USDA’s Coronavirus Food Assistance Program:  December 21, 2020 
Round Two (CFAP-2) 
Randy  Schnepf 
On September 18, 2020, the U.S. Department of Agriculture (USDA) announced a second round 
Specialist in Agricultural 
of Coronavirus Food Assistance Program (CFAP-2) payments valued at up to $14 billion. CFAP-
Policy 
2 focuses on losses or additional marketing costs as a result of the Coronavirus Disease 2019 
  
(COVID-19)  pandemic that were incurred during the second through fourth quarters of 2020. 
CFAP-2 follows a first round of payments (CFAP-1) that USDA announced at $16 billion in 
 
April 2020 for losses in the first quarter of 2020 and from which USDA had paid $10.5 billion as 
of December 5, 2020. 
The funding and general authority to undertake the second round of CFAP payments derive from two sources: (1) the broad 
authority provided to USDA under the Commodity Credit Corporation (CCC) Charter Act of 1948 (P.L.  80-806; 15 U.S.C. 
714 et seq.) and (2) the specific authority that Congress granted to USDA in the Coronavirus Aid, Relief, and Economic 
Security Act (CARES Act; P.L. 116-136).  The CARES Act (signed into law on March 27, 2020) provided $9.5 billion that 
was used to develop CFAP-1 and replenished $14 billion of funding availability for the CCC, which together are being used 
for CFAP-2. According to USDA, CCC funds are being used to partially compensate producers for the continued market 
disruptions from the COVID-19 pandemic and to assist with the transition to a more orderly marketing system. USDA 
expanded the CFAP-1 eligibility criteria in an effort to include more nontraditional commodities in CFAP-2’s payment 
distribution. Under CFAP-1, USDA required recipients to provide demonstrable economic damage from either a price 
decline (mid-January to mid-April) or unexpected additional marketing costs related to COVID-19 food supply chain 
disruptions. In contrast, under CFAP-2, USDA assumed economic damage for nearly all commodities. 
To achieve greater inclusion under CFAP-2, USDA is to use three separate payment categories—price trigger, flat rate, and 
sales—based on the nature of available data. Price trigger commodities are commodities that experienced a 5% or greater 
price decline between January 13-17, 2020, and July 27-31, 2020,  and include row crops and livestock. Payments are based 
on 2020 planted acres for row crops, 2019 production for broilers and eggs, 2020 milk  production for dairy, and 2020 
inventories for beef cattle and hogs and pigs. Flat-rate commodities are row crops that failed to meet the 5% price-decline 
criteria but had available data on eligible acres of the crop planted in 2020. A flat-rate payment would be made on the eligible 
acres. Sales commodities are those commodities that lacked sufficient price and acreage data and for which data exist on a 
producer’s 2019 sales value of the commodity. A payment would then be available based on the sales value. 
In general, CFAP-2 payments are subject to a per person and per legal-entity payment limitation of $250,000. The CFAP-2 
payment limitation applies to the total amount of CFAP-2 payments made with respect to all eligible commodities  of an 
individual or entity. However, it excludes payments made under CFAP-1 and other USDA Farm Service Agency (FSA) farm 
programs. As of December 5, 2020, USDA had approved 759,089 applications and made $11.6 billion in outlays under 
CFAP-2, with cattle and corn producers receiving the most money. The current CFAP-2 payment distribution pattern is 
similar to CFAP-1’s distribution—that is, payments are concentrated in the Corn Belt, Texas, and California. Producers could 
submit applications for CFAP-2 payments through December 11, 2020.   
Policy questions about the implementation of CFAP-2 payments include the following: 
  Have CFAP-2 payments successfully compensated (at least partially) all producers who have experienced 
unexpected economic costs due to COVID-19 during the second through fourth quarters of 2020?  
  Have CFAP-2 funds been distributed in a fair manner to every producer and for every commodity sector 
that has experienced COVID-19-related costs? 
  What is the potential for duplication of payments under existing farm programs? 
  What is the role for congressional monitoring and oversight of the large sums of taxpayer money that are 
being spent under a nontraditional authority? 
  Will additional assistance be needed later this year or early in 2021?  
  Will use of this nontraditional authority for such large sums of taxpayer money serve as a recurring 
template for future USDA payment interventions? 
Congressional Research Service 
 
