APHSA’s response to the RFI on AI regulatory reform stresses the need for responsible and ethical AI use in human…
On behalf of APHSA members, this letter requests clear information from FNS about how to proceed with ongoing October applications,…
APHSA’s response to HHS’ revised interpretation of “Federal Public Benefit” under PRWORA expresses concern over the inclusion of additional human…
APHSA’s comment for inclusion in the Ways and Means Work and Welfare Committee hearing record, emphasizing TANF reform.
APHSA has commented on the proposed rescission of the December 2023 Final Rule regarding civil rights data collection in SNAP,…
APHSA submitted a response to the 2025 National AI R&D Strategic Plan RFI, outlining challenges for state and local human…
Outlines APHSA’s response to several provisions in the House Agriculture Committee’s Budget Reconciliation draft. Our response focuses on the particular…
In this RFI comment letter, APHSA urges NITRD NCO to prioritize six areas in the development of an artificial intelligence…
APHSA, along with its affinity groups AASD and NAPIPM, has submitted a comment letter to FNS expressing our opposition to…