MATHEWS V. LUCAS
427 U.S. 495 (1976)
NATURE OF THE CASE: Matthews (D) appealed a District Court decision that held that
discriminatory classifications against illegitimate children were constitutionally
impermissible, reversing the administrative decision of Social Security and ordering that
benefits be paid to the children of Lucas (P).
FACTS: Robert Cuffee, now deceased, lived with Belmira Lucas during the years 1948
through 1966. They were never married. They had two children: Ruby M. Lucas, in 1953, and
Darin E. Lucas, in 1960. In 1966 Cuffee and Lucas separated. Cuffee died in 1968. He died
without ever having acknowledged in writing his paternity of either Ruby or Darin, and it
was never determined in any judicial proceeding during his lifetime that he was the father
of either child. After Cuffee's death, Mrs. Lucas filed an application on behalf of Ruby and
Darin for surviving children's benefits under 202 (d) (1) of the Social Security Act. Under
the Act certain children are relieved of the burden of such individualized proof of
dependency. A child who is legitimate, or a child who would be entitled to inherit personal
property from the insured parent's estate under the applicable state intestacy law, is
considered to have been dependent at the time of the parent's death. A child is entitled to
a presumption of dependency if the decedent, before death, (a) had gone through a marriage
ceremony with the other parent, resulting in a purported marriage between them which, but
for a nonobvious legal defect, would have been valid, or (b) in writing had acknowledged the
child to be his, or (c) had been decreed by a court to be the child's father, or (d) had
been ordered by a court to support the child because the child was his. Social Security
determined the children had failed to demonstrate their dependency by proof that Cuffee
either lived with them or was contributing to their support at the time of his death, or by
any of the statutory presumptions of dependency, and thus that they were not entitled to
survivorship benefits under the Act. This was affirmed on administrative appeal. Lucas (P)
then filed this action, for review of the Secretary's decision. The District Court
ultimately affirmed each of the factual findings of the administrative agency. P urged that
denial of benefits in this case, where paternity was clear, violated the Fifth Amendment's
Due Process Clause, as that provision comprehends the principle of equal protection of the
laws, because other children, including all legitimate children, are statutorily entitled,
as P's children are not, to survivorship benefits regardless of actual dependency. The
District Court ruled that the statutory classifications were constitutionally impermissible.
D appealed directly to the Supreme Court.
ISSUE:
RULE OF LAW:
HOLDING AND DECISION:
LEGAL ANALYSIS:
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