Motion For Relief
Motion For Relief
Motion For Relief
____________________________________
UNITED STATES OF AMERICA, )
and the STATE OF MISSISSIPPI, )
)
Plaintiffs, )
) Case No. 3:12-cv-790-HTW-LGI
) (Clean Water Act Case)
v. )
)
)
THE CITY OF JACKSON, MISSISSIPPI, )
)
Defendant. )
)
UNITED STATES OF AMERICA, )
)
Plaintiff, )
) Case No. 3:22-cv-00686-HTW-LGI
) (Safe Drinking Water Act Case)
v. )
)
)
)
THE CITY OF JACKSON, MISSISSIPPI, )
)
Defendant. )
)
The Interim Third-Party Manager (ITPM), Ted Henifin, by and through undersigned
counsel, moves this Court to enter an order requiring (1) the United States to release on or before
March 31, 2024, to the ITPM a list, in CSV (comma-separated values) format, containing the name
and address of recipients of the Supplemental Nutrition Assistance Program (“SNAP”), 7 U.S.C.
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§ 2011 et seq., residing within zip codes served by JXN Water1 and (2) requiring the United States
to provide the ITPM with updated lists on the first business day of each calendar quarter thereafter
until the stipulated orders in the captioned matters are no longer in effect, the ITPM is no longer
an officer of this Court, or upon further notice by the Court, whichever occurs first. In support,
I. BACKGROUND
The President of the United States and the Governor of Mississippi declared a state of
emergency in August 2022 to address the drinking water crisis in the City of Jackson. These
declarations resulted in the unprecedented and extraordinary use of powers under the Safe
Drinking Water Act and other emergency statutes to provide federal funding and authority to
stabilize and rehabilitate the City of Jackson’s water system. At the time of these declarations, the
United States and State of Mississippi had also already reopened decade-long litigation against the
City regarding the numerous discharges of untreated raw sewage from the City’s sewer system.
To address the drinking water emergency, the United States, the State of Mississippi,
through the Mississippi State Department of Health, and the City of Jackson agreed on November
29, 2022, for this Court to order the appointment of Ted Henifin as the ITPM. See Water ISO, Dkt.
No. 6. The order instructed the ITPM to operate, maintain, manage, and control the City of
Jackson’s water system and the Water/Sewer Business Administration. See id. Subsequently, on
October 5, 2023, the Court entered an additional stipulated order, Sewer ISO, Dkt. No. 72, which
1
Jackson, MS – 39056, 39174, 39201, 39202, 39203, 39204, 39205, 39206, 39207, 39209, 39210, 39211, 39212,
39213, 39215, 39216, 39217, 39225, 39235, 39236, 39250, 39269, 39271, 39282, 39284, 39286, 39289, 39296, and
39298. Byron, MS – 39170, 39212 and 39727.
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Under the stipulated orders, the ITPM was granted “the full power and authority necessary
to carry out the requirements” of the orders and “all powers and authority under all applicable state
and federal law[.]” Water ISO, Dkt. No. 6 at 8; Sewer ISO, Dkt. No. 72 at 11. To address the
drinking water emergency, the Water ISO instructed the ITPM, as an officer of the court, to address
the conditions of the water system that present or may present an imminent and substantial
endangerment to the residents of the City and to increase the water system’s stability. Water ISO,
Dkt. No. 6 at 3, 8. To do so, the Water ISO authorized the ITPM to adjust the rates, rate structure,
or fees of the City’s water system. Id. at 12 (authorizing the ITPM to adopt rates and fees if the
City failed to adopt the ITPM’s proposed rates after consultation). The stipulated order
empowering the ITPM to control and manage the City’s sewer system, to which the United States
and State of Mississippi also agreed, likewise granted the ITPM full power and authority to adjust
the sewer service charges and fees as necessary to address the City’s sewer repairs and upgrades.
Sewer ISO, Dkt. No. 72 at 17 (authorizing the ITPM to adjust sewer rates and fees if, after
consulting with the City, the City failed to adopt the ITPM’s proposed rates).
