illness.”9 This definition covers people with FASD and is consistent with that in article 1 of the
CRPD, which references disability as “those who have long-term physical, mental, intellectual
or sensory impairments which in interaction with various barriers may hinder their full and
effective participation in society on an equal basis with others.”
Despite these definitions, the New Zealand Ministry of Health’s (MoH) policy10 - ‘Disability
Support Services Operational Policy – DSS Eligibility’ (the Policy) - excludes people with
probable FASD alone to access publicly-funded Disability Support Services (DSS), with the
exception of DSS Child Development Services (CDS) which are accessible to all children with
developmental delay, including from fetal alcohol exposure. The wider range of funded
services available through DSS are aimed at supporting living and participating in community
but are not available to people with FASD alone.
10. To qualify for a needs assessment to access DSS, other than CDS, a person with FASD must
have another (and separate) qualifying impairment such as an intellectual impairment (which
affects only 20% of those with FASD).11 They are not eligible for these supports by virtue of
probable FASD alone, even though all individuals diagnosed with probable FASD have severe
and permanent brain impairment across at least three brain domains among the 9 to 10
domains tested in order to be diagnosed.12
11. This means that people affected by FASD alone are currently excluded from most DSS supports
funded by the MoH. Those who are eligible for DSS do not receive services specifically
informed by FASD-related needs. The MOH is an important funder of a wide range of DSS
services for eligible disabled people under 65 years and, because DSS is not easily available or
catered to those with FASD, they are deprived of this central provider of funded services. This
Policy is based on a Cabinet decision from 1994 which defined disabled people for the purpose
of DSS eligibility as those with physical, sensory and intellectual disabilities. The understanding
of neurodevelopmental disabilities, including due to fetal alcohol exposure resulting in FASD,
and the needs of people with neurodevelopmental impairments, has expanded considerably
since 1994 and this needs to be reflected in future eligibility policies for DSS. This criteria for
DSS eligibility was also set prior to the development and Aotearoa New Zealand’s ratification
of the CRPD in 2008, but it has not been reviewed and the definition of disability has not been
updated since ratification.
12. The result of this Policy is that people are treated differently based on the nature of their
disability, and support is made available to some disabled people and not to others. The
Commission submits that this is a potential breach of the right to be free from discrimination
9
10
11
12
Section 21(1)(h).
Note that from 1 July 2022, DSS will transition to the new Ministry, as discussed further below.
The policy excludes eligibility for “… support services needed primarily as a result of behavioural
problems (e.g., associated with Foetal Alcohol Syndrome or substance abuse) except where the person
has a co-existing disability that meets DSS eligibility criteria (some services are funded by other
government agencies, in other situations this is a funding gap)” (p.10).
This can be contrasted with the treatment of people with another neurodevelopmental disorder –
autism spectrum disorder (ASD). Since 2014, people with ASD have been made eligible for a needs
assessment and therefore potential DSS.
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