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Monday, December 23, 2024

Padilla, Durbin Ask Sec. Becerra for Answers Regarding Reports That Warnings of Threats to the Safety and Well-Being of Unaccompanied Migrant Children Were Dismissed

Padilla

Senator Alex Padilla | Senator Alex Padilla Official Website

Senator Alex Padilla | Senator Alex Padilla Official Website

CALIFORNIA — U.S. Senator Alex Padilla (D-Calif.), Chair of the Subcommittee on Immigration, Citizenship, and Border Safety, and U.S. Senate Majority Whip Dick Durbin (D-Ill.), Chair of the Senate Judiciary Committee, sent a letter to Department of Health and Human Services (HHS) Secretary Xavier Becerra requesting information related to reports that HHS received warnings that unaccompanied children were being released from HHS custody into situations that presented a risk of labor exploitation and trafficking. Rather than heeding these warnings, HHS allegedly engaged in retaliation against staff who reported concerns and created an environment that the HHS Office of Inspector General (OIG) described as “whistleblower chilling.”

In the letter, the Senators outline their oversight responsibilities to protect these children’s safety: “As Chairs of the Senate Committee on the Judiciary and Subcommittee on Immigration, Citizenship, and Border Safety, it is our responsibility to conduct oversight over implementation of the William Wilberforce Trafficking Victims Protection Reauthorization Act (TVPRA) and ensure that HHS is meeting its legal obligations under that Act with respect to the care and protection of unaccompanied children.”

The Senators close their letter by outlining the vulnerability of our most recent arrivals, before outlining the information sought: “We also appreciate the challenges your agencies have faced at the border with the influx of unaccompanied minors crossing the border in recent years, as well as ORR [Office of Refugee Resettlement]’s ongoing efforts to provide care and timely release for children in their custody. The Committee is tasked with ensuring that HHS is meeting its legal obligations to protect the safety and well-being of our most vulnerable recent arrivals. Oversight of the placement and care of unaccompanied children is particularly necessary on June 30,2023, as some states are loosening child labor laws and others are refusing to ensure that unaccompanied children have any mechanisms to report exploitation, abuse, or trafficking.”

The Senators’ letter concludes by asking for a series of documents and communications by July 20, 2023.

Earlier this month, Padilla co-chaired a committee hearing where he condemned the labor exploitation of migrant children in the United States and called on the federal government to enforce the law and hold employers unlawfully exploiting migrant children accountable. Padilla also led a letter with Senator John Hickenlooper (D-Colo.) to the CEOs of the major companies accused of child labor exploitation, calling on them to take full responsibility for the actions of their companies.

In March, Senator Padilla questioned U.S. Attorney General Merrick Garland during a Senate Judiciary Committee hearing on Oversight of the Department of Justice (DOJ) following a  New York Times report in February detailing abuse and exploitation of migrant children. 

Full text of the letter to Secretary Becerra is available here or below.

June 29, 2023

The Honorable Xavier Becerra

Secretary of Health and Human Services

U.S. Department of Health and Human Services

200 Independence Ave SW

Washington, DC 20201

Dear Secretary Becerra:

We are deeply concerned that the Department of Health and Human Services (HHS) reportedly received warnings that unaccompanied children were being released from HHS custody into situations that presented a risk of labor exploitation and trafficking.[1] Rather than heeding these warnings, HHS allegedly engaged in retaliation against staff who reported concerns and created an environment that the HHS Office of Inspector General (OIG) described as “whistleblower chilling.”[2]

As Chairs of the Senate Committee on the Judiciary and Subcommittee on Immigration, Citizenship, and Border Safety, respectively, it is our responsibility to conduct oversight on implementation of the William Wilberforce Trafficking Victims Protection Reauthorization Act(TVPRA) and ensure that HHS is meeting its legal obligations under that Act with respect to the care and protection of unaccompanied children. We appreciate the information the Committee received from the Department of Labor (DOL) and HHS in response to letters Chair Durbin led earlier this year[3] and the February 2023 reports in the New York Times regarding labor exploitation of unaccompanied noncitizen children.[4] Furthermore, we recognize the release of an audit report by HHS’s Office of Refugee Resettlement (ORR) regarding sponsor vetting and placement processes in June 2023, along with the announcement of a new Program Accountability team to assess and address risks.[5]

