistance payments
•
Accessible Liquid Resources. Accessible liquid
are not considered accessible
resources include cash on hand, and funds in
liquid resources. However, the
first day of the benefit period. It does NOT
such as those from FEMA or
accessible checking and saving accounts on the
State must consider payments,
include:
home owners’ insurance, when
o
o
o
Retirement accounts,
determining deductible disaster
Disaster assistance received or expected
disaster-related expenses
Disaster insurance payments,
to be received during the benefit period,
o
Payments from Federal, state or
county/local government agencies or
disaster assistance organizations
(including disaster-related
Unemployment Compensation).
related-expenses. Deductible
include only those expenses
paid out of pocket and not
reimbursed during the disaster
period. For a disaster-related
expense that is reimbursed,
only the net expense is
deductible.
Example: On the day the disaster struck, Laura had
$50 in cash, and $250 in her checking account. Her mother, Joan, had an additional
$300 in her savings account. They are able to access the funds in their accounts.
They have applied for FEMA assistance for the property damage they incurred, but do
not anticipate receiving the payment before the benefit period ends. Their household’s
total accessible liquid resources are $50 + $250 + $300 = $600.
•
Inaccessible Liquid Resources or Income. Includes otherwise liquid resources that
are inaccessible (for instance, because a bank is closed due to the disaster) for a
substantial portion of the benefit period. Note that this is an infrequent
occurrence, as household can usually access their resources via online banking or
ATMs even if bank branches are closed in the affected area. Also includes receipt
D - S N A P G u i d a n c e | 14
Policy
of income which has been delayed for a substantial portion of the benefit period
due to the disaster.
Example: Laura & Joan’s local bank is closed, but they are able to withdraw money
from the ATM. Laura is also able to access the paycheck and assistance payments that
are deposited directly into her accounts.
However, the doctor’s office where Joan
Key D-SNAP Eligibility Questions
works is located in a part of town affected
• Did the household live (or work)
by the disaster, and her boss has informed
in the disaster area when the
her that the office will be closed for two
disaster struck?
weeks. She is an hourly employee and will
• Does the household plan to
not earn wages during the time the office is
purchase food?
closed. The earnings she would normally
• Did the household receive FDPIR
receive during those two weeks would be
or household disaster
considered inaccessible and not counted in
determining the family’s Disaster Gross
distribution of USDA Foods after
Income. Since Joan anticipates returning to
the disaster struck?
work and being paid during the second half
• Did the household experience a
of the benefit period, her anticipated
disaster-related loss of income
earnings for that time would be counted as
or a disaster related expense
income.
that will not be reimbursed
•
Deductible Disaster-Related Expenses.
Includes expenses that the household
has paid or expects to pay out-ofpocket during the disaster benefit
during the benefit period?
•
Does the household meet the
disaster income and resource
test?
period. Note that, if the household has received or anticipates receiving a
reimbursement for these expenses during the disaster period, only the net expense
is deductible. In addition, expenses which are incurred but not paid during the
benefit period, such as those paid by credit card if the bill is due after the benefit
period ends, are not considered out-of-pocket and are not deductible. For a list of
examples of disaster-related expenses, please refer to Adverse Effects.
Eligible expenses may include the following, plus any reasonable disaster-related
expenses as determined by the State agency:
o
o
o
Home or business repairs
Temporary shelter expenses
Evacuation expenses
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Policy
o
o
o
o
o
Home/business property protection
Medical expenses due to personal injury
Disaster-related funeral expenses
Incurred vs. Paid
Disaster-related pet boarding fees
Only expenses actually paid
Expenses related to replacing
during the benefit period are
necessary personal and household
deductible. To determine if an
items, such as clothing, appliances,
expense was paid for out of
tools, and educational materials
o
o
o
o
pocket or merely incurred, the
Fuel for primary heating source
Clean-up items expense
worker must ask the household
Storage expenses
Expenses paid by credit card are
how they paid for the expense.
Disaster-damaged vehicle expenses
not deductible unless the bill is
Food lost or spoiled due to the disaster or extended
power outage may also be considered a disaster
also paid during the benefit
period.
expense. Including “food loss alone” as a criterion
for eligibility is optional and, if applicable, is included in the D-SNAP approval from
FNS. (For more information on use of food loss alone as an eligibility criterion, see
Food Loss).
Example: Joan’s car was damaged in the disaster and the total cost of the repair is
$700. Joan’s insurance covers $500 and she will pay $200 out of pocket to have it
repaired so she can continue to go to work. The full cost is not counted for D-SNAP
purposes; only the $200 Joan paid is considered a deductible expense. Laura and
Joan’s home was also damaged and repairs will cost $3000 in total; they’ve paid $400
out of pocket so far. They have not yet received FEMA assistance or reimbursement
from their home owners insurance and do not anticipate receiving those payments
until after the benefit period ends. They also lost $125 worth of food due to the
extended power outage following the disaster. In total, their deductible disasterrelated expenses are: $200 + $400 + $125 = $725.
Figure 5: Calculating the Smith Family’s D-SNAP Eligibility
Total
Take-Home
Income:
$2375
+
Accessible
Liquid
Resources:
$600
-
DisasterRelated
Expenses:
$725
<
Disaster
Gross Income
Limit:
$2821
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Disaster Guideline Income Limits including Disaster Expenses
With FNS approval, a State can choose to incorporate into their disaster income limits a
standard disaster expense component. Determining a household’s deductible
disaster-related expenses can be difficult and
time-consuming, particularly with high
applicant volume. Some States have found that
incorporating a standard disaster expense
deduction into the income limits can simplify
eligibility determination. States considering this
option should carefully consider if its use is
appropriate to the type and severity of the
disaster. Those interested in using these
specialized income limits should contact FNS
for technical assistance and approval. See
Disaster Standard Expense Deduction for more
information.
2.3. Verification Basics
Virginia Disaster Standard Expense
Deduction (DSED)
In 2005, the Virginia State agency
requested help from FNS in
developing disaster income limits
that incorporated a standard for
disaster expenses. FNS provided
technical assistance to develop
guidelines based on typical disaster
expenses in past Virginia disasters.
Virginia’s Disaster Standard Expense
Deduction has subsequently been
used by other States to simplify DSNAP application processing.
Verification rules are eased during a disaster to
reduce administrative burdens and to reflect the reality that households and eligibility
workers may not have access to usual verification sources. Verification requirements
in D-SNAP are three-tiered: 1) Identity must be verified; 2) residency and
loss/inaccessibility of income or liquid resources should be verified where possible;
and 3) household composition and food loss can be verified if questionable.
Each disaster is unique and the availability of verification will likely vary depending on
the circumstances. For example, in a disaster where strong winds caused extended
power outages, households would likely be able to provide proof of residency and
household composition, while households that lost their homes due to tornadoes or
hurricanes likely will not be able to provide these documents. When planning for DSNAP operations, preparing public information, and conducting staff training, States
should consider the types of verification (such as power outage maps, data matches,
etc…) that may be available to the agency, and to the household for a given incident.
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For more details on verification, including suggested ways to verify each item, please
refer to Verification.
2.4. Issuance
Each State must be prepared to issue D-SNAP benefits through its Electronic Benefits
Transfer (EBT) system during an emergency while successfully interacting with that
State’s eligibility system and their EBT contractor’s system. EBT issuance is a required
component of State Disaster Plans.
A State’s D-SNAP issuance plan should incorporate procedures for:
•
Ensuring that benefits are made available as soon as possible and no later than 3
calendar days (except in questionable cases in which issuance may be delayed up to
7 days) from the date the application was filed.
•
•
Accessing sufficient card stock to operate a D-SNAP.
Minimizing the number of times recipients return to a disaster assistance location
for benefit application and issuance. Ideally, this would require only one visit.
•
Providing easy integration and reconciliation with the State’s eligibility system and
the EBT processor’s database, as well as access to information on a State’s disaster
EBT system via on-line data and off-line reports.
•
Checking for duplicate participation of all household members.
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Part 3. Planning
Although it is impossible to be completely prepared for disasters, State agencies and
FNS Regional Offices thorough planning will mitigate the challenges of preparing to
operate a D-SNAP once the disaster has struck. This part outlines some pre-planning
activities that the Regional Office and State agency should perform to increase disaster
preparedness.
This part covers the following areas:
•
•
•
Regional Planning
State Planning
State Preparation Highlights
Taking these steps will help establish communication and planning between State and
Regional Offices (ROs), ensure that staff is trained and up to date on policy and
processes, and provide a foundation for States and FNS to respond quickly and
appropriately to the particular needs of a disaster.
3.1. Regional Planning
Every year, each FNS Regional Office (RO) should review its internal D-SNAP plan,
revise the plan and train staff as needed. The RO should also engage in annual contact
with its respective States to discuss disaster planning.
Regional Plan
The Regional Disaster plan is an internal guide that ensures timely, high-quality
assistance to States with preparing for disaster operations, including D-SNAP planning,
implementation, and assessment.
⁂ Contents
The Regional disaster plan can take any form, but should include:
•
•
Standard Operating Procedures for D-SNAP and other disaster programs
Administrative and Communication plan:
o
o
o
o
o
Names and responsibilities of all lead personnel
Detailed description of the role of the field offices
Outline of delegated authority
Established lines of communication
Names and off-hours phone numbers of relevant staff
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•
•
Regional fraud control plan
Training plan for State and Regional staff
State Training
ROs should take advantage of existing meetings, conferences, and site visits to engage
in D-SNAP training with the State agencies within its region.
⁂ Objectives
The objectives of these trainings are to:
•
•
•
•
Clarify roles of State agency and Regional Office
Establish clear lines of communication
Help States develop and update their disaster plans
Allow States to share experience and knowledge
Possible contact and training opportunities include:
•
•
Face-to-face meeting with State agency
Review of D-SNAP readiness during Regional reviews, including Program Access
Reviews and Management Evaluations
•
•
•
3.2.
Participation in State agency-led disaster exercise with follow-up discussion
RO presentation about disaster preparedness at other State meetings
Region-led disaster webinar or teleconference
State Planning
SNAP regulations require State agencies to maintain current disaster plans. Each State
agency must review its existing D-SNAP plan on an annual basis, revise if necessary,
and submit a copy to the RO by August 15 of each year. Alternative plan submission
dates may be negotiated with the ROs on a case by case basis as appropriate.
Each State D-SNAP plan must include:
1. Roles and Responsibilities
2. Resource Readiness Plan
3. Implementation Plan
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Policy
These three components must address the following elements:
Roles and Responsibilities.
•
Agencies and Responsibilities. Identity of county/local, State and Federal
government agencies with responsibilities for disaster assistance, including a
description of responsibilities for each agency. See Context of D-SNAP in
Government Disaster Response.
•
Points of Contact. Provide names, positions, and phone numbers of
county/local, State and Federal government officials and their back-ups who are
key contact persons during a disaster (including the State agency disaster
coordinator).
•
Community Partners and Roles. Identify private disaster relief agencies within
the State such as the Red Cross, Salvation Army, or community groups and a
description of their role in D-SNAP implementation. See Volunteers.
Readiness Plan.
•
Staffing and Resources. Identify staffing and
related resources available to assist in a disaster
County
Administered?
County
Administered?
disaster areas in need. Explain how the
shouldhave
haveplans
special
should
andplans
and agreements
in place
to
agreements
in place
to allow
and how they will be mobilized to target
State/counties will manage the increased
administrative burden associated with running a
D-SNAP and regular SNAP operations
simultaneously. See Staffing.
•
County
Countyadministered
administeredStates
States
allow for sharing of
for sharing of information,
information, resources, and
resources, and staff across
staff across county lines.
county lines.
Application System Development. Describe application systems to be used for
D-SNAP client management, including any workarounds to the regular SNAP
system, considerations associated with running SNAP and D-SNAP operations
concurrently, compliance with D-SNAP reporting requirements, etc.
•
Issuance System Development. Describe issuance systems to be used for D-
SNAP client management. For more information on contracting and developing
a D-SNAP issuance system. See the EBT Planning section in the Toolkit for State
Agencies.
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•
EBT Card Stock. Identify EBT card stock available, type of cards to be used,
steps and timeline for ordering additional cards, and any special procedures or
resources that will be needed to meet ongoing SNAP and D-SNAP issuance
timeframes. See EBT issuance.
•
Application Sites. Describe site selection procedures, including potential
application/issuance sites for disasters that vary in size and scope and any
agreements in place with those locations. If D-SNAP will operate out of local
offices, explain how application sites will handle running D-SNAP and SNAP
concurrently. See Application Sites.
•
Data. Identify general demographic data that can help the agency tailor its
response to a disaster. Identify available data and information from sources
such as Social Security, Supplemental Security Income, Medicaid, or communitybased organizations that can be used to locate vulnerable populations. Identify
resources for disaster impact data, including preliminary data assessments,
flood maps, or electrical outage data. See Data Collection.
Implementation Plan.
