A Mere Machine: The Supreme Court, Congress, and American Democracy
Subyek
: United States, Supreme Court,Judicial power—United
States, Judicial independence—United States, Separation of
powers—United States, Political questions and judicial power, American Democracy
Penerbit
: Yale University Press
Ringkasan :On June 28, 2012, the Supreme Court ruled for the fi rst time in seventyfi
ve years that Congress had exceeded the limits of its powers under the
Spending Clause, the clause of Article I, Section 8, empowering the Congress
“to pay the Debts and provide for the common Defence and general
Welfare of the United States.”1 Striking a key component of the Patient
Protection and Affordable Care Act, signed by President Barack Obama
in March of 2010, the Court ruled that Congress could not withhold
all federal Medicaid funds from states choosing not to participate in the
substantial expansion of Medicaid envisioned by the Act. Instead, states
choosing not to participate in the program’s expansion would simply lose
the additional federal monies available under the Act to partially fund
that expansion. In effect, the Court made the states’ participation in the
Affordable Care Act’s Medicaid expansion, an expansion that had been
predicted to extend health insurance to approximately 22.3 million previously
uninsured low-income individuals, a purely voluntary choice.2
The Court’s Spending Clause ruling initially attracted little attention
from observers focused on its ruling, in the same case, that Congress
could levy a penalty on certain categories of individuals choosing not
to purchase private health insurance. But the signifi cance of the Court’s
Medicaid ruling soon became apparent. Within days of the ruling the
Republican governors of some of the states with the largest populations
of potential recipients under the proposed Medicaid expansion
had announced that they would resist any efforts to participate in that expansion, a resistance that would have been virtually unthinkable prior
to the Court’s ruling.3 Other governors announced that they might consider
participating in Medicaid’s expansion, but only under broad waivers
from program requirements that would allow them to limit recipients’
eligibility and benefi ts; the Court’s ruling had given these governors the
leverage to demand such waivers.4 The emboldened opposition to Medicaid’s
expansion in these states began to put pressure on neighboring
states, which would likely face an infl ux of potential Medicaid recipients
should they expand eligibility and benefi ts while their neighbors did not
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