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Contents 
Introduction ................................................................................................................... 1 
Report Overview ....................................................................................................... 2 
Details on Program Implementation ................................................................................... 2 
Program Authority ..................................................................................................... 2 
Funding Sources........................................................................................................ 3 
Implementing Agency and Timeline ............................................................................. 4 
Eligibility Criteria for Commodities ................................................................................... 4 
Three Categories of Eligible Commodities  .................................................................... 5 
Price Trigger Commodities .................................................................................... 5 
Flat-Rate Crops .................................................................................................... 7 
Sales Commodities ............................................................................................... 7 
Ineligible Commodities .............................................................................................. 7 
Payment Formulas Vary by Commodity Category ................................................................ 9 
Price Trigger Commodities ......................................................................................... 9 
Flat-Rate Crops ....................................................................................................... 12 
Sales Commodities .................................................................................................. 12 
Eligibility Criteria for Producers...................................................................................... 14 
Producer Data Subject to Verification .................................................................... 15 
Payment Limits............................................................................................................. 15 
Program Outlays: Projected Versus Actual ........................................................................ 16 
Issues for Congress ....................................................................................................... 18 
 
Figures 
Figure 1. Commodity Price Indexes, January 13-17=100, through July 31, 2020 ....................... 6 
Figure 2. CFAP-2 Payments by Commodity Category: Projected and Actual .......................... 17 
Figure 3. CFAP-2 Payments by State, as of December 13, 2020 ........................................... 17 
Figure 4. Average Output Value and CFAP-2 Payments by Commodity Category.................... 20 
Figure 5. Commodity Price Indexes, July 27-31=100, Through December 4, 2020 .................. 21 
Figure 6. Commodity Price Indexes, January 13-17=100, Through December 4, 2020 ............. 22 
 
Tables 
Table 1. Funding Sources for CFAP-1 and CFAP-2 .............................................................. 4 
Table 2. CFAP-2: Eligible Commodities by Category ........................................................... 8 
Table 3. CFAP-2 Payment Formula for Price Trigger Commodities....................................... 11 
Table 4. CFAP-2 Payment Rate for Sales Commodities by Sales Range ................................. 13 
Table 5. CFAP-2 Calculations for Five Hypothetical Sales Commodity Producers ................... 13 
 
Table A-1. Price Changes from Mid-January to Late-July 2020 for Price Trigger 
Commodities ............................................................................................................. 24 
Congressional Research Service 
 
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Appendixes 
Appendix. Supplementary Tables..................................................................................... 24 
 
Contacts 
Author Information ....................................................................................................... 25 
 
Congressional Research Service 
USDA’s Coronavirus Food Assistance Program: Round Two (CFAP-2) 
 
Introduction 
On April  17, 2020, Secretary of Agriculture Sonny Perdue announced that the U.S. Department of 
Agriculture (USDA) would initiate what would be the first round of direct payments under the 
Coronavirus Food Assistance Program (CFAP-1), valued at $16 bil ion, to provide immediate 
financial relief to farmers, ranchers, and consumers affected by the Coronavirus Disease 2019 
(COVID-19) pandemic.1 On September 18, 2020, USDA announced a second round of CFAP 
direct payments (CFAP-2), valued at up to an additional $14 bil ion.2 
Both CFAP-1 and CFAP-2 have the same eligibility  criteria and the same application process for 
participating producers. In addition, CFAP-1 and CFAP-2 have similar policy goals—that is, 
responding to the unexpected financial costs incurred by the U.S. agricultural sector due to the 
COVID-19 pandemic.  
The two programs also differ in many ways. CFAP-2 expands the list of commodities previously 
eligible  for payment under CFAP-1. Whereas CFAP-1 focused on providing assistance in 
response to damages incurred during the first quarter of 2020 on unsold production from 2019,3 
CFAP-2, according to USDA, focuses on losses or additional marketing costs incurred during the 
second through fourth quarters of 2020.4 CFAP-2 uses a different pool of funding and a different 
methodology for determining eligibility  for affected commodities, for calculating each 
commodity’s payment rate, and for calculating the total payments to eligible  producers. In 
addition, the two programs have separate (albeit identical) payment limits that are independent of, 
and separate from, payments under other USDA farm programs. 
This report describes the details of CFAP-2 direct payments to the U.S. agricultural sector in 
response to the COVID-19 pandemic. It describes the program’s funding source and authority; 
how the program is administered, including specific details on the calculation and implementation 
of payments; and the status of program outlays by commodity and by state.  
Three earlier CRS reports provide information on the COVID-19 pandemic’s impact on 
producers and consumers of U.S. agricultural products and the federal response.  
1.  CRS Report R46347, COVID-19, U.S. Agriculture, and USDA’s Coronavirus 
Food Assistance Program (CFAP), describes how the COVID-19 pandemic 
affected the U.S. food supply chain, including its deleterious impact on 
agricultural producers, which precipitated congressional and USDA responses.  
                                              
