Department of Agriculture v. Moreno
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OR:

''Department of Agriculture v. Moreno'', 413 U.S. 528 (1973), was a
United States Supreme Court 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 ...
case that declared a provision of the Food Stamp Act denying food stamps to households of "unrelated persons" to be a violation of the
U.S. Constitution The Constitution of the United States is the supreme law of the United States of America. It superseded the Articles of Confederation, the nation's first constitution, in 1789. Originally comprising seven articles, it delineates the nation ...
. The Court held that provision to be irrelevant to the stated purpose of the statute and in violation of the Due Process Clause of the Fifth Amendment.


Background

The case was brought by several groups of individuals; they alleged that they satisfied the income eligibility requirements for federal food assistance, but they were excluded from the program solely because the persons in each group were not all related to one another. Eligibility for participation in the federal food stamp program was based on households rather than individuals. Under Section 3(e) of the Food Stamp Act (7 USC 2012(e)), the term "household" was defined to include only groups whose members were all related to one another. The plaintiffs were members of groups of individuals with the need for food stamp assistance who were denied food stamps because the groups included members who were not all related to one another. For example, one plaintiff, a 56-year-old diabetic woman, lived with, shared common living expenses with, and received medical care from another woman with three children, each woman receiving a small monthly income from public assistance. Another plaintiff, an indigent married woman with three children, took in a 20-year-old girl, who was unrelated to them, because they felt that she had emotional problems. Another plaintiff, whose daughter had an acute hearing deficiency and required special instruction in a school for the deaf, decided that to make the most of her limited resources, she would share an apartment near the school with another woman, each woman being a recipient of public assistance.


Procedural history

In a class action in the
United States District Court for the District of Columbia The United States District Court for the District of Columbia (in case citations, D.D.C.) is a federal district court in the District of Columbia. It also occasionally handles (jointly with the United States District Court for the District ...
, the plaintiffs sought declaratory and injunctive relief against the enforcement of the unrelated person provision of §3(e). A three-judge District Court was convened and held that §3(e) violated the Due Process Clause of the Fifth Amendment because it created a classification that achieved apparently unintended results and was not relevant to the stated purpose of the Act or justifiable by reference to an independent purpose (345 F Supp 310). The US District Court for the District of Columbia held that the "related household" limitation of §3 of the
Food Stamp Act of 1964 The Food Stamp Act (P.L. 88-525) provided permanent legislative authority to the Food Stamp Program, which had been administratively implemented on a pilot basis in 1962. On August 31, 1964 it was signed into law by President Lyndon B. Johnso ...
, 7 U.S.C.S. § 2012(e), was invalid as violative of the Due Process Clause of the Fifth Amendment as it created an irrational classification, in violation of the equal protection component of that clause.


Decision


Majority opinion

In an opinion by Justice William J. Brennan, Jr., the Supreme Court affirmed the lower courts' ruling that the statutory classification was invalid. Under traditional equal protection analysis, a legislative classification must be sustained if the classification itself is "rationally related to a legitimate governmental interest." However, the Court held that the challenged classification, which excludes unrelated household members, did not rationally further the goal of preventing fraud. While the Fifth Amendment contains no equal protection clause, it forbids discrimination that is so unjustifiable as to be violative of due process; hence, it nonetheless imposes various equal protection requirements on the federal government. That doctrine is commonly referred to as " reverse incorporation," as it is essentially the opposite of " incorporation", or the application of parts of the
Bill of Rights A bill of rights, sometimes called a declaration of rights or a charter of rights, is a list of the most important rights to the citizens of a country. The purpose is to protect those rights against infringement from public officials and pr ...
(otherwise applicable only to the Federal government) to the states via the Fourteenth Amendment. There was little legislative history to indicate the purposes of "unrelated person" provision of §3(e). What legislative history that did exist showed that this was intended to prevent "hippies" and "hippie communes" from participating in the food stamp program.See H.R. Conf. Rep. No. 91 — 1793, p. 8; 116 Cong. Rec. 44439 (1970) (Sen. Holland) However, a purpose to discriminate against hippies cannot, on its own, be a sufficient justification. Aside from this purpose, the Government argued that there was a legitimate government interest in minimizing fraud in the administration of the food stamp program. However, the classification acted to exclude not only those who were likely to abuse the program but also those who were in need of the aid but could not afford to alter their living arrangements so as to retain their eligibility. The Court held that the "unrelated person" provision was irrelevant to the stated purpose of the Food Stamp Act. Because it did not operate to rationally further the prevention of fraud, it was not rationally related to furthering any legitimate government interest.


Concurring opinion

Justice
William O. Douglas William Orville Douglas (October 16, 1898January 19, 1980) was an American jurist who served as an associate justice of the Supreme Court of the United States, who was known for his strong progressive and civil libertarian views, and is often ci ...
wrote a concurring opinion. He believed that since the unrelated-person provision of Section 3(e) affected people's First Amendment rights of association, the classification could be sustained only on a showing of compelling governmental interests. He did not believe that the standard was satisfied. In addition, Section 3(e) was unconstitutional because of its invidious discrimination between one class composed of needy people, all related to one another, and another class composed of households that have one or more persons unrelated to the others but with the same degree of need.


Dissenting opinion

Justice William H. Rehnquist dissented from the Court's decision. In an opinion joined by Chief Justice
Warren E. Burger Warren Earl Burger (September 17, 1907 – June 25, 1995) was an American attorney and jurist who served as the 15th chief justice of the United States from 1969 to 1986. Born in Saint Paul, Minnesota, Burger graduated from the St. Paul Colleg ...
, he believed the limitation that Congress enacted in §3(e) could, in the judgment of reasonable men, conceivably deny food stamps to members of households formed solely for the purpose of taking advantage of the food stamp program. When the Court makes this "rational basis" evaluation, its goal is limited to determining whether there is any rational basis on which Congress could have made this decision. Making arguments against its purported rational basis is a responsibility for Congress. Since the food stamp program was not intended to be a subsidy for every individual who desired low-cost food, it was a permissible congressional decision, consistent with the underlying policy of the Act. The fact that the limitation would have unfortunate, perhaps unintended, consequences beyond that did not make it unconstitutional. Because there is a rational basis, the law should be upheld as constitutional.


See also

*'' Lyng v. Castillo'', 477 U.S. 635 (1986)


References

*''Department of Agriculture v. Moreno'', 413 U.S. 528 (1973)


External links

* {{US5thAmendment, dueprocess United States Supreme Court cases United States Supreme Court cases of the Burger Court United States equal protection case law 1973 in United States case law United States Department of Agriculture Supplemental Nutrition Assistance Program