•
Public Information and Outreach. Describe public information strategy to
ensure timely, accurate information reaches those in need. Outline roles,
expectations, and responsibilities of any regular SNAP outreach partners
included in the State Outreach Plan that will assist with D-SNAP. Include
potential community partner activities focused on identifying and promoting
access for vulnerable populations, such as persons with disabilities and the
elderly. For more information on community partner involvement and D-SNAP
outreach, see the Outreach section in the Toolkit for State Agencies.
•
Retailer Communication. Describe procedures to notify retailers of new waivers
(i.e., Hot Foods) and new D-SNAP clients.
•
Procedures to Reduce Applicant Hardship. Outline steps State will take to
reduce hardship for D-SNAP applicants and ongoing caseload, including
provisions for security, human needs, language services, etc… See Human
Comforts.
•
Certification Process. Describe the specifics of the certification process
including potential application sites, staffing, separation of eligibility and
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issuance, and how application sites will manage large crowds. If online pre-
registrations, electronic applications, or other technologies are to be used by
workers or clients, describe that process and back-up systems in place if
technical issues are encountered. See Application Processing.
•
Client Materials. Include recipient application and client notices. See Part 1 in
the Toolkit for State Agencies.
•
Issuance Process. Describe how
benefits will be made available within
72 hours of D-SNAP application and
how to ensure continuation of ongoing
SNAP certification, issuance, and other
actions concurrently. Indicate how the
State will monitor stock levels and
ensure sufficient EBT card stock.
Describe EBT card reconciliation and
security procedures. See EBT issuance.
•
Emboss EBT cards?
D-SNAP can put a strain on State
processes. States that have timeintensive steps as part of the
issuance process, such as
individually embossing EBT cards,
should have a plan in place to ensure
benefits can be issued to a largevolume of D-SNAP applicants within
72 hours.
Security and Fraud Prevention Plan.
Describe how the State will ensure security and mitigate the risk of fraud,
including a specific plan for handling applications submitted by State agency
employees, procedures for handling questionable applications, and process for
checking all household members for duplicate participation. See Fraud
Prevention.
•
Disaster Reporting and Post-Disaster Review Report. Describe procedures to
ensure that required federal reporting and post-disaster review report will be
complete and timely. See Daily Reporting and Post-Disaster Review Report.
Other State-Specific Considerations
Plans should address any circumstances unique to the State that may affect D-SNAP
operations, including coordination of resources among County-level administrations,
how to serve isolated populations, development of “work-arounds” to allow SNAP
systems to accommodate D-SNAP operations, and contingency plans for local offices
located in flood plains or otherwise subject to closure.
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3.3. State Preparations
In addition to the State Plan, advance preparations, including training staff on D-SNAP
policy and procedures, establishing data collection contacts and procedures, and
readying State certification and issuance systems, will facilitate an efficient and
effective D-SNAP operation.
Training
States must provide introductory and ongoing training on disaster eligibility,
application, and issuance procedures to relevant county/local and State staff on a
regular basis. County or local eligibility staff and supervisors that will work on D-SNAP
certification and issuance should be trained or re-trained before beginning to work at
D-SNAP sites.
⁂ Content of Training
States should consider covering the general information below in their D-SNAP
training. Training sessions held prior to the start of disaster operations should include
information specific to the disaster, in addition to the following.
•
Overview of D-SNAP certification process, including any special D-SNAP
systems. See Application Processing.
•
Roles and responsibilities for each person (screener, eligibility worker,
supervisor, etc) and lines of supervision. See Staffing.
•
Eligibility policy including: eligibility criteria, calculating eligibility, identifying
the benefit period and deductible disaster-related expenses. See Eligibility.
•
Verification requirements, acceptable documentation, and procedures for
handling questionable applications. See Verification.
•
•
Application forms and client notices.
Issuance of benefits, including: use of allotment tables (if applicable), any onsite
card/PIN issuance activities (if applicable), client training on card usage, lost
card replacement, PIN changes, etc. See EBT issuance and the EBT Planning
Section in the Toolkit for State Agencies.
•
Fraud prevention, including: formal fraud control measures in place, duplicate
participation checks, special procedures for employee applications (including
that 100 percent reviews will be conducted of approved employee applications).
See Program Integrity and Fraud Prevention.
•
Compliance with Civil Rights laws, including providing reasonable
accommodations for applicants with disabilities.
•
Public information (who is authorized to issue statements to the media). See
Public Information.
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•
Personnel matters, including: transportation to sites, hours, breaks, pay, safety,
stress management, communication with disaster survivors. See Staff Comfort
& Health.
•
Role of outreach partners. See Volunteers and the Outreach section in the
Toolkit for State Agencies.
⁂ Staff Orientation Guide
A disaster orientation guide posted on the State’s website or provided on site can be
very helpful to staff during a disaster operation. FNS encourages States to develop
such a guide in advance and add updates depending on the particular circumstances of
the disaster and D-SNAP. A thorough orientation guide includes some or all of the
following:
General items
•
•
•
Time sheets
Safety information (e.g., water use, aftershock precautions)\
Fliers on preventing stress (see
http://mentalhealth.samhsa.gov/publications/allpubs/KEN-01-0098/)
•
General contact information for State agency, State Emergency Management,
Outreach partners
Disaster-specific information
•
•
•
•
•
•
Location of disaster service sites, contacts and phone numbers
Transportation arrangements to and from site(s)
Identification needed for access to site(s)
Lines of authority
Maps (showing sites, hotels, airport, etc.)
List of onsite contacts, their hotels, and phone numbers
Data Collection
Agencies should make an effort to obtain and update demographic data during pre-
disaster planning and establish plans for how to evaluate impacted populations once
the disaster has struck.
⁂ Demographic Data
Although demographic information is not a required component of the D-
SNAP plan, having gathered general data can help the agency tailor its response to a
D - S N A P G u i d a n c e | 25
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disaster. Data on the following elements for each County will help State agencies to
respond appropriately when a disaster strikes:
•
•
•
•
Income levels
Percentage of SNAP households
Primary languages spoken
Percentage of elderly/disabled and infant populations
⁂ Disaster Impact Data
The State should have a plan in place for gauging the impact of the disaster in order to
determine if D-SNAP is the appropriate response and, if so, target areas most in need.
This information is critical in making decisions about staffing, resource allocation, the
length of the application period, and the most appropriate D-SNAP application sites.
While FNS will consider various data sources in making a determination on mass
supplemental issuance, or mass replacements, FNS will ask the State to provide data or
other evidence that at least 50% of households in a certain defined area (i.e., county,
neighborhood, Zip Code, etc.) have been impacted by the disaster.
The most commonly used data are power outage charts and maps which indicate an
extended outage of four hours or more affecting the majority of the population. At
times, States have difficulty obtaining this information in post-disaster situations.
Developing contacts and lines of communication in advance will help ensure that State
agencies are able to get this information when they need it. FNS recommends working
with some or all of the following to establish connections in advance of a disaster:
•
•
•
•
Utility Companies
State Emergency Management
Governor’s Office
State LIHEAP Coordinator
State Systems
The State must have systems established and in place to ensure efficient and effective
D-SNAP certification, issuance and reporting, including checking for duplicate
participation. Refer to EBT Planning section in the Toolkit for State Agencies for more
information.
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Part 4. Requesting a D-SNAP
This section is designed to cover the time period from when the disaster strikes
through the submission and approval of the D-SNAP request. While good pre-
planning is crucial for successful programs, States must also be prepared to revise and
adapt their plans and to quickly develop the details of the request and logistics of the
program for each incident.
Topics covered in this section include:
•
•
•
•
•
•
Determining the Appropriate Disaster Response
Post Disaster/Pre D-SNAP Considerations
Decisions to be Made Prior to the Request
Drafting the Request
Post-Approval
Additional Resources
4.1 Determining the Appropriate Disaster Response
Each disaster is unique. FNS offers several options for States and communities
recovering from a disaster to provide food for their citizens, including:
•
•
USDA foods for shelters and other mass feeding sites
USDA foods for distribution directly to households in need in certain limited
circumstances
•
•
D-SNAP benefits provided directly to households for purchasing food
SNAP waivers to assist ongoing households in the affected area. See Other
Disaster Waivers.
Often, some combination of these options will be
utilized in order to meet the changing needs of
survivors through the response and recovery process.
The most appropriate response is also determined by
the scale and scope of the disaster and the type, if
any, of Presidential Disaster Declaration that has been
issued.
Useful Resource:
http://www.fema.gov/news/
disasters.fema includes an
updated list of disaster
declarations, including the
type of declaration and
approved areas.
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⁂ Be Proactive
Early and frequent communication among the State agency, FNS Regional and National
Offices is vital for successful programs. Disasters can sometimes be anticipated and,
whenever possible, States are encouraged to begin conversations about potential
responses with their respective Regional Offices prior to the date the disaster strikes.
After the disaster has struck, States should keep their Regional Offices apprised of any
activity related to preliminary damage assessments and requests for an Individual
Assistance declaration. ROs will promptly inform the National Office of any
developments and provide technical assistance to impacted States as they develop any
necessary waiver requests. The ROs will provide their analysis and submit State
requests to the National Office the same day they are received. Every effort will be
made to review and respond to State requests within 24 hours of their receipt by the
FNS National Office.
During each D-SNAP planning and implementation, a clear communication plan should
be established at the State, Regional, and National Office levels. In order to facilitate
timely and frequent communication and troubleshoot potential issues, ROs should
designate contact people for each disaster and provide off hours contact information
to the National Office in the event that questions need to be answered or approval
provided on evenings, weekends, or holidays. The National Offices strongly
recommends that each RO to collect this information from its respective State agencies
as well.
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The Individual Assistance Declaration
FNS policy provides that States may request to operate a D-SNAP once the President
has issued a major disaster declaration for Individual Assistance. Other types of major
disaster declaration include public assistance and hazard mitigation. A Major Disaster
Declaration usually follows these steps:
Figure 6: The Disaster Declaration Process
Local government responds, supplemented by neighboring
communities and volunteer agencies. If overwhelmed, turn to the
state for assistance
The State responds with state resources, such as the National
Guard and state agencies
Damage Assessment by local, state, federal, and volunteer
organizations determines losses and recovery needs
A Major Disaster Declaration is requested by the governor, based on
the damage assessment, and an agreement to commit state funds
and resources to the long-term recovery
FEMA Evaluates the request and recommends action to the White
House based on the disaster, the local community and the state's
ability to recover
The President approves the request or FEMA informs the governor it
has been denied. This decision process could take a few hours or
several weeks depending on the nature of the disaster
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Is D-SNAP Best?
The Individual Assistance declaration does not necessarily mean that D-SNAP is the
appropriate response, or that it should be implemented in all areas that received the
declaration. D-SNAP is designed for situations where a large number of households
have disaster-related expenses not considered by the regular program and where the
need is so great that the vastly streamlined D-SNAP certification process is warranted.
When developing a disaster response, FNS encourages States considering a D-SNAP to
gather as much information as possible about the extent of the damage, population
demographics in affected areas, and the readiness and availability of resources (such
as staff, application sites, etc.) in addition to the considerations noted below.
The following chart illustrates the process flow of determining the most appropriate
response to meet the food needs of disaster survivors. It’s important to remember
that as the decision points change over time (i.e., power is restored and households
that could not prepare food at home are now able to do so), so too does the response
indicated. For example, a county that was struck by a disaster 3 days earlier may be
best served by congregate feeding; however, two weeks later, D-SNAP could be the
appropriate response.
Figure 7. Evaluating Food Aid Options
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By the same token, conditions may vary so much within the disaster area that
household distribution of USDA foods may best serve one area, while the population in
another is in need of a D-SNAP. This could be the case if a small, isolated area and a
large, densely populated one were both struck by the same disaster. In the larger area,
retailers may be operational and roads passable, allowing household to use their DSNAP benefits. In the rural community, stores and congregate feeding sites may be
difficult to access and a household distribution of USDA food may best serve the
population.
Other Disaster Waivers
Certain SNAP waivers handled by FNS’ Retailer Policy and Management Division (RPMD)
can be utilized to assist ongoing households impacted by the disaster, either instead
of or in addition to a D-SNAP. State Agencies must provide waiver requests to their
FNS Regional Office, which transmit the requests to RPMD for processing. The
following three RPMD waivers are the most frequently requested and approved:
•
Automatic/Mass Replacements – Per SNAP regulations, replacement benefits are
always available by affidavit to SNAP households anytime they experience an
adverse effect causing them to lose food purchased with their benefits. This
waiver allows the replacement of a certain percentage of a household’s benefit
(depending on the time of the month and the State’s issuance cycle) without the
need to submit individual requests. This waiver may be granted without an IA
declaration. This waiver does not remove the responsibility of local offices to
process individual affidavits before or after the waiver implementation as
required by 7 CFR 274.6(a).
•
Hot Foods – A waiver of the hot foods exclusion in the Food and Nutrition Act
allows SNAP households to purchase hot, prepared foods at authorized retailers
with their EBT cards. FNS has the authority to grant this waiver when an IA
declaration has been issued and may extend the waiver to areas beyond those
that received the IA if households that lived in the disaster area have been
displaced or temporarily relocated to other parts of the State.
•
Timely Reporting – This waiver extends the 10-day timeframe in which SNAP
households must normally report the loss of food purchased with their benefits
and request replacement benefits. This waiver may be granted without an IA
declaration.
