Arkansas Department Of Human Services V. Ahlborn
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''Arkansas Department of Human Services v. Ahlborn'', 547 U.S. 268 (2006), was a decision by the
Supreme Court of the United States The Supreme Court of the United States (SCOTUS) is the highest court in the federal judiciary of the United States. It has ultimate appellate jurisdiction over all U.S. federal court cases, and over state court cases that involve a point o ...
involving the ability of a state agency to claim a personal injury
settlement Settlement may refer to: *Human settlement, a community where people live *Settlement (structural), the distortion or disruption of parts of a building *Closing (real estate), the final step in executing a real estate transaction *Settlement (fina ...
as compensation for Medicaid benefits provided for treatment of the injuries. The Court ruled unanimously that a federal statutory prohibition against liens on
personal property property is property that is movable. In common law systems, personal property may also be called chattels or personalty. In civil law systems, personal property is often called movable property or movables—any property that can be moved fr ...
to recover Medicaid expenditures applied to settlements, so that only the portion of the settlement that represented payment for past medical expenses could be claimed by the state.


Background of the case


Injury and settlement

Heidi Ahlborn, a resident of Arkansas, suffered severe and permanently disabling injuries in a car accident on January 2, 1996, and filed suit against those she believed responsible. Following her accident, Ahlborn was granted Medicaid benefits to pay for her extensive medical treatment. The Arkansas Department of Human Services (ADHS), which administers Medicaid in Arkansas with state and federal funds, intervened pursuant to Ark. Code § 20-77-310, et seq., which required anyone receiving third-party compensation for Medicaid benefits to assign those rights to the State. ADHS accordingly sought to claim a lien on any damages Ahlborn might recover from the defendants. In 2002, an out-of-court
settlement Settlement may refer to: *Human settlement, a community where people live *Settlement (structural), the distortion or disruption of parts of a building *Closing (real estate), the final step in executing a real estate transaction *Settlement (fina ...
was reached, under which the defendants paid a compromised sum of $550,000 to Ahlborn. Under Arkansas law, Ahlborn's injuries gave rise to five discrete elements of damage, one of which was damages for past medical expenses. However, no effort was made to allocate by agreement or adjudication the proceeds of the compromise settlement among these elements of damage.


District Court proceedings

ADHS had not asked to participate in the settlement negotiations, nor did it seek to reopen the judgment after the case had been dismissed. However, the agency subsequently asserted a claim or lien in the amount of $219,156.78 against the settlement proceeds. Ahlborn subsequently filed a
declaratory action A declaratory judgment, also called a declaration, is the legal determination of a court that resolves legal uncertainty for the litigants. It is a form of legally binding preventive by which a party involved in an actual or possible legal mat ...
in the U.S. District Court for the Eastern District of Arkansas against the agency and its officials, arguing that ADHS could only recover that portion of her settlement representing payment for past medical expenses. The parties characterized the sole issue in the case as one of
statutory construction A statute is a formal written enactment of a legislative authority that governs the legal entities of a city, state, or country by way of consent. Typically, statutes command or prohibit something, or declare policy. Statutes are rules made by le ...
. Federal Medicaid statutes provided for the assignment of rights to third-party payments, but prohibited the placing of a lien on a Medicaid recipient's property. Ahlborn argued that the settlement was her "property," and that this prohibition accordingly limited the State's recovery to only those portions of the payments made for medical expenses. The parties stipulated that the State would recover $215,645.30 if it prevailed on the statutory construction issue, representing the total amount the State paid in relation to Ahlborn's care, but only $35,581.47 if Ahlborn prevailed, representing 16.5 percent of the total, which was considered a fair representation of the percentage of the settlement constituting payment by the defendants for past medical care. The parties filed cross-motions for summary judgment, and the district court granted the State's motion. The court interpreted the relevant federal statutory provisions to mean that the State may recover from Ahlborn's settlement the sum stipulated as the total amount of Medicaid benefits paid to her, regardless of whether the settlement funds represented payments for the cost of medical services.


Court of Appeal's decision

On
appeal In law, an appeal is the process in which cases are reviewed by a higher authority, where parties request a formal change to an official decision. Appeals function both as a process for error correction as well as a process of clarifying and ...
, the
Eighth Circuit Court of Appeals The United States Court of Appeals for the Eighth Circuit (in case citations, 8th Cir.) is a United States federal court with appellate jurisdiction over the following United States district courts: * Eastern District of Arkansas * Western Distr ...
reversed. The court supported Ahlborn's interpretation of "property" in the Medicaid lien-prohibition provision as extending to the right to a settlement. It observed that the Arkansas assignment statute contemplates that the lien arises only after the injured party receives the settlement, and the court believed that the State could not circumvent this by requiring the assignment of rights before the settlement was liquidated and actually received as personal property.


The court's decision

The U.S. Supreme Court unanimously affirmed the Eighth Circuit's ruling in a decision delivered by Justice
John Paul Stevens John Paul Stevens (April 20, 1920 – July 16, 2019) was an American lawyer and jurist who served as an associate justice of the Supreme Court of the United States from 1975 to 2010. At the time of his retirement, he was the second-oldes ...
. The Court held that federal Medicaid law did not authorize ADHS to assert a lien on Ahlborn's settlement in excess of the stipulated amount for past medical expenses, and that the federal anti-lien provision furthermore affirmatively prohibited it from doing so. The state has no claim against those portions of a settlement the parties agreed were attributable to pain and suffering or lost wages, the high court ruled. The Arkansas statutes were therefore unenforceable to the extent they provided for a contrary result.Pursuant to the Supremacy Clause, U.S. Const. art. VI, para. 2, state laws that are contrary to validly enacted federal law are void. The opinion is also significant because the Court, without discussion, permitted a Medicaid suit to proceed where the cause of action was conferred by the Supremacy Clause. Most federal suits alleging violation of the Medicaid Act – which does not expressly confer a right of action – claim that the right of action is authorized by
42 U.S.C. § 1983 The Enforcement Act of 1871 (), also known as the Ku Klux Klan Act, Third Enforcement Act, Third Ku Klux Klan Act, Civil Rights Act of 1871, or Force Act of 1871, is an Act of the United States Congress which empowered the President to suspend t ...
. In recent years, the Supreme Court has made it more difficult to sue under § 1983 for statutory violations, requiring that the statutory provision in question unmistakably focus on individual rights. While some Medicaid suits have been permitted under § 1983, certain Medicaid provisions have been held unenforceable. However, this case shows an alternative route to federal court for public interest litigants. Where a state statute or regulation conflicts with or is preempted by federal law, the right of action arguably is conferred by the Supremacy Clause of the U.S. Constitution. ''Ahlborn'' implicitly supports this premise.


See also

* '' Sereboff v. Mid Atlantic Medical Services, Inc.'', 547 U.S. 356 (2006), a case decided the same term involving the ability of an ERISA plan fiduciary to recover medical costs from a personal injury
settlement Settlement may refer to: *Human settlement, a community where people live *Settlement (structural), the distortion or disruption of parts of a building *Closing (real estate), the final step in executing a real estate transaction *Settlement (fina ...
*
List of United States Supreme Court cases, volume 547 This is a list of all the United States Supreme Court cases from volume 547 of the ''United States Reports The ''United States Reports'' () are the official record ( law reports) of the Supreme Court of the United States. They include rulings, ...
* List of United States Supreme Court cases


Notes


External links

* {{DEFAULTSORT:Arkansas Department Of Human Services V. Ahlborn United States Supreme Court cases United States Supreme Court cases of the Roberts Court Medicare and Medicaid (United States) 2006 in United States case law