While significant progress has been made to address the drinking water and sewer crises,
the conditions resulting in the emergencies have not been fully abated. In November 2023, the
ITPM determined that JXN Water must adjust water and sewer service fees and rates to effectively
repair and stabilize the City’s water and sewer systems. As a result, the ITPM adopted new drinking
water and sewer rate classifications pursuant to his authority under the drinking water and sewer
orders. Water ISO, Dkt. No. 6 at 11-12; Sewer ISO, Dkt. 72 at 17. Specifically, the ITPM adopted
rates whereby SNAP recipients will pay $10 per month while other residential customers will pay
a minimum bill of $40 per month for water and sewer service. The ITPM determined that this rate
structure will place the City’s water and sewer service on firm financial footing, as is necessary to
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end the drinking water and sewer crises, while providing affordable rates for low-income residents
of the City. Such rates are essential in Jackson where as many as 25% of the City’s residents live
in poverty. See Quick Facts, Jackson city, Mississippi, U.S. CENSUS BUREAU (2022),
Mar. 4, 2024). The ITPM’s tiered rates therefore ensure JXN Water can efficiently and rapidly
provide access to safe drinking water and appropriate sewer services for all ratepayers.
The ITPM now seeks to implement the Court’s updated water and sewer rate
classifications, including a rate category for approximately up to 20,000 Jackson ratepayers who
are eligible for federal SNAP benefits. To implement the rates, JXN Water must immediately
identify ratepayers who are receiving SNAP benefits so they can be assigned the new SNAP rate
class. The only practical way to timely implement that rate classification is to cross-compare the
SNAP-recipient list for the zip codes noted above with JXN Water’s ratepayer list.2 If the ITPM is
denied access to the list it will frustrate his obligation to implement the rates that were recently
imposed and will take years to reach only a small percentage of SNAP recipients that could
II. Arguments
The U.S. Congress established the SNAP program to allocate funds for states to disburse
among eligible households to purchase nutritious food. 7 U.S.C. § 2013. To participate, state
agencies must provide a plan of operation for their SNAP program and are required to administer
their program in line with regulations of the Food and Nutrition Service (FNS) within the United
2
Because JXN Water needs the SNAP list exclusively to cross reference its customer accounts with the SNAP recipient
list, only individuals who have their own, individual account with JXN Water will be eligible for the discount and will
be cross-referenced with the SNAP List. As a result, JXN Water will not seek nor have knowledge of SNAP recipients
living in group homes or otherwise on the SNAP list but not on the JXN Water customer list.
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States Department of Agriculture (USDA). Id. § 2020(a), (d); see 7 C.F.R. § 271.1 et seq. The
USDA approves state plans of operation, audits and investigates SNAP records from state
agencies, and may enforce federal regulations governing the program by withholding funds or
pursuing injunctive relief through the Department of Justice. 7 U.S.C. § 2020(a)(3), (d), (g).
By statute, state agencies implementing SNAP must establish “safeguards which prohibit
(i) the disclosure of such information to persons directly connected with the
administration or enforcement of the provisions of this chapter, regulations issued
pursuant to this chapter, Federal assistance programs, or federally-assisted State
programs….
obtained from SNAP applicant or recipient households shall be restricted to…. [p]ersons directly
connected with the administration or enforcement of the provisions of the Food and Nutrition Act
implementing SNAP may also enter into agreements with other state agencies implementing
school lunch and breakfast programs to ensure that low-income students are automatically certified
as eligible for free lunches and breakfasts in local schools. See 7 U.S.C. § 2020(u); 7 C.F.R.
§ 245.6(b)(1) (describing the “direct certification” of children in families receiving SNAP benefits
by local educational agencies into the free breakfast and lunch programs through data matching of
children enrolled in their school and SNAP lists provided by the state).
The Mississippi Department of Human Services (MDHS) administers the SNAP program
but may be disclosed to persons administering one of a series of listed federal assistance programs
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and “[a]ny other federally aided means-tested programs.” 18-14 MISS. CODE. R. § 1.11.A (2022);
see also MISS. CODE ANN. § 43-1-19 (allowing disclosure of SNAP information in accordance with
federal regulations).
This Court has authority to order the United States to release a list of SNAP recipients to
the ITPM because the SNAP rate classification, implemented by the ITPM, an officer of this
federal Court pursuant to a federal court order agreed to by the United States and the State of
Mississippi, is the substantive and legal equivalent of a “federal assistance program.” 7 U.S.C.
§ 2020(e)(8)(A)(i).3 Such order should direct the release of the SNAP list subject to the data and
security protocols agreed to by the United States and should direct that the list only be released to
A. JXN Water’s tiered water and sewer rates constitute a federal assistance
program as the ITPM adopted the rates as an officer of the Court and
pursuant to a federal court order to assist residents of limited means through
a federally-declared public health crisis.