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4.2 Post Disaster / Pre D-SNAP Considerations
Before planning for the specific disaster program can begin, several other factors need
to be considered, including overall readiness for the program and how to balance the
needs of both ongoing and D-SNAP households.
Immediate Response
In an effort to speed aid to their citizens, States sometimes attempt to begin D-SNAP
operations too soon. As noted in the chart above, D-SNAP is not appropriate if
floodwaters have not receded, power has not been restored to the area, roads are
impassable, or retailers are not operational. Under these circumstances, FNS
encourages States to delay the implementation of D-SNAP operations until the
program can more effectively serve households as they begin to return to their homes
and regain the ability to shop, cook, and store food.
D-SNAP Timing
Experience has shown that it generally takes a minimum of one week following a
disaster before communities are ready for a D-SNAP – longer for large-scale disasters.
FNS believes it is in the best interest of both States and applicants if the program does
not begin too soon, when survivors are likely focused on their more immediate needs
and may not be able to appear at the D-SNAP site or use their benefits.
Past D-SNAP operations have shown that programs that start too early often have few
applications in the first several days. As the community begins to recover and word
spreads about the D-SNAP, application sites are sometimes overwhelmed with more
applicants than they are able to serve in the remaining days, which can cause security
issues. In such situations, the State agency often requests an extension of the
application period. Extended application periods result in increased staffing and
resource costs for the State and may increase the likelihood of fraud in the program.
Based on lessons learned in past disasters, FNS recommends beginning program
operations:
•
•
No earlier than 1 week after the disaster struck;
At least 2 days after FNS approval, to allow sufficient time for publicity, staff
training, and site preparations;
•
After preliminary damage assessments, power outage, flood and/or evacuation
maps are available in order to estimate the number of potential applicants and
areas where it may be appropriate to target mass replacements/supplements.
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In addition, before D-SNAP benefits can be issued, the State must determine if enough
authorized food retailers are open in and around the disaster area. States should work
primarily with their EBT contractors to determine how many authorized SNAP retailers
in a disaster area have working point-of-sale
(POS) terminals and available telecommunications
to process EBT transactions. If necessary, the
manual voucher process can be used.
Continued Operation of Regular SNAP
States preparing to operate a D-SNAP need to
plan appropriately for management of their
ongoing SNAP caseload, as the regular program
ALERT
FNS’ Retailer Policy and
Management Division can utilize
the ALERT system to help
identify how many authorized
retailers in the disaster area are
able to process transactions.
must continue uninterrupted during D-SNAP
operations. Ongoing clients may need replacement benefits or may contact or visit
their local offices to inquire about eligibility for supplements or D-SNAP benefits.
Ensuring the ongoing clients will continue to receive uninterrupted benefits and timely
actions on their cases is just as important as meeting the needs of new D-SNAP
applicants. The addition of the D-SNAP caseload can tax already busy offices and
planning for the effective sharing of resources between the two programs, including
bringing in staff from other jurisdictions, directing D-SNAP applicants to an alternate
site, and arranging for overtime pay are all important issues to consider before DSNAP operations can begin.
4.3 Decisions to Be Made Prior to Request
States must make a number of decisions before drafting and submitting a D-SNAP
request. The following items should be discussed and considered carefully in the days
following a disaster.
Application Period
FNS generally approves an initial application period of up to 7 days. States may opt to
use some or all of the 7 days at their discretion. Except in extreme circumstances, this
length of time has proven to be sufficient for all applicants in need and helps to
protect program integrity.
Application periods may be staggered across counties (or other areas) as needed to
maximize staff and resources. Applicants may also be instructed to come on a specific
day or days based on some arbitrary factor, such as the first initial of their last name,
in order to avoid overcrowding. All applicants at the site must be served, even if they
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do not come on their designated day. Providing a ‘catch-all’ day or two at the end of
the application period for anyone who missed their designated day is a best practice
with this approach. States choosing these options should clearly explain why they
believe it will better serve applicants and staff to do so and present a clear plan for
publicizing and responding to questions about the roll-out or specified applications
dates.
Application Sites
For each disaster, the State must determine the exact number and location of
application/issuance sites. In small-scale disasters, States may wish to use the local
office as the D-SNAP application site. In each disaster situation, the State should make
clear in its publicity materials if applicants may come to any site or each site is specific
to residents of a given county or local area. Where the State predicts a large number of
applicants or where local offices have sustained damage, FNS strongly recommends the
selection of an alternate site(s). Some commonly used alternate sites include:
•
•
•
•
•
•
Schools
Stadiums
Libraries
Mobile Vans
University auditoriums
Rented trailers/trucks
Some States have chosen to co-locate their D-SNAP site with a FEMA Disaster Recovery
Center (DRC). FNS cautions that DRCs may not continue operation for the entire
application period or may be overwhelmed by the number of D-SNAP applicants so
States choosing this approach should prepare good contingency plans for back-up
sites as needed. States may also consider collaborating with their local public
transportation authority and community partners to provide transport to and from
application sites for remote populations, the elderly, and persons with disabilities. See
the Application Site Selection Guide in the Toolkit for State Agencies, which includes
useful considerations in choosing the most appropriate sites.
Benefit Period
The benefit period is the 30-day timeframe in which household income, resources, and
disaster-related expenses are evaluated. The date the disaster struck (or the date a
mandatory evacuation order went into effect, if applicable) should generally be used as
the first day of the benefit period to ensure that all eligible disaster-related expenses
can be captured within it. Household composition for D-SNAP purposes is also
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established on the first day of the benefit period. For more information on
determining the benefit period see Benefit Period.
Supplements
Supplements are an essential component of the disaster response, bringing ongoing
SNAP households affected by the disaster up to the maximum allotment for their
household size. By virtue of their participation in the regular program, the food needs
of SNAP households are already known and the impact of additional disaster-related
expenses will weigh heavily on this low-income population. Supplemental benefits in
order provide parity between new D-SNAP households and ongoing clients, who are
not eligible for D-SNAP benefits.
Figure 8. Calculating the Supplemental Benefit Amount
The maximum
monthly
allotment for
a household
of 2 is $367
A two-person
household's
regular
monthly SNAP
allotment is
$212
The State can
issue the
household a
supplement of
$155
The request to issue supplements and the supporting justification should be included,
whenever possible, in the State’s D-SNAP waiver request. States should be aware when
drafting their D-SNAP plans and waiver requests that ongoing SNAP clients need not
appear in person at the D-SNAP site. Since their identity and circumstances are
already known to the State agency, it is not necessary that they fill out a complete D-
SNAP application or be interviewed in order to receive replacements (discussed in the
next section) or a supplemental issuance.
⁂ Individual vs. Automatic Supplements
In a given disaster, the State agency must decide if it is most appropriate to issue
supplemental benefits on an individual basis, via the filing of an affidavit by the
household, or automatically, to all ongoing SNAP households in a designated area.
Individual supplements work best in areas where there is a small-scale disaster and
applicant volume is not anticipated to be very high. In order for individual
supplements to be effective, the State agency must have the capacity to handle
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requests for supplements and issue the supplemental benefits while it is also taking
applications from and issuing benefits to new D-SNAP households.
In order to obtain a supplement, households may complete an affidavit of disaster loss
in person or by mail. A template can be found in the Toolkit for State Agencies. FNS
encourages States to allow ongoing clients to request affidavits over the phone and
submit them by mail, alleviating potential crowd control issues at the D-SNAP site or
local office. Ongoing clients must make their request for these affidavits during the D-
SNAP application period. If requests are being accepted by phone, the State agency
must provide the client with a reasonable timeframe, such as ten days, by which to
return or mail the affidavit.
States with the technological capabilities to provide affidavit forms online may do so.
The State can choose to have these online forms printed, signed, and returned to the
office, or electronically signed and submitted online, depending on the specifications
of the State’s system. The forms should only be made available during the application
period. State selecting this option must also provide alternative means of obtaining
and submitting affidavits for households that cannot or prefer not to access
documents online.
Automatic supplements generally work best when there is a large-scale disaster and
the State agency is able to identify households that experienced adverse effects as a
result of the disaster. Automatic issuance can help the State agency quickly and
efficiently meet the needs of ongoing clients, while freeing up staff and resources to
assist the population of new D-SNAP applicants. However, States should bear in mind
that, even in highly impacted areas, the issuance of automatic supplements will
provide these benefits to some households that were not affected. This waiver does
not preclude the State from accepting individual affidavits before or after the waiver
implementation as required by 7 CFR 274.6(a).
States must include their plan to issue automatic supplements in their D-SNAP
requests and must be able to effectively target the benefits to geographic areas that
were heavily impacted by the disaster. Ongoing SNAP households not receiving
automatic issuance but who were living in the disaster area and experienced disaster
losses may still request supplemental benefits via affidavit.
Targeting the benefits to where they are most needed can be achieved through the use
of data such as:
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•
•
•
Preliminary Damage Assessments
Flood or mandatory evacuation maps
Power outage information (outage maps, lists of affected Zip Codes, etc...)
The information that can best support the need for automatic issuance will vary by the
type and scale of the disaster and the parameters of the D-SNAP. FNS encourages
States to work closely with their respective Regional Offices in order to determine how
to best find, use, and evaluate available information in a post-disaster situation.
Requests for automatic supplements must be accompanied by some form of
supporting data which indicate that a majority of the population in given area has
suffered an adverse effect as a result of the disaster. It is important to note that
automatic supplements need not be issued only at the county level. For example, if
the data show that a given zip code within a declared county was most heavily
affected, automatic supplements can be targeted to those zip codes and individual
supplements via affidavit made available through the rest of the county.
Replacements
Per SNAP regulations, replacement benefits are always available on an individual basis
to ongoing SNAP households that lose food purchased with their benefits, provided
they report the loss within ten days. If a State believes that the severity of the disaster
would prevent households from requesting replacement benefits within the normal
timeframe, it can request a waiver of the timely reporting requirement in order to allow
impacted households sufficient time to report their losses and request replacement
benefits. This waiver request is handled by FNS’ Retailer Policy and Management
Division and does not require an IA declaration. Under the waiver, if the timely
reporting day end date falls on a weekend, the reporting period is extended to the next
business day.
⁂ Automatic/Mass Replacements
The automatic/mass replacement waiver allows a State agency to replace a
portion/percentage of currently certified households’ monthly SNAP allotments in a
disaster without the requirement that a household request a replacement, individually,
and travel to a local office to sign an affidavit of loss. Under this waiver, households
will not have the added burden of signing paperwork and local offices will not have to
process cases manually for each household needing a benefit replacement.
The replacement percentage is not fixed and generally depends on the time of the
month in which the disaster took place as well as the State’s issuance schedule. The
request for an automatic/mass replacement waiver is handled by RPMD and may be
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requested even if there is no disaster declaration or the State does not plan to operate
a D-SNAP.
The State needs to assess the extent of the losses to make a determination as to the
percentage of benefits to be replaced. The automatic/mass replacement waiver should
be submitted to the Regional Office. The Regional Office will forward the waiver
request to RPMD for consideration.
Although each request is handled case by case, RPMD considers various data sources
when making an automatic/mass replacement determination, such as evidence that 50
percent of the households in a defined area (i.e. county, zip code, and neighborhood)
have sustained damage that lead to food loss. The most commonly used data is power
outage charts or maps which indicate an extended outage of four hours or more
affecting the majority of the population. Four hours is the minimum power outage time
needed, but States may choose to designate a longer timeframe, if appropriate. In
addition, the likelihood of perishable vs. non-perishable food loss should be taken into
consideration. For example, during a power outage, only perishable food would be
lost, however, in a flooding situation, both perishable and non-perishable food items
may have been lost.
Food Loss
The loss of food due to the disaster can have a profound impact on vulnerable
households. Households already known to be most in need – ongoing clients – can
always request the replacement of lost food that was purchased with their SNAP
benefits. In recent years, many States have opted to allow new households whose only
adverse effect is food loss to qualify for D-SNAP if they are otherwise eligible. This
policy results in a higher number of eligible households which may lead to increased
crowds at D-SNAP sites. States interested in using food loss alone as a qualifying
factor for D-SNAP eligibility should carefully consider the needs of the effected
population and the resources available to serve large numbers of applicants.
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Figure 9. Questions to Consider in Using Food Loss Only
Is the State agency prepared to...
•Use disaster impact data to confirm households' residence in the areas most
likely to have experience extended power outages or other conditions that
would cause food loss?
•Designate alternate sites and have sufficient staffing to handle high
applicant volume?
•Issue benefits to large numbers of applicants in a timely manner?
It is D-SNAP policy that food loss should be verified where questionable. Any State
considering a “food loss only” eligibility policy should use available verification, such as
power outage maps showing affected homes or zip codes, to guard against fraud in
this area. The use of this information should be widely publicized and households
screened upon arrival to verify their residence in the affected area. Households
reporting excessively large amounts of food loss, or any other questionable
information, should be referred to fraud investigators or senior staff for further review
and the State may consider delaying issuance of D-SNAP benefits.
