Question
You asked us to advise on the living arrangement status, income, and resources of
Supplemental Security Income (SSI) claimants and beneficiaries who are members of
the Altona Hutterian Brethren,Inc. (Altona) in Minnesota. You asked whether the same
guidelines found in the POMS at SI DEN00501.010 would apply to members of the Altona Hutterite colony.
Short Answer
Although Altona’s Articles of Incorporation refer to by-laws, the agency was unable
to obtain the by-laws for the colony despite several attempts, and it is unclear whether
the colony actually has by-laws. If the agency is able to obtain the colony’s by-laws,
we recommend that the question be resubmitted for a legal opinion as to whether those
by-laws would impact the treatment of income and resources of SSI claimants or beneficiaries
in that colony.
However, based on the information provided, the same guidelines found in POMS SI DEN00501.010 would seem to apply to Altona, with respect to living arrangement status and treatment
of income and resources of its members. In particular, since dividends from the colony
only count as income for SSI purposes if they are actually received, we recommend
that SSA verify whether any dividends are actually received by a colony member. It
appears that the local field office has already initiated such action. It is unclear
whether the $400 monthly allowance the colony apparently pays to its members is dividend
distributions or separate cash payments. If the latter, the monthly allowance would
be considered unearned income to SSI beneficiaries, as no exclusion appears to apply.
The monthly allowance would not be offset by the amount of any SSI benefits the individuals
pay to the colony. We further conclude that Altona may be added to the list of Hutterite
colonies for which it has been determined that colony property is not available to
individual members of the colony and therefore is not a resource for SSI purposes.
Background
Altona is a non-profit religious or apostolic corporation. Articles of Incorporation,
Art. IV. The corporation holds property and provides housing and support to the members
of its church community, who live a communal life. Id. at Art. IV, XI. The corporation has a common or community treasury, and the corporation’s
business, which is primarily agricultural, is conducted for the common benefit of
the members of the corporation. Id. at Art. IV. Although the Articles of Incorporation indicate that the corporation
was originally established in South Dakota by residents of that State, you advised
that the colony at issue is currently located in Henderson, Minnesota.
The Articles of Incorporation state that:
No compensation or payment shall ever be paid or made to any member, officer,
director, trustee, creator or organizer of this corporation or substantial contributor
to
it, except as a reasonable allowance for actual expenditures for the corporation or
work
therefor, and neither the whole nor any part or portion of the assets or net earnings
of
the corporation, current or accumulated, shall ever be distributed to or divided among
such persons except as provided in Section 501(d) of the United States Internal Revenue
Code of 1954.
Id. at Art. VIII. In addition, “[n]o member of the corporation shall . . . hold any
real or personal property rights individually, nor hold any property rights in the
corporation’s property.” Id. at Art. XI. Rather, members of the corporation reside on the real property operated
by the corporation and depend on the community fund and treasury for their support.
Id. at Art. XIV.
The Articles of Incorporation refer to “the By-Laws.” Id. at Art. XI, XIV. And Hutterite communities generally have by-laws, in addition to
Articles of Incorporation. See POMS SI DEN00501.010.F.1. However, despite due diligence the agency has not been able to obtain a copy
of this colony’s by-laws.
The Internal Revenue Service (IRS) recognizes Altona as a religious or apostolic corporation
that is exempt from paying federal income tax under Section 501(d) of the Internal
Revenue Code. See Letter from R~, Dist. Dir., Internal Revenue Serv., to Altona Hutterian
Brethren, Inc. (Aug. 17, 1990). The corporation must file a federal tax return annually
listing the name and address of each member and the amount of his or her distributive
share of income for the year. See
id. The amount of taxable income for each member is a pro rata share of the corporation’s
income for the year. See id. The IRS treats this amount as a dividend received by the member. See id. Tax documents from Altona show that each member’s distributive share of the colony’s
taxable income for 2020 was $4,306.98.
The field office submitted evidence regarding a couple who live in this colony. The
husband reported that he and his wife live in a home provided by the colony, and they
do not pay for housing costs. He also reported that his SSI benefits go into the colony
account and he receives a monthly allowance of about $400. He further stated that
the colony’s pooled funds are not available to them. The field office advised that
the husband and wife each receive the monthly allowance noted above as well as monthly
SSI benefits of $397.