The U.S. Congress specifically included “Federal assistance programs” and “federally-
assisted State programs” as exemptions to the general non-disclosure policy in state SNAP
operating plans. 7 U.S.C. § 2020(e)(8)(A)(i). This provision allows state agencies implementing
SNAP according to their operating plans to share information rapidly with federal assistance
programs and facilitates the efficient inclusion of persons with limited means into a range of
assistance programs. Otherwise, eligible individuals would have to make multiple applications to
a variety of state and federal programs. To avoid this result, Congress allowed the sharing of SNAP
information “only for such administration” of programs furthering federal assistance to the needy.
Id. § 2020(e)(8)(A)(ii).
3
While the United States has asserted that it does not maintain the list, it should be clear in its briefing on this
motion as to what steps it would have to take in order to provide the list to the ITPM on a quarterly basis.
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The ITPM’s SNAP rate classification is a federal assistance program that is unique among
assistance to needy households. See id. § 2020(e)(8)(A). Unlike other water and sewer utilities, the
ITPM adopted these rates in his role as a federal trustee pursuant to a federal court order. See Dkt.
Nos. 6 and 72. Similarly, this act, by a federal trustee and officer of this court, derives directly
from federal court orders to address an ongoing water and sewer crisis stemming from violations
of federal law. The United States and State of Mississippi initiated litigation to resolve these
emergencies, agreed to the stipulated orders authorizing the ITPM to adopt rates for water and
sewer services, and did not object to the ITPM’s proposed rate classification for SNAP recipients.
Likewise, the ITPM, through JXN Water, adopted the SNAP rate classification to ensure
that water and sewer services remain affordable to SNAP-eligible ratepayers. Like the provision
of food assistance through SNAP, assisting low-income residents in acquiring water and sewer
services is necessary to safeguard their health and well-being. See 7 U.S.C. § 2011. A 2016 USDA
study reported bottled water sales accounted for 1.2 percent, or $78 million, of SNAP benefits used
nationwide. See Steven Garaska et al., Foods Typically Purchased by Supplemental Nutrition
Assistance Program (SNAP) Households, U.S. DEP’T OF AG. at 17 (Nov. 2016) (available at:
https://www.fns.usda.gov/snap/foods-typically-purchased-supplemental-nutrition-assistance-
program-snap-households). In the end, the ITPM’s adopted rate structure is an action by a federal
agent pursuant to a federal court order in response to a federal disaster declaration that advances
the Congress’s purpose of providing additional nutrition to the needy and is appropriately
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The ITPM needs the list of SNAP recipients in the City to effectively implement his SNAP
rate classification assistance program. Studies show that the SNAP program, a long running and
approximately 71% of eligible participants in Mississippi.4 This participation rate is still more than
twice the enrollment rates, however, of other income-based social programs which struggle to
achieve even a 30% participation. See Suzanne Macartney & Robin Ghertner, U.S. DEP’T HEALTH
& HUMAN SERVS. at 2 (Nov. 2021) (Table 1 reports a 63% overall participation rate in SNAP and
only a 20% participation rate in the Low Income Home Energy Assistance Program (LIHEAP) and
28% participation rate in Temporary Assistance for Needy Families (TANF)). Without the list of
SNAP recipients, JXN Water will not achieve participation rates comparable to SNAP, a well-
funded, well-known, and longstanding national program. JXN Water will instead expend immense
resources and critical time, otherwise spent repairing the City’s water and sewer systems,
attempting to enroll SNAP recipients. The experiences of other income-based federal, state, and
local programs demonstrates that, after all this expense, participation in JXN Water’s special rate
class for low-income residents will likely not exceed 30% of eligible customers. As a result, absent
the ability to cross reference its customer list to a list of SNAP recipients in JXN Water’s service
area, there is no other practical way to identify approximately up to 20,000 customer accounts that
4
In Mississippi, only 71 percent of people eligible for SNAP benefit participate. The national average is 84 percent.
See: https://www.fns.usda.gov/usamap# (Last visited on March 4, 2024).
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CONCLUSION
For the reasons above, the ITPM requests that the Court enter an order to require the United
States to (1) release a list of SNAP recipients residing in the zip codes noted above to the ITPM
by March 31, 2024, for the limited purpose of allowing the ITPM to apply the recently-adopted
SNAP water/sewer rate classification to those individuals/households and (2) quarterly thereafter
provide the ITPM with an update to that list until the earlier of (A) the ITPM is no longer an officer
of the Court, (B) the Stipulated Orders have been terminated, or (C) upon further order of the
Court. Finally, the order should also specify that the list shall not be made public, nor released to
OF COUNSEL: