Hospital District Distributions
Texas Government Code Section 403.508(a)(2) requires 15 percent of opioid settlement funding allocated to the Texas Opioid Abatement Fund Council (OAFC) to be distributed to hospital districts. 34 Texas Administrative Code Section 16.222 establishes administrative, transparency, oversight, and accountability provisions that govern the distribution of settlement funds by the OAFC and the receipt of those funds by hospital districts. The Texas Treasury Safekeeping Trust Company (TTSTC) made its first distribution of $65.8 million in August 2024, followed by $14.3 million in April 2025.
Access a section-by-section summary of 34 Texas Administrative Code Section 16.222 regarding hospital district distribution (PDF).
Eligible Uses of Opioid Abatement Funds
Exhibit E - List of Opioid Remediation Uses (PDF) is a settlement document that contains a non-exhaustive list of Opioid Remediation Strategies that can guide hospital districts in the spending of settlement funds.
Hospital districts may use their discretion to spend their allocated share of the funds, as long as the funds are used to remediate the opioid crisis and abide by state and federal laws. See 34 Texas Administrative Code Section 16.222(i)(1)(B)(i).
Additionally, questions regarding specific uses of settlement funds are best directed towards your district’s legal counsel.
Reporting Requirements
Hospital districts are required to report on their use of funds, including how the funds comply with the rule’s requirements that funds be used to remediate the opioid crisis. See 34 Texas Administrative Code Section 16.222(l).
Beginning in late 2025, OAFC will instruct hospital districts receiving funds how to complete a brief online survey. The submission will be due annually, around the beginning of the new year.
Funds Distribution Amounts
Individual amounts for local hospital districts depend on several factors, including hospital size and estimated distribution amount from the settlement agreements.
Funding distributions are made to two groups:
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Small, rural hospital districts in Group One will receive an upfront one-time, lump-sum distribution. Individual amounts for each hospital district in Group One are available at 34 Texas Administrative Code Section 16.222(f).
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Medium, Large and Urban hospital districts in Group Two will receive periodic distributions as settlement agreement funding is received by the OAFC for the duration of the settlement agreement. Individual allocations for each hospital district in Group Two are available at 34 Texas Administrative Code Section 16.222(g).
Access an informational map (PDF) of hospital district locations and distribution amounts.
Timeline for Future Distributions
The terms of the settlement agreements allow for varying payments to be received intermittently over periods as long as 18 years. OAFC will make distributions when the smallest amount of the money that would be allocated to an individual hospital district equals at least $1,000.
Program Enrollment
For information on how hospital districts can enroll in the OAFC Hospital District program, please email us at oafc.hospital@cpa.texas.gov.
Hospital District Distribution Dashboard
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Hospital District FAQ
What is a hospital district?
A hospital district is a political subdivision created to provide healthcare to low-income individuals. A hospital district can include one or more counties.
Additional information on hospital districts is available at:
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Texas Constitution, Article IX, Sections 4, 5, 8, 9, 9A, 9B and 11.
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Texas Health and Safety Code, Chapters 281-286.
Why do medium, large and urban hospital districts receive their funds in second and subsequent distributions?
Medium, large and urban hospital districts will receive their funding in second and subsequent distributions, because they will receive a larger pro rata amount over a longer time.
The OAFC prioritized providing full funding to the smallest, rural hospital districts in a single round of funding.
Once these hospitals have received their up-front, lump-sum distribution, the remaining medium, large and urban hospital districts will receive their funds over the lifetime of the settlement agreements.
Why does the rule make an initial distribution to small rural hospital districts?
The rule prioritizes small, rural hospital districts because this strategy will quickly get meaningful funding into the hardest hit communities.
Small, rural hospital districts tend to be located in areas that have been hardest hit by the opioid crisis.
Distributing all of these hospital districts’ funds up front will enable these districts to fund new and existing programs to quickly respond to the crisis in ways that best reflect their communities’ unique needs.
Can hospital districts spend funds on existing programs or only new programs?
The rule provides flexibility for hospital districts by authorizing them to use funds for opioid abatement programs, regardless of when the program was created.