Disaster Standard Expense Deduction
With FNS approval, a State may choose to utilize a Disaster Standard Expense
Deduction (DSED) in lieu of actual disaster expenses incurred by a household, provided
that food loss alone is not the only qualifying expense. The DSED currently used by
several States is based on information gathered from actual disaster-related expenses
reported in a prior D-SNAP in which food loss alone was not a qualifying disaster
loss. As the DSED is designed to capture food loss along with other disaster-related
expenses, such as loss of income and damage to or destruction of property, it must
not be applied to cases in which food loss is the only disaster-related expense.
Only households with actual, unreimbursed disaster-related expenses equal to or
greater than $100 qualify for the DSED. Households with deductible disaster-related
expenses that fall below the $100 threshold should have their eligibility determined
using their actual expenses. If a household has disaster expenses which exceed the
DSED for its size, the State may, at its option, use actual expenses to determine
eligibility. This requires materials and worker training on both methods of eligibility
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determination. All applicants must list the type and value of their actual disasterrelated expenses on their D-SNAP applications.
For households with $100 of more in deductible disaster-related expenses, the DSED
is added to the Disaster Gross Income Limit (DGIL) and households whose take-home
pay plus available liquid resources is less than or equal to the DSED+DGIL would
qualify for D-SNAP benefits. The DSED-DGILs are updated annually and the amounts
for the appropriate fiscal year should be used for each disaster program.
Figure 10. Example Determining Eligibility with Disaster Standard Expense Deduction
The State computes DSED-DGILs using a DSED of
$1,187 for a 3-person household + the $2,151
DGIL for the same household size to arrive at a
limit of $3,338.
A 3-person household applies for D-SNAP and
attests that it has incurred deductible disasterrelated expenses during the benefit period.
The eligibility worker compares the household’s
actual take-home pay and liquid resources of
$3,072 to the limit of $3,338 and determines that
the household is eligible for D-SNAP.
States electing this option should include it, along with the approved income limits in
their D-SNAP plans. States may utilize the existing DSED or may create their own
based on actual expenses reported in past D-SNAPs. Any State wishing to create a new
DSED must do so in consultation with FNS. In reviewing State D-SNAP plans each year,
FNS Regional Offices must inform the National Office of any States that intend to utilize
the DSED option. While a State may deviate from its plan to either use a DSED or not
depending on the circumstances of a given disaster situation, FNS encourages
forethought in this area, as the use of the DSED requires updated annual figures,
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potential modifications to materials, including D-SNAP applications, and thorough staff
training.
As with any option, there are a number of issues to consider before making a decision
about the use of a DSED. FNS urges interested States to weigh these factors, to discuss
possibilities with their Regional Office, and to engage other States that have utilized a
DSED in the past to share lessons learned.
Figure 11. Best Practices of Utilizing a Disaster Standard Expense Deduction
DSED is best suited to disasters where:
•Most households incurred damages to their homes, not just power outages
•The number of applicants is likely to be high and the streamlined
certification process with the DSED would promote timely processing of
applications
•Disaster impact data, such as power outage, flood, or evacuation maps are
readily available to the State agency for verification
•Sufficient resources are in place and staff have been adequately trained on
both the normal D-SNAP and DSED eligibility calculations
4.4 Drafting the Request
D-SNAP requests must be submitted with a signed cover memorandum from the State
and should include thorough explanations of the components listed below. Well
documented requests can be considered and approved more quickly, minimizing the
time needed for follow-up and revisions. Providing careful consideration of these
components in the request helps give FNS a more complete understanding of the
situation on the ground, the State’s readiness to begin program operations, and
potential red flags that could inhibit the State’s ability to implement a successful
program. Submitting this information up front gives FNS and the State partners
adequate time to make any necessary changes without delaying the start of program
operations.
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When transmitting requests to the National Office, FNS Regional Offices should note
any deficiencies in the State requests. Requests should be transmitted to the NO the
same day they are received in order to minimize the time between submission and
approval. The National Office can review the request and begin preparing a response
at the same time the RO is working with the State agency to clarify questions and
obtain any additional information. FNS strongly encourages the use of the D-SNAP
Waiver Request Template included in the Toolkit for State Agencies. The template
includes fields for all of the components noted below.
Components of the D-SNAP request
•
Disaster. Describe the incident – what, when, where.
•
Area. Note the geographic area included in the IA declaration and explain any
differences between the area included in the declaration and the requested area
in which to operate the D-SNAP.
•
Application Period. Give the start and end dates of the application period. If it
will be staggered, give dates for each county/area. Note if application sites will
be open over the weekend or for extended hours.
•
Benefit Period. Note the start and end dates of the 30-day period. The start of
the benefit period should generally match the first day of the “incident period”
on the disaster declaration. If not, explain the reason for the difference.
•
Eligibility. Include information on any options the State has chosen, including
whether or not food loss only will be a qualifying expense and if households
that worked but did not live in the disaster area will be eligible.
•
Expenses. Is a disaster standard expense deduction (DSED) being used? If so,
include income limits.
•
Ongoing Households. Will supplements be automatic or individual (by affidavit)?
If automatic, describe who is eligible and include supporting data. Also,
indicate an estimate of the value of issuances for automatic supplements. If
individual, include information on the process for requesting supplements – by
phone/mail affidavit or in person at local office/D-SNAP application site.
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•
Affected population/anticipated number of applicants. Include total number of
people, homes, businesses, etc… impacted by the disaster, estimates of
anticipated D-SNAP applicants, number of ongoing households to be served,
and an explanation of how both estimates were derived.
•
EBT. Describe issuance procedures, the number of cards on hand, and plans for
requesting, receiving, and distributing additional cards as needed.
•
Logistics. Describe application site(s), plans for publicity, and security/crowd
control. Address potential access issues for the elderly and persons with
disabilities.
•
Staffing. Include plans for utilizing staff from other program areas, counties, or
States, as appropriate. Indicate number of staff available and how
staff/supervisors will be distributed among the application sites.
•
Public Information/Outreach. Describe how program information will be
disseminated to the public. List partner organizations involved and describe the
responsibilities of each, including the role of volunteers, if applicable. Examples
of partner activities include spreading D-SNAP information on behalf of the
State or providing onsite application assistance.
•
Duplicate participation. Indicate how/when checks will be conducted and
include information on any special circumstances, such as border State issues.
•
Program Integrity. Describe fraud prevention strategies and security measures
in place.
•
Employee applications. Describe procedure for identifying and handling
applications by State agency/State employees. See the Prevent Employee Fraud
section for full list of required measures.
•
Additional information. Include draft press releases, sample application,
Preliminary Damage Assessments, IA declaration, and map of disaster area. In
addition to these required items, any other supporting documentation may be
included.
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4.5 Post-Approval
In a post-disaster environment, everyone wants to ensure that survivors have access to
the resources they need, so D-SNAP requests and approvals move quickly. After a DSNAP has been approved, the program may need to change for various reasons, such
as the addition of a new county to the IA declaration, an overwhelming number of
applicants, or a policy decision made at the State level. These circumstances, as well
as options for handling the transition back to normal program operations are
discussed below.
Changes to the D-SNAP after Implementation
The Stafford Act gives FNS authority to approve D-SNAP requests and any changes to
the D-SNAP require signed waiver approval from FNS. As with the initial submission,
State agencies must submit written, signed requests for changes to a D-SNAP.
Regional Offices should provide informal notice of any potential changes (via phone or
email) to the National Office as soon as they become aware of the State’s desire to
submit the request.
These requests, and their corresponding approvals, are generally shorter and can be
approved more quickly than the initial waiver, since much of the information about the
disaster is already known. The three types of changes to the D-SNAP are listed below,
along with an explanation of each.
Expansion: After initial approval, a State agency may want to expand operations
because an additional county has been added to the IA declaration or because the State
determined that a previously declared county was in need of the program. While the
application period in the expanded area may differ from what was originally approved,
the benefit period will generally remain the same. In such cases, the State agency
should submit to FNS a request for expansion, detailing the impact of the disaster in
the new area, the application period, and the anticipated number of applicants and
ongoing clients that will be served. If the benefit period will change, for example,
because flooding due to the same storms struck another County at a later date, the
new benefit periods dates and justification should also be included.
Extension: In some cases, States may find that their initial application period is not
sufficient to serve all eligible households and they may wish to request that the
application period be extended. In considering extension requests, FNS carefully
weighs ongoing need in the area with program integrity concerns. Requests to extend
the D-SNAP application period must be submitted with sufficient time for FNS review
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and approval prior to the end of the initial application period and should be
accompanied with strong justification of the need for additional time. Note that once
the application period has ended and operations have closed, further extensions are
not permitted.
Modification: A request to change an aspect of the D-SNAP other than those
mentioned above is known as a modification. Most modifications, including any that
would affect applicant eligibility, should only be made prior to the start of the
application period to ensure that the eligibility criteria are applied equitably to all
applicants. Occasionally, modifications may be made after the program has begun,
such as when a State that was originally approved for individual supplements decides
to issue automatic supplements in a certain area. Because of the limited window of
time in which most modifications can be requested, FNS encourages State agencies to
carefully consider their desired program options prior to submitting their initial
request.
4.6 Additional Resources
Resources to assist States in drafting their D-SNAP requests and planning for program
operations, including application and affidavit templates, sample press releases, a site
selection checklist, and a list of State/Regional contacts can be found in the Toolkit for
State Agencies.
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Part 5. Operating a D-SNAP
This Section offers guidance for State agencies as they prepare to implement their
D-SNAPs.
Highlights include:
•
•
•
•
•
•
•
•
Public Information
Site Set-Up
Application Processing
EBT Issuance
Daily Reporting
Fraud Prevention
Changes to the D-SNAP
Troubleshooting Administrative Challenges
5.1 Public Information
It is essential to take a proactive approach to public information and outreach from the
start of the disaster response. Providing accurate, timely information to the public
about what D-SNAP is, how it works, and who may be eligible is a crucial first step in
ensuring a successful program. FNS recommends allowing at least 2 days from the
start of publicity efforts to the beginning of the application period to allow people
enough time to hear and absorb the messages being presented. Experience has shown
that offering clear, consistent information about the topics below is particularly
important for crowd control, efficient application processing, and program integrity.
In developing public information campaigns, States should utilize all available outlets
to reach people. Given the fast pace of D-SNAP and the increasing use of social media,
such as Facebook and Twitter, by the public, FNS encourages States to use these new
ways of communicating in addition to traditional means, such as press releases, radio
and television PSAs, State websites, and newspaper articles. If State policy allows, FNS
encourages State agencies to explore the use of social media to broadcast messages to
the public about the items below. At minimum, States should closely monitor social
media sites for misinformation and potential program integrity concerns.
Organizations with whom the State agency partners for SNAP outreach can also assist
in getting information out to the public about D-SNAP. However, the State must
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ensure that partner organizations have a solid understanding of D-SNAP, the ways in
which it differs from SNAP, and the specific eligibility criteria and operational details of
each program. Clearly defined roles and responsibilities as well as lines of
communication, as discussed in the planning section, will help outreach partners to
serve as an effective resource in disseminating accurate, up to date D-SNAP
information to the affected population.
D-SNAP Eligibility Criteria
States have reported varied experiences with publicizing D-SNAP eligibility criteria.
Some find that it helps keep ineligible people from coming to the application sites
while others feel that it can have a negative impact on program integrity. FNS
encourages all States to publicize the geographic criteria, including whether those who
lived or worked in the area may apply. The public must also be informed that all
applicants are required to bring proof of identification and should bring any other
verification documents they may have. States should carefully consider whether they
believe releasing the income limits and the use of food loss as a qualifying criterion is
in the best interest of their respective programs. Sample press releases in the Toolkit
for State Agencies offer examples of both releasing the specific information and of a
more general notice that advises low-income households with disaster-related
expenses that they may qualify.
D-SNAP & Ongoing Clients
Ongoing SNAP households may be confused about their D-SNAP eligibility. Disaster
benefits for SNAP clients come in the form of a supplemental issuance to bring their
benefit to the maximum monthly allotment for household size. Public information
materials should clearly indicate the State’s supplement policy and provide affected
SNAP households with directions on how and where to obtain their supplemental
benefits. If supplements are being issued automatically, the material should
encourage ongoing households not to come to the site in person. Public information
materials should provide a contact number or a website where SNAP households can
find answers to any questions about their disaster benefits, including supplements and
replacements.
Where & When to Go
Publicity materials must include application sites for each county or area and should
indicate at what site(s) households in a given area can apply. It is important to indicate
the operating hours/days at each site, including if they will be accepting applications
on weekends or beyond normal business hours. If supplements are being issued in-
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person via affidavit, FNS encourages States to direct ongoing clients to their regular
SNAP office and set up an alternate site for new D-SNAP applicants.
What to Bring
States should notify potential applicants of any required and recommended documents
to bring to the application site. Even where verification is not required, FNS
encourages States to request that applicants bring any documentation they have.
Verification requirements are discussed in more detail in Section 4.3.