1 T he initial Coronavirus Food Assistance Program (CFAP -1) also included  the Farmers to Families Food Box 
program, valued  at an additional $3 billion. U.S.  Department of Agriculture (USDA), “ USDA  Announces Coronavirus 
Food Assistance Program,” press release, April 17, 2020. For more information, see CRS  Report R46347, COVID-19, 
U.S. Agriculture, and USDA’s Coronavirus Food Assistance Program  (CFAP). 
2 USDA,  “USDA  to Provide Additional Direct Assistance to Farmers and Ranchers Impacted by the Coronavirus,” 
press release, September 18, 2020. 
3 An exception is CFAP-1 payments for cattle, hogs and pigs, dairy, and lambs and sheep that used Commodity Credit 
Corporation (CCC) funding.  Such  payments were based  on spring inventories (April 16, 2020, to May 14, 2020) and 
largely reflected second quart er damages. 
4 As stated in USDA,  Coronavirus Food Assistance Program 2: Cost-Benefit Analysis, September 15, 2020, p. 1. 
However, for row crops, the CFAP -2 damage  period is  more ambiguous  than under CFAP -1. T his is  because  CFAP -2 
payments for row crops are based  on their 2020 planted acres, whereas most row crops are not harvested until the third 
or fourth quarter of 2020. T hus, USDA  appears to be declaring  that price declines on unharvested crops represent 
“damages” or “losses.” T he apparent flaw in this logic has been magnified  by large increases to above-pre-COVID-19 
levels for most row crop prices since July  (as discussed  in the “Issues for Congress”  section of this report). 
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2.  CRS Report R46395, USDA’s Coronavirus Food Assistance Program: Round 
One (CFAP-1), describes CFAP-1 payments and the methodology used to 
calculate those payments.  
3.  CRS Report R46432, Food Banks and Other Emergency Feeding Organizations: 
Federal Aid and the Response to COVID-19, provides general information on 
CFAP food purchase and distribution initiatives—the Farmers to Families Food 
Box program and other nutrition-related relief programs that responded to the 
COVID-19 pandemic. 
Congress is considering providing additional support for the agricultural sector beyond CFAP-1 
and CFAP-2.5 These potential additional efforts are not discussed in this report. However, a brief 
discussion related to the likelihood  of, or need for, a third round of CFAP payments is provided in 
the “Issues for Congress” section. 
Report Overview 
This report begins with a brief overview of CFAP-2, including its authority, funding sources, 
implementing agency, and the program’s timeline. The next section describes the details of 
CFAP-2, including eligibility  requirements for both producers and commodities and the payment 
calculations for each type of eligible  commodity category. The report then reviews current data on 
CFAP-2 payments. It ends with a brief discussion on issues of potential interest to Congress. The 
report’s Appendix includes a supplementary table, which provides details on USDA’s derivation 
of the payment rates for commodities affected by price declines. 
Details on Program Implementation  
On September 22, 2020, USDA released a final rule to implement the second round of CFAP 
direct payments (referred to as CFAP-2), including the program authority and funding sources, as 
wel  as the application procedures and timeline.6 These aspects of CFAP-2 are described in this 
section. The eligibility  requirements for commodities and producers and the payment calculations 
for each type of commodity category are described in the following three sections. 
Program Authority 
The general authority to undertake both the CFAP-1 and CFAP-2 derives from two sources. First, 
USDA interprets the Commodity Credit Corporation (CCC) Charter Act of 1948 (P.L. 80-806; 15 
U.S.C. 714 et seq.) as providing broad authority to use CCC funds to support the orderly 
production and marketing of agricultural commodities via normal marketing channels that have 
been disrupted by the COVID-19 pandemic.7 
Second, Congress granted specific authority to USDA under the Coronavirus Aid, Relief, and 
Economic Security Act (CARES Act; P.L. 116-136) to develop and administer a support program 
                                              
