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HHS NEWS
U.S. DEPARTMENT OF
HEALTH AND HUMAN SERVICES
OFFICE FOR CIVIL RIGHTS
FOR IMMEDIATE RELEASE
Wednesday, Aug. 30, 2000
Contact: Kathleen O=Brien
(OCR)
(202) 619-0403
HHS Provides Written
Guidance for Health and Human Services Providers
To Ensure Language Assistance
for Persons with Limited English Skills
The U.S. Department of Health and Human Services today issued
written policy guidance to assist health and social services providers
in ensuring that persons with limited English skills can effectively access
critical health and social services.
The guidance, published in the Federal Register
by the HHS Office for Civil Rights (OCR), lays out and explains more fully
OCR's existing policies. It outlines the legal responsibilities of providers
who receive Federal financial assistance from HHS - such as hospitals,
HMOs and human service agencies - to assist people with limited English
skills. It also provides a flexible road map to the range of options available
to providers in meeting the language needs of the nation's increasingly
diverse populations.
Publication of the guidance makes HHS the first federal
agency to publish guidance since the issuance of Executive Order 13166
on serving persons with limited English skills, signed by President Clinton
on August 11, 2000. The executive order requires each federal agency to
have written policies on providing effective service to those with limited
English proficiency who are served by federally-funded programs.
Title VI of the Civil Rights Act of 1964 prohibits discrimination
on the basis of race, color, or national origin by any entity that receives
federal financial assistance. Under Title VI of the law, hospitals, HMOs,
social service agencies and other entities that receive Federal financial
assistance from HHS are required to take the steps necessary to ensure
that individuals with limited English proficiency (LEP) can meaningfully
access the programs and services. The requirements apply to state-administered
as well as private and non-profit facilities and programs that benefit
from HHS assistance. OCR is responsible for compliance with the law as
it applies to HHS assisted programs.
In a letter to governors announcing publication of the written
guidance, HHS Secretary Donna E. Shalala said, "This guidance enhances
our ability to reach our national goal of eliminating racial and ethnic
disparities in health, and will assist in increasing opportunities for
persons with limited English proficiency to improve their socioeconomic
status."
Some of the state-administered programs where access for
persons with limited English proficiency may be especially important include
the State Children=s Health
Insurance Program (SCHIP), Medicaid and Temporary Assistance to Needy
Families (TANF).
AEffective communication
is the key to meaningful access, whether it is a hospital, a clinic or
a benefits program," said OCR Director Thomas Perez. "Failure to communicate
effectively can have serious consequences for millions of Americans."
The guidance emphasizes that providers have flexibility
in designing effective programs. The types of language assistance a provider
must have in place to ensure meaningful access depend on a variety of
factors, including the size of the facility or covered entity, the size
of the eligible LEP population it serves, the nature of the program or
service, the objective of the program, the resources available to the
facility or covered entity, and the frequency with
which LEP persons come into contact with the program.
Small practitioners and providers have considerable flexibility
in determining how to fulfill their obligations to ensure meaningful access
for persons with limited English proficiency.
"OCR has a history of working cooperatively with health and social services providers to help them comply with the law and serve their limited English populations effectively without causing undue burden," said Perez. "We have found widespread willingness to improve language assistance services, especially when providers learn that solutions can be tailored to fit individual situations, and services can be provided cost-effectively."
"With our requirements and flexible policies now in writing,
we expect to make even greater progress in cooperation with health and
social service providers in making services truly accessible to those
with limited English skills. OCR will continue to be available to provide
technical assistance to any covered entity seeking to ensure the operation
of an effective language assistance program," Perez said.
Depending on the need and the circumstances of the individual
facility, options for providing oral language assistance range from hiring
bilingual staff or hiring on-staff interpreters to contracting for interpreter
services as needed, engaging community volunteers, or contracting with
a telephone interpreter service.
Examples of problem practices that have been found by OCR
include: providing services to LEP persons which are more limited in scope
or lower in quality than those provided to other persons; subjecting LEP
persons to unreasonable delays; limiting participation in a program or
activity on the basis of English proficiency; providing services to LEP
persons that are not as effective as those provided to persons proficient
in English; and failing to inform LEP persons of the right to receive
free interpreter services or requiring them to provide their own interpreter.
As outlined in the guidance, satisfactory service to LEP
clients should include:
· having polices and procedures in place for identifying and assessing the language needs of the individual provider and its client population;
· a range of oral language assistance options, appropriate to each facility's circumstances;
· notice to LEP persons of the right to free language assistance;
· staff training and program monitoring; and
· a plan for providing written materials in languages other than English where a significant number or percentage of the affected population needs services or information in a language other than English to communicate effectively.
"The purpose of putting these policies into writing is
to help make the requirements of the law both clear and widely-known,
among providers and potential LEP clients as well," Perez said. "We believe
that by making these policies known, and making clear the flexibility
we provide on a facility-by-facility basis, providers will be more likely
to review and improve their language assistance services, and individuals
with limited English skills will be better able to access the services
they need."
The written guidance, "Title VI Prohibition Against National
Origin Discrimination as it Affects Persons with Limited English Proficiency,"
is available in the Federal Register, through OCR's 10 Regional
Offices, or on the Internet at http://www.hhs.gov/ocr
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Date revised: August 29, 2000