Program Integrity
In addition to the notices posted at the application site, public information campaigns
prior to the start of D-SNAP operations should inform potential applicants that
duplicate participation checks will be in place and that there are civil and criminal
penalties for committing D-SNAP fraud. The policy of delaying benefit issuance and
conducting further review of questionable applications should also be publicized. The
State may also wish to inform the public that it will be using resources such as maps to
verify residency in an affected area and wage matches to verify income. See Fraud
Prevention for a complete discussion of this topic.
Information for SNAP Retailers
In addition to publicizing information about eligibility and application procedures, FNS
encourages States to share information about D-SNAP with their authorized retailers
and EBT contractors, particularly in large disasters. Information can include:
•
•
•
Disaster waivers (e.g., hot foods waiver)
Estimated number of new D-SNAP clients
Possible changes to EBT card design
5.2 Site Set-up
Selecting an appropriate site and designing a layout which allows for orderly and
efficient application processing will help ease the burden of administering a D-SNAP
and make the experience as comfortable as possible for applicants. A number of
checklists to assist in finding and preparing D-SNAP application sites are included in
the Toolkit for State Agencies, including:
•
•
•
•
Application Site Selection Guide
Application Site Supply Checklist
Human Comforts Checklist
Application Site Readiness Checklist
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Security
Ensure that the level of security is commensurate with the anticipated number of
applicants. A strong security presence can go a long way in minimizing fraud and
maintaining control of large crowds. Suggestions for improving security on site are
detailed in the following table.
Figure 12. Improving Onsite Security
EBT Security
•Restrict access to issuance storage sites by arranging seating, eligibility determination
areas, and queues away from this area
•Minimize the number of staff that have access to the issuance/storage sites
•Coordinate card security procedures with law enforcement personnel onsite
Staff/Applicant Security
•Arrange site to minimize crowd density during wait
•Provide private break rooms and bathrooms to staff
•Minimize visibility of special treatment for elderly/disabled individuals
•Post signs at certain places in line estimating the wait from that point. Include hours
and days of operation for clients who prefer to return at another time.
•Give out numbers to reduce disputes over places in line.
Crowd Control
•Direct applicants with special needs to appropriate lines/waiting areas
•Utilize a zigzag pattern to manage a long line and create staging areas to keep people
moving
•Use the PA systems to broadcast pre-recorded, looped informational messages in
multiple languages.
•May assign households specific days within the application period based on an
arbitrary factor, such as the first letter of last name
•If all applicants in line cannot be seen, designate a cut-off point and issue tickets to
those beyond the cut-off to for priority return the next day.
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Staffing
States should anticipate that staff residing in areas affected by the disaster will need
time away from work to prepare for or recover from the disaster, so not all
county/local staff will be available to contribute to the D-SNAP. In cases where the
number of available county/local staff is insufficient to staff D-SNAP sites, States
should consider temporarily transferring staff from unaffected areas of their State or
requesting assistance from neighboring States. State agencies may also hire
temporary staff to operate the D-SNAP, as long as that staff are hired under State merit
system rules. State agencies should note that employment records of temporary staff
are subject to the same record retention and D-SNAP application review rules as those
of permanent staff.
See the “Staffing Suggestions” chart in the Toolkit for State Agencies to help identify
some of the staffing needs an agency may have, and some possible sources for needed
staff. Approximate staffing levels assume an efficient all-paper process. State
agencies employing online pre-registration or web-based D-SNAP applications should
expect significant changes to staffing needs and plan accordingly. FNS suggests
completing this table with specific sources or staffing needs identified during pre-
disaster planning. Maintain a list of the names, potential duties, and phone numbers
for key staff for reference during a disaster response.
⁂ Staff Comfort & Health
A successful program cannot be run without the help of dedicated staff. Staff burnout
and turnover can be minimized by providing adequately for their needs. If possible,
staff should be provided with:
•
•
•
•
•
•
•
Private break rooms
Separate bathroom facilities.
Temporary housing (for out-of-town staff)
Antibacterial lotion/wipes
Onsite first aid
Water
Meals
Telecommunications
D-SNAP sites will vary in their telecommunications access. States should recognize
that these capabilities can vary from one D-SNAP to the next and even from site to site
within a single program. Whenever possible, FNS recommends that application sites
are equipped with copy machines, scanners, fax machines, landline and/or cellular
phones, laptop computers, wireless connectivity, and printers.
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Depending on the site’s capabilities and the potential for off-site access to the State’s
eligibility or D-SNAP system, client applications may be entered into the system either
on or off-site. In either case, the eligibility determination system used must have the
capability to gather and store information on all household members, not just the head
of household, and must be capable of performing duplicate participation checks for all
household members before determining eligibility. Additionally, the State agency must
check denied D-SNAP applications against the eligibility determination system each
day, so that households that are denied and later reapply are detected and referred to
fraud prevention staff.
Human Comforts
Addressing the human comfort needs of applicants is very important to the disaster
response effort. Applicants may not come prepared for a long wait and will need some
of their basic needs provided for at the application site. Ensuring that these needs are
met is not only good customer service, but is also beneficial to the staff onsite as it
may decrease the likelihood of crowd control issues.
Application/Issuance sites should offer
applicants:
•
•
•
•
•
Water
Protection from the elements
Bathrooms
Snacks, when feasible
Minor medical care, when feasible
Site Layout
Preparing the Site
Use the “Human Comforts
Checklist” found in the State
Agency D-SNAP Toolkit, to help
prepare your application site for
the general population and find
special suggestions for serving
elderly/disabled applicants.
As soon as sites are selected, planning for the
layout and traffic flow should begin. Developing a flow chart and utilizing it during
site set-up can assist in spotting potential bottlenecks and other trouble spots as well
as in identifying staffing, security, supply, and other administrative needs. Particular
items to consider include:
•
Long lines. Will it be problematic if lines extend outside? How will this impact
the number of applicants, public safety in the area, or local traffic flow?
•
Heavy traffic. Will traffic to the site overwhelm local roads or affect daily
commutes? Should local law enforcement be notified of potential traffic/parking
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issues? Can traffic signals be reprogrammed and signs directing people to
alternate routes be put in place if necessary?
•
Parking. Does the site have sufficient parking that will not adversely affect the
local neighborhood if there are large numbers of applicants?
•
Weather. Are all applicants protected from the elements while waiting? How
would the site be affected in the event of inclement weather?
•
Privacy. Are interview areas arranged to allow for applicant privacy?
•
Entrances/Exits. How will the public’s ability to access the site be controlled?
Any special considerations if the site is also being used for other purposes (i.e.,
FEMA DRC, normal public library activities, etc...)
The Toolkit for State Agencies contains sample floor plans, modeled after those used
successfully in previous D-SNAP operations, representing a variety of sites and
configurations.
Posters & Notices
A State agency must post duplicate participation, fair hearing, and fraud prevention
notices at all application sites. Informational materials about how to use an EBT card
and advice for using SNAP benefits may be helpful as well, since new D-SNAP
households may not be familiar with SNAP rules. Sample posters are included in the
Toolkit for State Agencies.
The State agency must provide a written copy of the eligibility determination, as well as
written notification of the option for an immediate onsite review for denied
applications and of fair hearing rights to all applicants. If duplicate checks are being
conducted off-site, the notice should inform clients that any eligibility determination is
preliminary and the final determination is contingent upon the subsequent checks to
be performed. These notices may be combined into a single document.
Language Services
As previously discussed, gathering demographic information prior to the disaster will
help States assess the need for language services in a given project area. States
should follow the same guidelines in D-SNAP as outlined in SNAP regulations in
determining the need for materials in other languages.
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It is important to keep in mind that the
population of D-SNAP applicants will extend
beyond the low-income population served by
the regular program, so the needs of single-
language minorities not living in low-income
areas should be considered as well.
As part of pre-disaster planning, the State
agency should translate materials into the
Outreach Coordinators
Each FNS Regional Office has an
Outreach Coordinator who can help
your State prepare to effectively
utilize volunteers and partner
organizations through both your
Outreach and D-SNAP plans.
major languages spoken by non-English speakers within the State. After translating
appropriate materials, States should keep an electronic copy on file for easy access and
use in a disaster. Please see the Toolkit for State Agencies for sample D-SNAP
application templates in English and Spanish.
In addition to translated materials, onsite interpretation services may be needed. State
should consider all resources available for providing assistance with language
interpretation at D-SNAP sites, including:
•
•
•
•
•
•
•
Current staff
Language lines
Universities
Churches
Community centers
Private assistance agencies
Advocate/legal services groups
Volunteers
In the wake of a disaster, members of the community are often eager to share their
time and skills in efforts to help those affected. Volunteers can be a great asset to D-
SNAP operations, when properly trained and utilized. States planning to use volunteers
should familiarize themselves with any State or local regulations surrounding the use
of volunteers and liability. Volunteers may not be used to handle any merit staff
functions, including interviews, eligibility determinations, duplicate participation
checks, or EBT issuance but can provide extensive support to staff and applicants in
the following ways:
•
Translation/Interpretation. Provide language services to applicants with limited
English proficiency.
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•
Greeter. Welcome applicants as they enter application site and direct them to
the appropriate area.
•
Application Assistant. Distribute
applications, pens, and clipboards. Help
those who have difficulty understanding
or completing the application.
•
Disaster Outreach
Find more information about
effective disaster outreach and the
use of partners in the Disaster
Outreach Toolkit.
Pre-Screener. Talk to applicants waiting
in line about general eligibility criteria (not potential eligibility of a particular
household); review applications for completeness before applicants are
interviewed.
•
Human Comforts. Distribute food/water, direct applicants to restrooms or
medical facilities, assist applicants with disabilities and the elderly.
5.3 Application Processing
Completing the Application
States are responsible for creating and updating their own D-SNAP applications and
may wish to use the FNS template as a guide (See the Toolkit for State Agencies for
application templates in English and Spanish). While FNS recommends developing a
State-specific form during the pre-planning process, the application must be adapted
to fit the parameters of each disaster program. For example, an application for a
program that is using a Disaster Standard Expense Deduction should not include the
normal Disaster Gross Income Limits. The application must include fields for the
collection of information on all individuals in a household and may not contain
questions designed to elicit information beyond the eligibility requirements outlined in
Eligibility. States are restricted from adding other eligibility requirements, without
specific FNS approval.
At the D-SNAP site, staff and/or volunteers should be available to distribute
applications and answer any questions from households as they complete the forms.
Ensure that applications are as complete as possible before clients reach the interview
stage; this will help keep the process moving quickly. Post signs with simple
instructions, verification requirements, definitions of terms, etc… to aid in this effort.
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⁂ Online D-SNAP Applications
As States explore the use of new technologies and update their existing systems, some
have moved toward online registration and/or application for disaster benefits. Several
States have developed online pre-registration systems which go live only during
disaster situations. These systems allow households to submit some of the required
D-SNAP application information in advance. The system can then perform duplicate
participation and other checks before the applicant appears in person at the D-SNAP
site for the interview and required verification.
Web-based application systems, used onsite by State agency staff, have also been
developed and tested by a number of States. These systems allow for real-time
interaction with the State’s eligibility system and eliminate the need for clients to
complete a paper application. States considering either of these options should confer
with their Regional Office to discuss feasibility based on the availability of resources
and technical infrastructure.
Screening
Deploying pre-screeners to the lines or to the pre-interview waiting area is another
strategy to control crowds and improve customer service. Screeners should be familiar
with basic eligibility requirements so that they can readily share this information with
applicants. No applicant should be discouraged from applying; screeners should
simply offer information so that each household may make an informed decision about
whether or not it is worthwhile to stay and apply. Screeners can also check that
applicants have required verification documents and can direct ongoing clients and
new D-SNAP applicants to the correct lines.
Duplicate Participation
As previously noted, information regarding
duplicate participation checks should be
announced in publicity materials and posted at the
application site. States may check for duplicate
Best Practice
States operating a D-SNAP in a
border area may also want to
information up front or may accept applications
consider running duplicate
upon the subsequent duplicate check.
eligibility system of neighboring
States are required to screen for duplicate
were impacted by the disaster.
and inform applicants that eligibility is contingent
checks against the SNAP
States, particularly if both States
participation in:
•
•
D-SNAP and SNAP
D-SNAP and household disaster distribution of USDA Foods
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•
•
Multiple D-SNAPs with overlapping benefit periods
Approved D-SNAP and denied D-SNAP applicants
Interview
The D-SNAP interview, though brief, is an important element in the certification
process as it allows the eligibility worker time to review potentially confusing concepts
(such as the benefit period and deductible disaster-related expenses) and verify
information presented on the application. The State agency must conduct an interview
with all new D-SNAP applicants prior to certifying the household for benefits. As in the
regular program, households unable to apply in person may designate an authorized
representative to apply on their behalf.
⁂ Alternative Procedures to Ensure Access to the Interview
All interviews must be conducted at the D-SNAP site, except under circumstances in
which the State agency determines special alternative procedures are required to
facilitate the interview for applicants otherwise unable to appear physically at the D-
SNAP application site. Best practices for the State agency to consider in providing
reasonable accommodations and interview access to the elderly, persons with
disabilities, and other vulnerable populations include:
•
Satellite application sites strategically located to serve vulnerable populations
(i.e. community or senior centers)
•
•
Special public transport to and from application sites
Home visits to conduct the interview for applicants with disabilities that make
them otherwise unable to visit the application site
•
Skype or similar technology to facilitate off-site interviews
FNS expects and encourages the State agency to
consider the potential needs of disaster survivors
with disabilities in their community and to include
any special accommodations and alternative
interview procedures as part of their D-SNAP plan
and disaster-specific D-SNAP request.