5 See  Ben Nuelle, “Bipartisan COVID  relief proposal allocates $13B in ag aid,”  AgriPulse, December 9, 2020.  
6 USDA,  Office of the Secretary, “ Coronavirus Food Assistance Program,” Final Rule,  85 Federal Register  59380, 
September 22, 2020. 
7 For a discussion  of the CCC  and USDA’s  authority under the CCC  Charter Act, see CRS  Report R44606, The 
Com m odity Credit Corporation: In Brief. 
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in response to the COVID-19 pandemic.8 In particular, USDA was to “prevent, prepare for, and 
respond to coronavirus by providing support to agricultural producers impacted by coronavirus, 
including producers of specialty crops, producers that supply local food systems, including 
farmers’ markets, restaurants, and schools, and livestock producers, including dairy producers.”9 
This approach provided funding to the Secretary of Agriculture with general authority to respond 
to a crisis (similarly to Congress’s direction to USDA to develop a payment program from a 
general appropriation in response to emergency appropriations for wildfires and hurricanes in 
2018 and 2019).10 Based on these two broad authorities, USDA developed CFAP-1 and CFAP-2. 
Funding Sources 
On September 18, 2020, USDA announced that the CCC would provide up to $14 bil ion  to make 
CFAP-2 direct payments to eligible  producers to provide them with financial assistance to help 
absorb the continuing higher marketing costs associated with the COVID-19 pandemic. Under 
this attribution, USDA  deems that the use of CCC funds is appropriate for al  eligible 
commodities. As CCC funds are prohibited from being used to provide assistance to tobacco,11 
CFAP-2 payments to tobacco producers are to be funded from the remaining portion of the $9.5 
bil ion  in CARES Act funding that was original y provided to USDA as part of CFAP-1 direct 
payments.12 Total CFAP-2 tobacco payments are not to exceed $100 mil ion. 
The CCC operates with a $30 bil ion  line of credit with the U.S. Treasury, a portion of which was 
used in FY2020 to fund a variety of activities authorized under the 2018 farm bil , prior farm 
bil s, and other enacted legislation.13 USDA also tapped CCC funding to provide trade mitigation 
assistance to agricultural producers in FY2020 through the Market Facilitation Program.14 
Obligating CCC funds for these activities would normal y have left insufficient funding available 
in CCC’s line of credit for CFAP-2 obligations. However, when the CARES Act was signed into 
law on March 27, 2020, it authorized an early replenishment in FY2020 of up to $14 bil ion  of 
borrowing authority for the CCC, with the understanding that the replenishment monies would 
not be available  to Secretary Perdue until later in the year.15 The $14 bil ion  from the CARES Act 
was not new spending; rather, it reimbursed the CCC for past spending. After the funds were 
                                              
8 T he Coronavirus Aid, Relief, and Economic Security Act (CARES  Act; P.L. 116-136), Title I of Division B—
Emergency Appropriations For Coronavirus Health Response And Agency Operations.  
9 USDA,  “USDA  Announces Coronavirus Food Assistance Program,” press release, April 17, 2020. Published in 
USDA,  Office of the Secretary, “Coronavirus Food Assistance Program,” 85 Federal Register 30825, May 21, 2020. 
10 For example, see CRS  In Focus  IF11245, FY2019 Supplemental Appropriations for Agriculture. 
11 USDA  support for tobacco programs was  terminated at the end of crop year 2004, following USDA’s  buyout of the 
U.S.  tobacco quota system under  the Fair and Equitable  T obacco Reform Act of 2004 ( P.L. 108-357). In addition, 
USDA  is  prohibited by language  in annual appropriations law from spending funds to help promote tobacco exports 
and conduct research relating to the production, processing, or marketing of tobacco and tobacco products. See  CRS 
Report 97-417 ENR, “ T obacco-Related Programs and Activities of the U.S. Department of Agriculture: Operation and 
Cost,” September 27, 2006; and Government Accountability Office (GAO), USDA’s Foreign Agricultural Service 
Lacks Specific Guidance for Congressional Restrictions  on Prom oting Tobacco, GAO-03-618, May 2003. 
12 As of November 15, 2020, USDA had made CFAP -1 payments of $10.42 billion, thus leaving unspent a substantial 
portion of the $16 billion in funding provided by the CARES  Act.  
13 By law,  the CCC  receives an annual appropriation equal to the amount of the previous year ’s net realized loss. T his 
replenishes its borrowing  authority from T reasury and allows  it to cover authorized expenditures that will not be 
recovered. See  CRS  Insight IN10941, Com m odity Credit Corporation: Q&A. 
14 See  CRS  Report R45865, Farm Policy: USDA’s 2019 Trade Aid Package. 
15 CARES  Act (P.L. 116-136), T itle I, §11002 of Division B—Emergency Appropriations For Coronavirus Health 
Response And Agency Operations. 
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transferred, which required waiting for a June 2020 financial statement, the CCC had renewed 
access to more funding for future obligations, including CFAP-2. 
Table 1. Funding Sources for CFAP-1 and CFAP-2 
$ bil ion 
 
