Talking Points
- Threat to Crucial Support Services: The Proposed Rule by the U.S. Department of Health and Human Services (HHS) poses a significant threat to women being denied pregnancy help through the targeting of pregnancy centers and alternatives to abortion programs.
- Undermining TANF Flexibility: The Proposed Rule undermines the flexibility granted to states under the Temporary Assistance for Needy Families (TANF) program. States, designed to have autonomy in addressing the root causes of poverty, may face politically motivated decisions that contradict the original intent of TANF reforms.
- Bias Against Pro-Life Mission: The regulatory changes introduced by HHS disproportionately target pregnancy centers without presenting evidence of any misuse of federal funds. This bias against their pro-life mission raises concerns about the administration's impartiality and adherence to Congress' design for TANF.
- Lack of Comprehensive Impact Analysis: The Proposed Rule lacks a comprehensive analysis of the potential impact on federal and state expenditures, as well as the harm that withdrawing TANF funding would cause to individuals served by pregnancy centers. This oversight undermines the credibility of the proposed changes.
- Urgent Call for Withdrawal: Given the potential harm to pregnant women and their unborn babies, we urgently call for the withdrawal of the Proposed Rule. It is essential to maintain the ongoing support provided by pregnancy centers and alternatives to abortion programs, aligning with the core principles and purposes of the TANF program.
Sample Letter
Subject: Urgent Request for Withdrawal of Proposed Rule on TANF Funding for Pregnancy Centers
Dear Secretary Becerra:
We write to express our deep concern about the U.S. Department of Health and Human Services (HHS) proposed rule, “Strengthening Temporary Assistance for Needy Families (TANF) as a Safety Net and Work Program,” published on October 2, 2023. The Proposed Rule targets pregnancy centers and alternatives to abortion programs, jeopardizing their funding and, consequently, the crucial assistance they provide to pregnant women in need.
TANF, established in 1996, aims to address poverty's root causes and reduce dependency on government by promoting work and marriage. Pregnancy centers, with over 2,700 across the country, play a vital role in providing support to women facing difficult pregnancies, offering services like counseling, ultrasounds, and material assistance at virtually no cost. These centers, often staffed by volunteers, saved taxpayers an estimated $266 million in 2019.
The Proposed Rule raises significant concerns as it targets pregnancy centers and alternatives to abortion programs, potentially stripping them of TANF funding. This move, seemingly aligned with the Biden administration's pro-abortion agenda, is inconsistent with Congress' intent to grant states flexibility in implementing TANF reforms.
HHS's regulatory changes allow the Secretary to question the legitimacy of TANF expenditures, creating a risk of politically motivated decisions that could undermine the autonomy of states. The Proposed Rule singles out pregnancy centers without providing evidence of misuse of federal funds, revealing a bias against their pro-life mission.
Moreover, HHS fails to address the potential impact on federal and state expenditures or the harm to individuals served by pregnancy centers if TANF funding is withdrawn. The lack of comprehensive analysis undermines the credibility of the Proposed Rule.
In conclusion, we urge the immediate withdrawal of the Proposed Rule. Pregnant women and their unborn babies deserve continued support from pregnancy centers and alternatives to abortion programs. The Proposed Rule jeopardizes this support and undermines the integrity of the TANF program.
Thank you for your prompt attention to this matter.
Sincerely,
[Your Name]
[Your Organization]
[Contact Information]
Resources
- Read the HHS Proposed Rule Change
- Heartbeat's Life Trends
- Lozier Institute's Pregnancy Center fact sheet
Please be aware that the HHS does not cite any evidence that pregnancy centers are unlawfully using Federal funds for non-TANF purposes. (Read the Proposed Rule Change and see for yourself.)