Skype Interview
In 2013, the Colorado State
agency connected applicants at
an isolated local office
with eligibility workers at the
central D-SNAP application site
using Skype, thereby providing
access to the interview for
households unable to access the
application site due to flooding.
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During the D-SNAP interview, the eligibility worker should ask about:
•
Proof of Identity for head of household
o
•
•
•
Confirm names and birthdays of other household members
Household composition as it existed the day the disaster struck
Residency (or employment, if applicable) in the disaster area
Income available/anticipated during the entire benefit period
o
Confirm places of employment for all working members of the household
and record this information on the application
•
•
Accessible liquid resources available at the start of the benefit period
Impact of the disaster on the household
o
What adverse effects did the household suffer (i.e., flooding, wind
damage, power outage)
o
How much did they pay (or do they anticipate paying during the benefit
period) for these expenses?
o
How did they pay for these expenses? (only expenses paid out of pocket
and not merely incurred, are countable)
o
Did they receive reimbursement for any of these expenses?
In the past, some States have struggled with conducting interviews for all applicants
each day. States that anticipate large crowds should plan for sufficient staff and
application sites large enough to accommodate the volume of applicants. Some States
have found it helpful to advise applicants to come on a specified day, assigning days
based on the first letter of last name, in order to disperse the crowds evenly across all
days of the benefit period. However, any applicant coming to the site on a day other
than the one assigned should still be interviewed and not told to return on the
specified day.
In the past State agencies that were overwhelmed by the number of applicants have
issued numbered tickets to applicants that cannot be interviewed on a given day so
that they may return and be seen early the next day. This option should only be
considered as a last resort and State agencies considering use of this tactic should
consult with FNS prior to implementing this strategy. States considering issuing tickets
should take care to:
•
•
•
Create tickets that cannot be copied
Associate ticket numbers with client names
Ensure that people do not leave the site with copies of the D-SNAP application
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States often distribute applications to people waiting in line in order to speed up the
application process. Note that, if a completed application is submitted and the
household is not able to be interviewed that same day, the date of submission, not the
date of interview, is considered the application filing date. The State agency will use
the filing date as the start of the 3-day period in which benefits must be issued if the
household is determined eligible.
Verification
Verification rules are eased during a disaster to reduce administrative burdens and to
reflect the reality that households and eligibility workers may not have access to the
usual verification sources. State eligibility staff should exercise reasonable judgment
when evaluating the truthfulness of applicant statements. Figure xx details the DSNAP verification requirements.
Public information campaigns should indicate that applicants are expected to bring all
available verification documents, including those that are not required. In addition,
FNS encourages the use of data matching systems, such as the income and eligibility
verification system (IVES) and the Beneficiary and Earnings Data Exchange (BENDEX),
whenever possible and recommends that States publicize their intent to verify
information through data matches in order to deter and detect fraud. The data in the
system will not be able to provide an updated picture of household circumstances
post-disaster; however, the matches may assist in finding unreported sources of
income and suspect cases could be referred to program integrity staff for further
investigation.
Figure 13. Verification Requirements
Applicant Information
Status
Identity
Mandatory for
applicant
Suggested Ways to Verify
•
•
Photo ID.
Two documents that verify identity and
residency.
•
Signed affidavit from a collateral contact
attesting to the identity of the applicant,
where other sources of identity are not
available.
Residency
Where possible
•
Utility bills, tax bills, insurance policies,
driver’s licenses, other ID with address, bills,
or other documents that establish the
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applicant’s home or work address.
Household composition
If questionable
• After taking the application, the eligibility
worker can ask the applicant to orally list the
names, ages, and birthdays of all household
members.
Loss or inaccessibility of
liquid resources or of
Where possible
• Obtain a list of banks/ATMs that were closed
due to the disaster and compare with damage
maps.
income
• Check with the State Banking Commission.
• Confirm that applicant’s place of work was
located within most seriously damaged area.
Food loss
If questionable
• Use maps or lists to verify that applicant lives
within an area affected by power outage,
flooding, evacuation, etc….
• Confirm with the power company.
⁂ Questionable Information
Each disaster is different and in some disasters it will be easier for households to
document and State agencies to verify information than in others. Eligibility staff
should consider this in making an eligibility determination. In addition to the interview
strategies noted above, States:
•
MUST refer clients without required verification or with inconsistent information
to onsite investigators or highly experienced staff/supervisors for review.
•
MAY delay the issuance of benefits for up to 7 days from the date of application
(instead of the normal 72 hours) to allow some verification or cross-checking
for those with questionable applications. Delayed issuance should always occur
when eligibility staff suspects fraud.
Data Entry & Certification
States may use their regular SNAP eligibility system or a separate D-SNAP system to
certify applicants, provided that they can conduct the required duplicate checks with
the system they select. Data on all household members for all applications (denied
and approved) must be entered into the system. This may be done onsite to allow for
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upfront certification. Alternatively, applications may be gathered at the site and
delivered to another location, such as the local or central office, for data entry and
processing.
⁂ Off-site Data Entry
States selecting this option should be prepared to deliver batches of applications
several times per day, depending on volume, and must take into consideration data
security and privacy concerns. The time delay associated with this method should also
be taken into account as delays in data entry can result in delayed issuance and benefit
access for households in need. Finally, the normal data entry cut off times built into
the system may need to be amended to ensure that benefits are accessible to the client
within 72 hours of application, except in questionable cases in which the State may
delay benefit issuance for up to 7 days, as noted above.
⁂ Separation of Duties
Certification and issuance responsibilities must be separated in order to minimize the
risk of employee fraud. Volunteers may not participate in any certification, interview,
data entry, or issuance functions.
Assistance to Ongoing Households
If SNAP clients are being served at the same site as new D-SNAP applicants, there
should be separate lines and workers designated to work with each group. Ongoing
households do not need to complete a D-SNAP application; they only need to complete
an affidavit of disaster loss (unless supplements/replacements are issued
automatically). In addition, SNAP households’ identities and circumstances are already
known to the State agency, so they need not participate in a D-SNAP interview.
Even if supplements/replacements are issued automatically or if ongoing households
are directed to their local offices to request disaster assistance, the D-SNAP site must
be prepared to handle some regular SNAP clients who come seeking help. The site
should have available affidavits of disaster loss <> and a separate
line to serve any ongoing clients.
The following chart details the differences in eligibility and applications requirements
for new D-SNAP households and ongoing SNAP clients.
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Figure 14. D-SNAP Applicants vs. SNAP Households
SNAP
Households
Sign affidavit
requesting
replacements and/or
supplements (unless
issued automatically)
D-SNAP
Applicants
Complete D-SNAP
application
Must apply in person
Do not need to apply
in person
Must complete DSNAP interview
No interview required
The options for providing disaster benefits to ongoing SNAP households are discussed
in greater detail in Section 4.3. Specific operational considerations for each option can
be found below.
⁂ Automatic Supplements
•
•
•
How will clients be notified?
How will the system be programmed to issue the supplement?
When will this occur?
o
FNS recommends issuing the supplemental benefit prior to the start of
the D-SNAP application period, if possible, as ongoing clients are less
likely to go to the site if they have already received their benefits.
⁂ Individual Supplements
•
•
How will clients be notified?
How can clients request a supplemental issuance?
o
FNS encourages States to allow clients to call their local offices and
request that an affidavit be mailed to them or to provide electronic forms
for mailing or secure e-signature/submission.
o
States can also elect to accept affidavits in person at local offices and/or
D-SNAP application sites.
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•
When will this occur?
o
Clients may only request supplements during the D-SNAP application
period. If affidavits are being mailed, request must be made during
application period and the State agency may determine a reasonable time
period within which the affidavits can be returned or mailed to the office
for processing.
o
Affidavits mailed to the local office must be postmarked by the last day of
the application period.
⁂ Automatic/Mass Replacements
•
•
How will clients be notified?
What will the replacement percentage be?
o
In requesting automatic replacements, States must determine an
appropriate percentage of the month’s benefits to be replaced,
depending on the timing of the disaster within the issuance cycle.
o
States should work closely with their Regional office and the Retailer
Policy and Management Division to determine the replacement rate.
•
•
How will the system be programmed to issue the replacement?
When will this occur?
o
FNS recommends issuing the replacement benefit prior to the start of the
D-SNAP application period, if possible, as ongoing clients are less likely
to go to the site if they have already received their benefits.
⁂ Individual Replacements
•
•
How will clients be notified if the timeframe for reporting has been extended?
How can clients request a replacement benefit?
o
FNS encourages States to allow clients to call their local offices and
request that an affidavit be mailed to them or to provide electronic forms
for mailing or secure e-signature/submission.
o
States can also elect to accept affidavits in person at local offices and/or
D-SNAP application sites. This decision may depend on the time period
during which replacements may be requested as the period may have
passed before D-SNAP operations begin.
•
When will this occur?
o
Clients may request replacements:
During the ten day period following the loss, or,
Under the extended timeframe for requesting replacements if the
State has been approved for a waiver of the reporting deadline.
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Special Cases
During D-SNAP operations, questions often arise about households with special
circumstances. The following chart details the appropriate handling of these cases.
Figure 15. Households with Special Circumstances
Household Circumstance
D-SNAP Eligibility
Applied for but not yet receiving SNAP
Eligible as a new D-SNAP applicant
Received D-SNAP benefits for another
Not eligible for D-SNAP
Ongoing SNAP households with mixed
Individuals considered part of the SNAP household
disaster within the same benefit period
eligibility
Not income eligible for D-SNAP but
can receive a supplemental issuance; others can
apply as new D-SNAP households
Not eligible for D-SNAP; State agency may provide
eligible for SNAP under Broad-based
application for regular SNAP and certify household
Temporarily residing in a shelter
Eligible for D-SNAP, if household is not expected to
Categorical Eligibility criteria
Zero-benefit households
for ongoing benefits as appropriate
remain in the shelter for the entire benefit period
Eligible as a new D-SNAP applicant
Onsite Review
FNS requires that States provide for immediate, onsite supervisory review for denied
applicants. Eligibility workers should notify applicants of the right to this review, and
that it will not affect their right to a fair hearing. Denied cases must be inputted into
the State’s system in order to allow for duplicate checks and may not be reopened;
clients whose circumstances have changed after they filed an application and were
denied must reapply for the D-SNAP during the application period. Previously denied
households that reapply must be referred to supervisory staff or investigators for
review.
5.4 EBT issuance
By the time D-SNAP operations begin, States will have already selected their method of
card issuance. During the application period, the State agency will need to maintain a
sufficient supply of EBT cards to ensure that certified households are able to access
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their benefits within 72 hours of application (except in cases of delayed issuance for
questionable applications). Pre-existing plans for storing and distributing cards within
the State may need to be adjusted based on actual applicant volume at various sites.
Replacing Cards and Benefits for Ongoing Clients
Ongoing SNAP recipients may lose their EBT cards in a disaster, especially when they
have to relocate quickly to avoid harm. The EBT disaster system design should
incorporate procedures for ongoing cases to receive replacement cards as soon as
possible. For example, if the normal EBT replacement process is to mail the
replacement card to the recipient’s home, and the disaster response requires card
delivery to a disaster issuance site or alternative address in a non-disaster area, the
State must be able to override the regular EBT system.
It is possible that SNAP and D-SNAP clients who have been issued replacement benefits
for food lost in the disaster may subsequently lose that food in a second disaster or
power outage. In both instances, the procedure for replacing these benefits is the
same for any other issuance: in order for the State to replace the benefits, the client
would need to file an affidavit of loss in a timely manner.
Reconciliation
The State agency must develop a system for reconciling both cards and benefits.
Cards shipped from a central location should be tracked until distributed locally to
households. Each issuance site needs to maintain a beginning and ending inventory
and track new cards received, total cards available, and cards issued. The method of
distribution for cards – whether drop shipped, pulled from blank card stock, or mailed
or delivered by some other means will most likely dictate the specific requirements for
reporting and reconciliation. If the State assigns PINs, they must also account for PIN
mailers or envelopes to ensure adequate security, except when the PIN is formulated
from the Primary Account Number. The State must also reconcile the number of cards
set-up with EBT accounts and the number of cards issued and then research and
explain any discrepancies.
It is important that States track disaster benefits separately from ongoing benefit
issuance. Some States have defined distinct disaster food benefit codes to allow them
to track the disaster benefits on their EBT contractor’s system, which eases benefit
reconciliation each day. The EBT contractor has added separate disaster benefit lines
to administrative screens to enable the States to track disaster benefit drawdown
distinctly from ongoing benefits. States also must adhere to FNS reconciliation
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guidelines so that they can compare benefits posted to accounts to benefits issued by
the State eligibility system.