We also appreciate the challenges your agency has faced at the border with the influx of unaccompanied minors crossing the border in recent years, as well as ORR’s ongoing efforts to provide care and timely release for children in their custody. The Committee is tasked with ensuring that HHS is meeting its legal obligations to protect the safety and well-being of our most vulnerable recent arrivals. Oversight of the placement and care of unaccompanied children is particularly necessary on June 30,2023, as some states are loosening child labor laws[6] and others are refusing to ensure that unaccompanied children have any mechanisms to report exploitation, abuse, or trafficking.[7] To aid this essential oversight, please provide the following by July 20, 2023.

  1. From January 2018 to present, documents and communications between both HHS and DOL and HHS and the Department of Homeland Security (DHS) referring or relating to concerns about the impact of HHS policies and practices on the safety of unaccompanied children prior to children’s release to sponsors, including concerns of child labor violations, labor exploitation, and trafficking.
  2. All documents and communications referring or relating to memoranda sent by any HHS staff, grantees, or contractors regarding unaccompanied child release practices and conditions at unaccompanied child facilities, including a January 2023 memorandum cited by the New York Times that stated “We are pulling humanity out of ‘Health and Human Services’”[8] and a memorandum cited by CNN, dated approximately July 23, 2021, sent by 10 HHS ORR field staff supervisors regarding these topics.[9]
  3. From January 2021 until her resignation in approximately March 2023, all documents and communications referring or relating to Jallyn Suallog’s expressions of concern with HHS policies and practices regarding the release of unaccompanied children to sponsors.[10]
  4. From March 2021 to present, all documents and communications referring or relating to Linda Brandmiller’s expressions of concern with HHS policies and practices regarding the release of unaccompanied children to ORR supervisors and shelter managers, including but not limited to the release of Antonio Diaz Menendez.[11]
  5. From January 2018 to present, documents and communications referring or relating to any home studies identifying individual prospective sponsors who “clearly [present] a risk of abuse, maltreatment, exploitation, or trafficking to the child based on all available objective evidence” as defined in the TVPRA.[12] Please also provide documents and communications that identified trends of such exploitation or trafficking by sponsors aggregated by region or community.
  6. From January 2021 to present, documents and communications referring or relating to reports of abuse or exploitation in states that refuse to license ORR facilities.
  7. From January 2018 to present, documents and communications referring or relating to HHS goals, benchmarks, or similar metrics involving children’s length of time in HHS custody, including in guidance, instructions, or other documentation issued to employees, federal detailees, contractors, grantees, sub-contractors, or sub-grantees.
  8. From January 2018 to present, documents and communications referring or relating to complaints of trafficking, exploitation, or abuse of unaccompanied children; responses to these complaints; reporting mechanisms for these complaints; and instructions to share concerns.
  9. From January 2018 to present, documents and communications referring or relating to how employees, federal detailees, contractors, sub-contractors, grantees, and sub-grantees can or may communicate suggestions or concerns regarding ORR operations and the safety of unaccompanied children, including the instructions provided to or by any workers, supervisors, managers, or other officials at Fort Bliss. Please also include amendments to the template cooperative agreement since August 2022 that “include language that more specifically explains that the whistleblower policy and training should cover and provide more specific information on HHS OIG reporting and protections” as indicated in HHS’s Administration for Children and Families’ response to the September 2022 OIG report.[13]
Thank you for your urgent attention to these inquiries. We look forward to working with you to ensure child safety and uphold whistleblower attentions.

Sincerely,

Original source can be found here.

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