As such, hospital districts can use the funding for new and existing programs that remediate the opioid crisis.
How does the rule ensure hospital districts use their settlement funds on opioid-related activities?
The rule includes several oversight, transparency, and accountability provisions that require hospital districts to use their settlement funds on activities to remediate the opioid crisis.
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As a condition of receiving payment and before a payment is made:
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The rule requires hospital districts to submit a resolution passed by the hospital district’s governing body that:
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Affirms that the hospital district will:
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use all money received to remediate the opioid crisis, including providing assistance in one or more categories approved by the OAFC:
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treatment and coordination of care;
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prevention and public safety;
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recovery support services;
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workforce development and training; or
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for allowable uses specified by a court order or settlement agreement if a court order or settlement agreement requires money to be used for one or more specific purposes.
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Return all funds to the council in the event funds are lost or misused.
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Designates by name and title an authorized official who can act on behalf of the hospital district to sign official documents related to the distribution.
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The rule requires hospital districts to:
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notify the OAC director if there is a change in the hospital district’s authorized official; and
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submit resolutions with updated information if the authorized official changes.
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If a hospital district fails to satisfy these conditions, the rule allows the OAFC to cancel a hospital district’s distribution and retain the funds for distribution to other hospital districts to remediate the opioid crisis.
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The rule requires all funds to be used only to remediate the opioid crisis, including providing assistance in one or more categories approved by the OAFC:
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treatment and coordination of care;
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prevention and public safety;
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recovery support services;
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workforce development and training; or
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for allowable uses specified by a court order or settlement agreement if a court order or settlement agreement requires money to be used for one or more specific purposes.
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The rule requires hospital districts to submit period reports on their use of funds, including how the funds comply with the rule’s requirement that funds be used to remediate the opioid crisis.
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The rule allows the OAFC to monitor individual hospital districts to ensure their use of funds complies with the rule’s requirements that the funds be used to remediate the opioid crisis.
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The rule allows the OAFC to require hospital districts to refund all or a portion of money received by the hospital district if the OAFC determines that the hospital district has failed to comply with the rule.
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The rule allows the OAFC to retain refunded money for future distribution to hospital districts to remediate the opioid crisis.
How does the rule protect the settlement funds from being used for activities other than those directly related to opioids?
The rule includes multiple factors that protect settlement funds.
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It requires hospital district boards to adopt a resolution:
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naming an authorized person to handle hospital district distribution funds and,
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affirming the hospital district will use distribution funds only for purposes in categories approved by the council.
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The rule allows the OAFC to cancel a hospital district’s distribution and retain the funds for distribution to other hospital districts to remediate the opioid crisis.
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The rule requires hospital districts to submit period reports on their use of funds, including how the funds comply with the rule’s requirement that funds be used to remediate the opioid crisis.
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The rule allows the OAFC to monitor individual hospital districts to ensure their use of funds complies with the rule’s requirements that the funds be used to remediate the opioid crisis.
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The rule allows the OAFC to take multiple actions to address noncompliance including:
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instruct the director to provide written notice to a hospital district of alleged failure to comply;
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provide the hospital district with an opportunity to respond;
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require the hospital district to cure the failure to comply to the satisfaction of the OAFC;
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require hospital districts to refund all or a portion of money received by the hospital district under the rule; and
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exercise any other legal remedies available.
What safeguards does the rule provide to hospitals to address potential failures to comply?
The rule allows the OAFC to take multiple actions to address potential failure to comply including:
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instruct the director to provide written notice to a hospital district of alleged failure to comply;
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provide the hospital district with an opportunity to respond;
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require the hospital district to cure the failure to comply to the satisfaction of the OAFC;
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require hospital districts to refund all or a portion of money received by the hospital district under the rule; and
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exercise any other legal remedies available.
How does the rule allow the OAFC to track hospital districts’ use of settlement funds?
The rule enables the OAFC director to monitor hospital districts that receive settlement money to ensure they comply with permissible uses.
The rule also requires hospital districts to submit period reports on their use of funds, including how the funds comply with the rule’s requirement that funds be used to remediate the opioid crisis.
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