Expungement
State agencies may request to use a shorter timeframe (typically 90 days) for
expunging disaster benefits than for expunging regular SNAP benefits. Following the
implementation of the Food and Nutrition Act of 2008, this waiver requires approval
from FNS. State agencies that wish to implement this waiver must submit it along with
their D-SNAP requests to their respective Regional Offices for transmittal to the
Retailer Policy and Management Division. Any State operating under this waiver must
inform D-SNAP households of the timeframe for expunging benefits. This waiver may
only be used when the State has received an IA declaration and is operating a D-SNAP.
System designers must work with the EBT contractor to develop a process for
expunging disaster benefits from the EBT system. To do this, the State system must
identify the disaster cases and benefits uniquely, which is required for FNS reporting,
as well. The EBT provider should make a corresponding report to the State agency to
identify the value of disaster benefits expunged.
5.5 Daily Reporting
A State operating a D-SNAP must submit a daily report to its FNS Regional Office. The
RO will share this with the FNS National Office on the day it is received. Daily reports
are used to monitor program progress, troubleshoot problem areas, inform FNS policy
officials, and respond to inquiries from the media and other government agencies.
The State agency should begin submitting reports to their Regional Office on the day
following the first day of D-SNAP operations and continue submitting the reports on a
daily basis until all applications are processed. Reports must be submitted each day
even if no or very few applications have been submitted.
FNS requires that all States utilize the daily reporting template found in the Toolkit for
State Agencies. Data should be submitted by county, as indicated in the template. The
reports must contain:
•
•
•
•
•
•
Number of new households approved
Number of ongoing households receiving supplements
Number of new persons approved
Number of ongoing persons approved for supplements
Number of new households denied
Value of new benefits approved
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•
•
•
Value of supplements approved
Average benefit per new household
Average benefit per ongoing household
States may use the daily reporting sheet to track replacement benefits as well;
however, replacements are not considered disaster benefits and need not be reported
on the daily DSNAP reports as they are to be reported separately after the D-SNAP. See
Certification Reporting Post-D-SNAP for more information, including form FNS-388
which should include replacement issuance.
In addition to the quantitative data, the inclusion of any qualitative information with
the daily reports will help keep State and Federal policymakers up to date on the
situation on the ground. FNS encourages State agencies to submit these anecdotal
observations, along with any questions or concerns, to their respective Regional Office
throughout the application period.
5.6 Fraud Prevention
Effective fraud prevention strategies must begin in the pre-planning phase. In the
wake of a disaster, the focus is often on how to get benefits to survivors as soon as
possible. Agencies must find a balance between responding quickly and encouraging
participation and protecting program integrity.
State agencies should work with investigative staff from the start of the disaster
response to ensure that program integrity issues are addressed proactively. Focusing
on integrity during all phases of the disaster response will also minimize the likelihood
that problems will need to be addressed through audits. Thorough training of all staff
and supervisors on D-SNAP policy and fraud prevention strategies will also aid in this
effort.
Application/Issuance Site Controls
An important aspect of fraud prevention is appropriate internal controls. In order to
ensure that only eligible households receive benefits and that the amount of benefits
issued is accurate, States operating a D-SNAP must:
•
Input information for all household members into the eligibility determination
system to prevent individuals from obtaining benefits as a member of more than
one household.
•
Input denied applications into the eligibility determination system each day, so
that households that are denied and later reapply are detected and referred to
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fraud prevention staff. Note that such households may be eligible if their
circumstances have changed.
•
Check for duplicate participation using onsite or offsite computer databases or
hardcopy participant lists. Update computer database or hardcopy participant
lists every day.
•
Refer clients without required verification or with inconsistent information to
onsite investigators or highly-experienced staff for review.
In addition, State agencies may:
•
Confirm household composition by asking applicants at the start of the
screening interview for names and dates of births for all household members
and then requesting they repeat the information later.
•
Delay issuance of benefits for up to 7 days from the date of application to allow
some verification and/or cross-checking, either for all applicants, or for those
with questionable applications.
•
Request that households bring verification of non-required items (household
composition, residency, income/resources, and food loss) provided that
applicants are not denied based solely on the unavailability of verification.
Information for Applicants
The more information applicants have about eligibility and verification requirements,
the less likely they are to inadvertently provide erroneous information. States should
distribute fliers or play recorded messages at sites (in appropriate languages) with:
•
•
•
•
Program requirements
Administrative, criminal, and civil penalties for fraud
Notice that anti-fraud measures are in place
Review procedures, including 100% review of employee cases and requirements
to repay any overissuance
•
•
Results of completed investigations and/or arrests for fraud
Any existing State hotline number, website, or email address for reporting
applicant or recipient fraud
•
Information on what cannot be purchased with SNAP benefits
Prevent Employee Fraud
FNS recognizes that, in many cases, State agency employees are among the disaster
survivors and some may be legitimately eligible for D-SNAP benefits. States should
take care to balance encouragement of eligible employees to apply for program
benefits with the real risk that some close to the program may take advantage of their
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access to fraudulently apply for or issue benefits. FNS requires that State agencies
take these special measures to prevent employee fraud:
•
•
Use separation of duties for certification and issuance.
Include a question on the D-SNAP application asking if anyone in the household
is employed by the State or State SNAP agency.
•
•
Utilize supervisors or investigators to conduct employee certification interviews
Audit all approved State agency employee applications and publicize that policy.
FNS expects the State agency to review all approved applications from its
employees and to communicate that to employees up front.
States can also exercise additional methods of preventing employee fraud, including:
•
Auditing applications from all State and/or County employees, not just those
employed by the State SNAP agency.
•
•
•
Auditing all applications from volunteers and others onsite, such as local police.
Auditing denied applications from State agency employees.
Conducting a wage match for all State/County employees prior to issuing
benefits, if possible, or as part of the post-disaster review process.
•
Maintaining updated inventory of office equipment/supplies and comparing the
original list with what is present at close-out.
Monitoring and Reporting
FNS Regional Office and State agency staff should monitor all fraud prevention efforts
throughout the application period. Specific fraud concerns (i.e., a household that
applied at two different sites) should be flagged and shared among all application sites
and staff. Program integrity procedures should be modified as needed during D-SNAP
operations. Ongoing fraud issues, particularly those concerning employees, should be
promptly reported to FNS, so that we may provide oversight and guidance in dealing
with the issues.
5.7 Changes to the D-SNAP
As discussed in Post-Approval, a State may request waivers subsequent to the initial
approval which modify, extend, or expand the D-SNAP. Changes that occur during the
application period can present special operational challenges. Public information
materials must be amended so that potential applicants are aware of the changes. The
opening of additional application sites may be taxing for employees that are already
working overtime in unfamiliar environments. States considering changes to their
programs should carefully evaluate the availability of resources, including staff,
funding, and application sites, before making a request.
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FNS also encourages States to gauge the presence of ongoing need in the area(s) being
considered for potential expansion or extension as extending the application period or
expanding into areas not as heavily damaged may not result in more eligible
households being served. Experience has shown that families most in need of benefits
will often come during the early days of the application period and counties receiving
an IA declaration at a later date may not have been impacted as much as those
declared first. In addition, if a disaster declaration is not issued until several weeks or
months after the disaster struck, households still in need of food assistance may be
better served by regular SNAP.
Any request for an amendment to the initial D-SNAP approval must contain an
explanation and supporting documentation for the desired change. Requests for
extension must be submitted prior to the expiration of the initial application period,
with sufficient time for FNS to consider and respond to the request before the
application period closes.
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Part 6. Post D-SNAP
This part of the guidance handbook covers a State’s activities after program operations
cease. After the D-SNAP application period ends, the State has several responsibilities
to conclude the D-SNAP.
These include:
•
•
•
•
•
•
Closing out the D-SNAP application/issuance sites
Transitioning to regular SNAP
Certification reporting
Issuance reporting and reconciliation
Fair hearings, claims and restored benefits
Post-disaster review and after-action report
6.1. Closing Out the Application/Issuance Site
Staff should follow their State agency protocols in closing down D-SNAP sites. The
check list below is designed to facilitate these efforts.
Figure 16. Close Out Checklist
Check
█
Subject
Files
Suggestions
•
•
•
•
•
█
Issuance
Records
•
•
•
Organize applicant files using State’s standard practices
Include issuance documents in files
Review files to determine duplication
Determine length to retain files – Federal standard is
minimum of 3 years
Put files in boxes marked with site and box number
Reconcile issuance at all sites
Put issuance logs and records in boxes marked with site and
box number
Forward to State office
█
EBT Cards
•
•
Take inventory of EBT cards
█
Equipment
•
Take inventory of all equipment (computers, copiers, FAX
Return EBT cards to secure storage site
machines, telephones) and other supplies, and compare with
initial inventory
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•
Return equipment to lender, as appropriate
Complete time sheets for all personnel, including temporary
█
Staff
•
█
Building
•
personnel. Records are subject to 3 year retention.
•
Clean as much as possible
Maintain security until site is emptied
6.2. Certification Reporting Post-D-SNAP
Since funding is obligated once benefits are posted to the EBT system, State agencies
will have estimated the amount of benefits to be issued and will have provided this
estimate to the FNS Regional Office financial management staff to ensure that funding
ceilings are not exceeded. States are responsible for compiling and transmitting the
following post-disaster reports in a timely manner.
FNS-292B
Within 45 days of the termination of a D-SNAP
operation, the State agency must submit its final
disaster figures on the FNS-292B Report of
Supplemental Nutrition Assistance Program Benefit
Issuance for Disaster Relief. All reports should be
submitted electronically in the Food Programs
Need Help with Reporting?
FNS can help. State agencies
should work closely with FNS
Regional Offices to ensure
proper reporting.
Reporting System (FPRS).
The FNS-292B must contain the following issuance data for D-SNAP operations:
•
•
•
•
Number of Households – new households issued D-SNAP benefits
Total Number of Persons Assisted - new persons issued D-SNAP benefits
Number of Certified Persons - ongoing households issued supplements
Value of Benefits Issued - total of benefits issued to new households and
supplements issued to ongoing households.
The FNS-292B report should not include the value of any replacements issued, as they
are not considered a disaster benefit. States should report the value of replacements
on the FNS 388 Monthly Issuance Report.
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FNS-388
The Monthly Issuance Report (FNS-388) shall reflect disaster issuance and participation
figures, including replacement benefits. Beginning October 1, 2014, States will be
required to complete the revised FNS-388, which will include detailed issuance and
participation figures for new D-SNAP households and ongoing SNAP households
receiving disaster supplements and/or replacement benefits.
FNS-209
In the Remarks section of the Status of Claims Against Households Report (FNS-209),
State agencies should indicate the number of claims established and collected against
D-SNAP benefits. These numbers must also be included in newly established claims
(line 4) and collection summary (lines 14, 16 and 18(a)). D-SNAP claims must be
identified on backup documentation in accounting systems for the FNS-209.
FNS-46
States should explain in the Remarks Section of the Issuance Reconciliation Report
(FNS-46) what portion of the D-SNAP was reported in the Gross, Returns, and Net
Issuance. Beginning October 1, 2014, States will be required to complete the revised
FNS-46, which will include detailed issuance and participation figures for new D-SNAP
households and ongoing SNAP households receiving disaster supplements and/or
replacements. The FNS-46 and FNS-388 should reconcile with the reported Net
Issuance.
Figure 17. Timeline for D-SNAP Reporting
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6.3. Issuance Reporting and Reconciliation
The State also must address reporting and reconciliation areas unique to EBT systems
including card production and delivery, benefit authorization, and posting.
Card production and delivery reconciliation
Cards shipped from a central location need to be tracked until distributed to
households. Each issuance site needs to maintain a beginning and ending inventory
and track new cards received, total cards available, and cards issued. Some households
may already have a card (active from a prior period of participation), which they may
continue to use for their new disaster benefit. State agencies must track benefits
issued on existing cards in order to prevent confusion over differences in the number
of households approved and number of new cards issued.
The method of distribution for cards – whether drop shipped, pulled from blank card
stock, or mailed or delivered by some other means will most likely dictate the specific
requirements for reporting and reconciliation. If the State assigns PINs, they must also
account for PIN mailers or envelopes to ensure adequate security, except when the PIN
is formulated from the Primary Account Number (PAN). Several State agencies have
used drop ship manifests and found the need to alphabetize and sort them by location,
either prior to delivery or at the delivery site. This method requires additional labor,
which the State should consider when planning staffing and logistics for a disaster site
operation. The State also should reconcile the number of cards set-up with EBT
accounts and the number of cards issued and then research and explain any
discrepancies. For example, if a site that entered and activated 200 cards in a day and
issued 220 cards that day, the State must explain the discrepancy.
States may be able to minimize costs for system modifications by defining these needs
during initial system interface and reporting design. Toward the end of the disaster
operation, each State should examine their existing EBT reporting and reconciliation
systems to determine whether modifications are necessary to prepare for the next
disaster.