CFAP-1 
CFAP-2 
Total 
CCC Charter Acta 
6.5 
14.0 
20.5 
CARES Actb 
9.4 
0.1 
9.5 
Total 
15.9 
14.1 
30.0 
Sources: CRS Report R46395, USDA’s Coronavirus  Food Assistance Program:  Round One (CFAP-1); and U.S. 
Department of Agriculture  (USDA), “USDA to Provide Additional Direct Assistance  to Farmers  and Ranchers 
Impacted by the Coronavirus,”  press release,  September 18, 2020. 
Notes: Al  funds shown in this table were  obligated in FY2020. 
a. 
The Commodity  Credit Corporation (CCC) operates with a $30 bil ion  line of credit with the U.S. 
Treasury, which is used to implement  USDA farm programs with mandatory funding.  
b.  The Coronavirus Aid, Relief,  and Economic Security Act (CARES Act; P.L.  116-136) authorized $9.5 bil ion 
in support of the first round of direct payments under the Coronavirus Food Assistance Program (CFAP-
1). Unspent funds from CFAP-1’s $9.5 bil ion  are to be carried forward to the second round of CFAP 
direct payments (CFAP-2) and used for tobacco payments. The CARES Act also authorized an early 
replenishment  in FY2020 of up to $14 bil ion of borrowing authority for the CCC, with the understanding 
that the replenishment  monies  would not be available to USDA until after June 2020. 
Implementing Agency and Timeline 
As with CFAP-1, USDA’s Farm Service Agency (FSA) is the principal agency charged with 
implementing CFAP-2’s direct payment program. In its September 22 final rule, USDA stated 
that the FSA would accept applications—beginning on September 21, 2020, and ending 
December 11, 2020—from “producers of agricultural commodities who face continuing market 
disruptions, low farm-level prices, and significant marketing costs.”16 
Eligibility Criteria for Commodities 
CFAP-2 expands the list of commodities eligible  for payment under CFAP-1. USDA determined 
eligibility  criteria for CFAP-2 in a similar manner to that of CFAP-1, but with some differences.  
During the first round of payments (CFAP-1), eligible commodities had to have incurred at least a 
5% or greater price decline between January 13-17, 2020, and April 6-9, 2020, as an indicator of 
COVID-19-related sales losses,17 or unexpectedly higher marketing costs, including possible 
spoilage on lost sales due to COVID-19-related supply chain disruptions.18 For some 
commodities, USDA determined the extent of marketing costs and spoilage losses based on its 
review of applicant submissions data. USDA received comments on a range of commodities—
                                              
16 USDA,  Office of the Secretary, “ Coronavirus Food Assistance Program,” Final Rule,  85 Federal Register  59380, 
September 22, 2020. For up-to-date program information on CFAP -2, including application forms, assistance with 
applying, and payment processing information, visit USDA’s Farm Service Agency (FSA)  web  portal for CFAP at 
https://www.farmers.gov/cfap.  
17 T he mid-January period is reflective of pre-COVID-19 market conditions. T he price decline from mid-January to 
early April is a measure of the COVID-19-related first quarter price impact. 
18 For details, see CRS  Report R46395, USDA’s Coronavirus Food Assistance Program: Round One (CFAP-1).  
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many without sufficient data to determine if these crops suffered eligible losses due to the effects 
of COVID-19. 
After the first round of payments were made, several commodity groups criticized USDA. 
According to these groups, the criteria had been applied too strictly, such that several 
commodities (primarily specialty crops) that had suffered COVID-19-related economic injury had 
been excluded from eligibility  for CFAP-1 payments.19 Many specialty crops are grown under 
contract or are targeted to local markets or end users, such that data are not readily available 
regarding prices and marketing costs.20 As a result, many specialty crops were deemed ineligible 
for CFAP-1 payments. Also, several commodity groups that had been deemed eligible for 
payments by USDA contended that they did not receive sufficient or meaningful payments 
because the formula used by USDA to calculate sales losses or COVID-19-related marketing 
costs did not fully reflect the additional  costs incurred due to the COVID-19 pandemic.21 
USDA responded to these criticisms by applying a more expansive interpretation of payment 
eligibility  under CFAP-2 than had been applied under CFAP-1, and implementing a simpler 
methodology for calculating the CFAP-2 payments for specialty crops.  
Three Categories of Eligible Commodities 
Under CFAP-2, eligible  commodities are broadly identified as those commodities that faced 
continuing market disruptions, low farm-level prices, and significant market costs due to the 
COVID-19 pandemic. USDA stated that significant marketing costs could be associated with 
declines in demand, surplus production, or disruptions to shipping patterns and the orderly 
marketing of commodities.22 Under this guidance, and to facilitate the development of inclusive 
payment formulas, USDA established three commodity payment categories—price-trigger 
commodities, flat-rate commodities, and sales commodities—each with its own eligibility  criteria 
and payment formula.23 
Price Trigger Commodities 
For commodities for which price data were available, USDA  assessed whether at least a 5% or 
greater price decline had occurred between January 13-17, 2020, and July 27-31, 2020.24 
Commodities that met the 5% price reduction criteria of CFAP-2 tended to be major program 
crops and livestock products for which national price data were readily available.25 These 
qualifying commodities were identified as “price trigger commodities” and include barley, corn, 
                                              
