Ginger Elder v. Cindy Gillespie, No. 21-1826 (8th Cir. 2022)
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Plaintiffs sued various officials of the State of Arkansas, alleging that these officials (collectively, “ADHS defendants”) violated their due process rights under the Fourteenth Amendment. The officials moved to dismiss the complaint with prejudice. The district court denied the motion. On appeal, the ADHS Defendants argued that the Eleventh Amendment bars suits by individuals brought against a state or its agencies or departments, regardless of the relief sought.
The Eighth Circuit affirmed. The court explained that Plaintiffs’ ARChoices benefits must be reassessed each year and, according to Plaintiffs’ allegations, “ADHS has no plans to switch to a different assessment tool, allocation methodology, or notice of action than those now used.” The very harm alleged remains likely to recur barring a change in the state’s operation of the program or judicial intervention. Under these circumstances, the court concluded that sovereign immunity does not bar this suit.
Further, the court concluded that beneficiaries have a clearly established right to be provided adequate notice of reduction, loss, or termination of benefits. No fundamental difference exists between this case and Jacobs: in both cases, beneficiaries suffered a loss of benefits under ARChoices. Thus, Plaintiffs have sufficiently pleaded that ADHS violated their right to notice. Finally, the court held that Plaintiffs have also alleged involvement by each ADHS defendant in creating, applying, or interpreting this policy. Thus, Plaintiffs have adequately alleged facts to survive a dismissal motion raising the defense.
Court Description: [Smith, Author, with Wollman and Erickson, Circuit Judges] Civil case - Civil rights. Plaintiffs, recipients of Medicaid benefits, had their benefits terminated or reduced after the state implemented a new assessment tool for determining the appropriate level of benefits for recipients, and they brought this action alleging lack of notice and denial of due process. Held: (1) the suit is not barred by the doctrine of sovereign immunity; (2) plaintiffs had standing to bring the action as there is no guarantee that the conduct that led to benefits interruption will not occur again; (3) plaintiffs have a clearly established right to be provided adequate notice of reduction, loss, or termination of benefits; and (4) the defendants had direct involvement in the formation, implementation and enforcement of the alleged policies and process, and they were not entitled to qualified immunity.
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