Benefit authorization and posting reconciliation
States must track disaster benefits separately from ongoing benefit issuance. Some
States (e.g., Florida, South Carolina, and Louisiana) have defined distinct disaster food
benefit codes to allow them to track the disaster benefits on their contractor’s system,
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which eases benefit reconciliation each day. The EBT contractor has added separate
disaster benefit lines to administrative screens to enable the States to track disaster
benefit drawdown distinctly from ongoing benefits. States must also have a method in
place to allow for tracking of multiple D-SNAPs simultaneously, in the event the State
is struck by two disasters within a short timeframe. States also must adhere to FNS
reconciliation guidelines so that they can compare benefits posted to accounts to
benefits issued by the State eligibility system.
Benefit expungement
To reduce costs and encourage households to use their benefits promptly, several
State agencies have sought to expunge any unused D-SNAP benefits after a period of
60 or 90 days. FNS must approve any expungement period less than 12 months.
System designers need to work with the EBT contractor to develop a process for
expunging disaster benefits from the EBT system. The EBT provider should make a
corresponding report to the State agency to identify the value of disaster benefits
expunged.
Ensure complete reporting to FNS of disaster benefits issued
Since funding is obligated once benefits are posted to the EBT system, State agencies
will have estimated the amount of benefits to be issued and will have provided this
estimate to the FNS Regional Office financial management staff to ensure that funding
ceilings are not exceeded. This needs to be updated periodically.
6.4. Fair Hearings, Claims and Restored Benefits
After D-SNAP operations have concluded, States will still have to resolve any issues
associated with fair hearings, claims and restored benefits.
Fair Hearings
The requirement to conduct onsite supervisory reviews of denied applications should
help to minimize the number of fair hearings requested. Even so, hearing proceedings
may be ongoing for several months after the application period has ended.
⁂ Who May Request
Any household who applied for D-SNAP benefits and was denied benefits may request
a fair hearing. A household that disputes the household size used in calculating its
benefit amount may also request a hearing.
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⁂ Who May Not Request
Households who did not apply for D-SNAP benefits do not have a right to a fair
hearing. This includes households who were unaware of the D-SNAP or who were not
able to reach the site during the application period.
⁂ Supervisory Review
A household which has requested a fair hearing is entitled to an immediate onsite
supervisory review. Households not satisfied with the outcome of this review retain
the right to request a fair hearing through the normal process.
⁂ Withdrawal of Request
If a household wants to withdraw its request for a fair hearing, it may do so in writing.
⁂ Fair Hearing Reporting
The number of fair hearings is reported on the FNS-366B, Program Activity Statement.
Claims
In general, States should follow their FNS-approved procedures for establishing claims.
⁂ Pre-establishment Cost Effectiveness Determination
State agencies have the option to follow the established claims threshold of $125 set
forth in Section 273.18 (e)(2)(ii) of SNAP regulations or to establish a D-SNAP cost
effectiveness threshold amount for establishing D-SNAP claims. States must indicate
their chosen option in their D-SNAP plans and include this amount in their D-SNAP
plan for approval by the Regional office. If the State agency does not establish its own
D-SNAP cost-effectiveness threshold, it may follow the FNS threshold of $125 set forth
in Section 273.18 (e)(2)(ii) of SNAP regulations and include this amount in its D-SNAP
plan.
⁂ When to Establish Claims
If a household receives D-SNAP benefits to which it was not entitled, the State agency
must establish a claim against the household consistent with the claims collection
requirements of SNAP regulations. However, if a claim is established against a
household for an overpayment of SNAP benefits, this amount may not be collected
from the D-SNAP allotment.
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The State agency shall establish claims and issue repayment demand letters for overissuances which are the result of:
•
•
•
Intentional Program Violations (IPVs)
Inadvertent household errors
Agency errors
Restored Benefits
SNAP regulations require State agencies to issue restored benefits to households when
benefits were lost:
•
•
Due to an agency error
When a denial of benefits is subsequently reversed
This requirement also applies to D-SNAP benefits; State agencies should follow their
normal procedures for issuance in such cases. The accountability system must clearly
indicate that an issuance was a restored benefit.
6.5. Post-Disaster Review Report
The State agency must conduct a comprehensive review of general program
performance and reviews of individual cases along with a problem analysis on the
review findings. The State will then incorporate these findings, lessons learned, best
practices, and proposed improvements to the State’s systems, operational procedures,
and D-SNAP plan into its Post-Disaster Review Report. Reports should be transmitted
to their respective FNS Regional Offices who will review reports and submit them to the
National Office D-SNAP Team.
Note that D-SNAP applications are not subject to Quality Control review and are not
included when determining SNAP timeliness and payment accuracy rates.
Post-disaster Report
The post-disaster review report is comprised of four parts: comprehensive review,
individual reviews, problem analysis, and proposed improvements. State agencies
shall compile and submit to their FNS Regional Office their completed reports no later
than 6 months after the close of program operations. D-SNAP approvals will include
the due date for the final report. ROs are responsible for working with their respective
States to ensure the timely completion of the reviews, analysis, and submission of the
report. Upon receipt from the State Agency, the RO will review reports to ensure all
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required elements are included and will transmit them to the National Office D-SNAP
team.
Comprehensive Review
The comprehensive review should begin with an overview of the D-SNAP operation,
including where and when it took place, how it was staffed, and the total number of
applications approved and amount of benefits issued. The State should then describe
the systems or methods employed, document any major problems encountered, and
discuss the interventions used to solve those problems in the following areas:
•
•
•
•
•
Certification systems
Fraud control
Issuance
Public information and outreach
Program access issues (e.g. persons with disabilities, the elderly, and other
vulnerable populations)
•
Security
Individual Reviews
The individual reviews include both a sample of new public cases and a review of all
approved State agency employee cases.
⁂ Public Case Reviews
States must review a random sample of 0.5 percent of new D-SNAP cases, up to a
maximum of 500 cases with a minimum sample size of 25 cases. The sample should
include both approved and denied cases. Ongoing SNAP households that received
supplemental benefits should not be included in this sample nor should State agency
employee cases. Although State agencies may wish to consult with an FNS statistician
when devising a sampling plan, FNS does not require that they do so.
⁂ Employee Case Reviews
In addition to the review of public cases, States must review 100 percent of all
approved State agency employee applications and may, at its option, also review
denied applications from State agency employees. In addition to determining if the
appropriate action was taken on the employee cases, the State should verify that the
application was handled appropriately, by a supervisor or onsite investigator, as
detailed in the State’s D-SNAP plan. FNS encourages States to review applications of
other State employees not employed by the State SNAP agency, particularly if they were
involved in work at D-SNAP sites.
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For both reviews, no cases may be dropped for any reason. The State agency must
report information gathered even from incomplete case reviews. FNS does not require
State agencies to alter their sample size if a large number of case reviews are
incomplete; however, States are encouraged to do so in order to draw meaningful
conclusions from the findings.
The required components of the individual review – case record review, verification,
and interview – are detailed below.
Case Record Review
o
States should review the household’s application for problems (such as
missing or inconsistent information, no identification provided, lack of
signature, etc.) and re-determine eligibility using the information given.
Additionally, the review should note any information the household has
given about their place(s) of employment at the time of the disaster,
which is helpful for both seeking verification of income and for locating
the client for their interview. States should note that at the time of
application, caseworkers should ask clients about their place of
employment at the time of the disaster and record that information on
the application.
Verification:
o
States should focus the review of verification on identifying clients who
failed to accurately report information known to them about their
circumstances, such as residency, food loss, income sources, or loss of
work. States should not focus on clients who could not accurately project
their circumstances for the disaster benefit period.
o
Residency: The State should verify that the client lived (or worked, if
applicable) in the disaster area defined for that D-SNAP. Residency can
be verified by comparing the client’s stated address to maps or lists
compiled for use by workers during the operation of the D-SNAP. In
most cases, the State agency would not need to request additional
verification of residency from the household.
o
Food Loss. If the State agency allowed food loss as a sole qualifier for D-
SNAP eligibility, the State should confirm that the household resided in a
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geographical area that experienced extended power outages of the
length designated in the D-SNAP approval, flooding, or was otherwise
affected by the disaster in a way that would be expected to lead to food
loss. Verification can be achieved by comparing the client’s stated
address to maps of power outages, flooding, etc. In most cases, the
State agency would not need to request additional verification of food
loss from the household.
o
Income. Verification of income is intended to hold households
accountable for accurately reporting sources of income or loss of work
that were known to them at the time of the disaster. It is not intended to
penalize households for not being able to accurately predict their
income/employment during the benefit period.
To help in detecting unreported sources of income, States should
perform data matching, which should include wage matching,
income and eligibility verification systems (IEVS) matching, for
each case selected for review, Beneficiary & Earnings Data
Exchange (BENDEX) matching, and any other matching the State
agency normally uses to ensure that all known income sources
were disclosed. These sources may help in locating employers
that can be interviewed about the client’s employment status and
income at the time of the disaster. In addition, any information
found through the matches that conflicts with the information
provided on the application should be discussed with the
household during its interview.
If the wage match shows that the client was employed in the
months prior to the disaster and the client did not report this
income, the State agency should contact that last known employer
and inquire as to whether the client was employed there at the
time of the disaster. If the client was employed there at the time
of the disaster, the reviewer should inquire as to whether, at the
time of application, it was reasonable for the client to expect their
income to be interrupted due to the disaster. If the employer
states that the client should have had no reason to believe that
their income should have been interrupted due to the disaster, the
reviewer should explore the client’s rationale for reporting an
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expected interruption in income during the client interview. If it
appears that the client gave their best prediction of their
circumstances, then the reviewer should accept the household’s
statement of income. If the client was not employed at that
business at the time of the disaster or the employer refuses to
cooperate with the reviewer, and attempts to contact the
household have been unsuccessful, the State can discontinue
attempts to verify the client’s income.
If a BENDEX match finds undisclosed unearned income during the
benefit period, the State agency should explore with the client
during their interview why they believed that income would be
unavailable during the benefit period. Past experience has shown
that government benefits generally remain available post-disaster;
accordingly, there would have to be very unusual circumstances
present to support a household’s failure to report income from
these sources. However, unearned income from private sources,
such as alimony, direct child support and contributions, could be
delayed or unavailable if the individual responsible for contributing
these funds was also impacted by the disaster. If it appears that
the household gave its best prediction of their circumstances, then
the reviewer should accept the household’s statement of income.
o
Disaster-related Expenses. States should attempt to verify disaster-
related expenses through discussion with the household during the
interview. The reviewer should ask what expenses the household
incurred and confirm that they are consistent with what the household
reported at the time of application. The State review should also ensure
that the types of expenses claimed are appropriate. For example, if the
State agency is aware that the household lives in a rental unit, claims for
roof or window repair expenses would not be consistent with this type of
living situation and should be further explored.
Client Interview
o
The purposes of the interview are to review the client’s statements on
their D-SNAP application, to explore any inconsistencies found through
data matching or other sources, and to gather the client’s reflections on
the quality of the D-SNAP service they received. States have the option of
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conducting either telephone or face-to-face interviews for all or any
clients.
o
States must make reasonable attempts to contact households and
schedule the interview, using the resources available to them in the
normal course of business, such as employers, internet searches, data
brokering services, credit reporting services, etc. States may conduct the
interview at the same time as a scheduled certification interview for SNAP,
if the household is now participating in the regular program. If the client
cannot be reached or does not attend the interview, the State should
continue to review the case and report the results.
Problem Analysis
After completing the individual reviews, the State agency shall conduct a problem
analysis, and create a separate list or chart for both the general public cases and the
State agency employee reviews. Each list should be further broken down by D-SNAP
project area (generally the County) and should include:
•
•
Number of cases with problems
Nature of the problem
o
o
o
o
•
Missing documentation in case file
Household error
State agency error
Intentional Program Violation
Number of incomplete case reviews due to inability to locate the client or client
failure to cooperate
•
•
•
•
Number of cases in which recipient claims were established
Value of claims
Value of restored benefits
Any further action taken against State agency employees as a result of findings
Proposed Changes
After conducting the reviews and problem analysis, State agencies should evaluate the
relative success of their D-SNAP implementation. This section of the report should
contain:
•
•
•
"Lessons learned" and best practices from the D-SNAP
Specific additions/changes to the State's disaster plan
Recommended changes to internal policies
D - S N A P G u i d a n c e | 81
Policy
•
Recommended additions or changes to this guidance handbook
FNS Regional Offices should take particular note of this section and work with the State
agency to incorporate any proposed changes into its next annual D-SNAP plan.
6.6. Conclusion
This guidance was designed with the needs of State agencies and Regional Offices in
mind. Lessons learned on the ground in past disasters have informed the policies and
procedures in this handbook. FNS intends this to serve as a tool for planning and
implementing successful D-SNAPs that quickly and effectively bring much-needed
food assistance to disaster survivors. FNS welcomes your insight on any of the topics
highlighted in this document and invites States to submit any recommended changes
to this document to their Regional Offices. Future additions will incorporate changes
and updates based on lessons learned and best practices.
D - S N A P G u i d a n c e | 82
File Type
application/pdf
File Title
Disaster SNAP Guidance
Subject
Policy Guidance, Lessons Learned, and Toolkits to Operate a Successful D-SNAP
Author
United States Department of Agriculture Food and Nutrition Servi