19 In particular, small farmers, processed food commodities (e.g., raisins), and aquaculture  were  noticeably underserved 
by CFAP-1. See  the discussion  in the “ Issues for Congress”  section in CRS  Report R46359, COVID-19 and Private 
Health Insurance Coverage: Frequently Asked Questions; Brad  Hooker, “ Smaller Farmers Are ‘Left Out’ of Aid 
Programs,” AgriPulse, June  6, 2020 (hereinafter Hooker, “Smaller Farmers Are ‘Left Out,’” 2020); and Letter from 
House  Agriculture Chairman Collin Peterson to USDA Secretary  Sonny Perdue, June 9, 2020. 
20 Hooker, “Smaller Farmers Are ‘Left Out,’” 2020. 
21 Hooker, “Smaller Farmers Are ‘Left Out,’” 2020. 
22 USDA,  “ Coronavirus Food Assistance Program,” Final Rule,  85 Federal Register 59380, September 22, 2020. 
23 See  Table 2 for a list of eligible  commodities under each payment category. 
24 T he mid-January period is reflective of pre-COVID-19 market conditions. T he price decline from mid-January to late 
July  is a measure of the COVID-19-related price impact through the second quarter of 2020. 
25 T he CFAP-2 payment calculation for price-trigger commodities is described  in Table 3. 
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sorghum, soybeans, sunflowers, upland cotton, wheat (al  classes), broilers, eggs, beef cattle, 
dairy, hogs and pigs, and lambs and sheep. 
CFAP-2 payments for these price-trigger commodities would then be based on 2020 planted acres 
for row crops; 2019 production for broilers and eggs; 2020 inventories for beef cattle and hogs 
and pigs; and milk production during selected periods in 2020 (described below) for dairy. This is 
in contrast to CFAP-1 price-loss payments, which were based on first-quarter sales or unpriced 
inventories of 2019 production. Also, the mid-January to late-July period used to evaluate CFAP-
2 price declines represents a longer price-evaluation period than was used under CFAP-1 and 
reflects an attempt to quantify the second quarter effects of prolonged lower prices (Figure 1).26 
However, as with CFAP-1, this is a relatively  short time frame for assessing loss due to price 
declines. Losses defined under this time frame may be relevant for perishable crops or livestock 
inventories that require substantial maintenance costs when markets are unexpectedly blocked. 
This time frame is possibly more questionable for row crops that had yet to be harvested—and 
thus have not yet incurred any loss—and that can be stored for years without losing market 
value.27  
Figure 1. Commodity Price Indexes, January 13-17=100, through July 31, 2020 
 
Sources: Compiled  by CRS using futures contract closing prices from the Chicago Mercantile Exchange 
(CME)—the November 2020 contract was used for feeder cattle, rough rice,  and soybeans, and the December 
                                              
26 Figure 1 uses indexes based  on futures contract prices as an indicator of the commodity price declines that occurred 
during  the CFAP -2 evaluation period from mid-January to late July. USDA  based  the actual CFAP -2 price decline 
calculations on national farm prices, not on futures price indexes. T hese price indexes are included  here as a visual  ai d 
for the reader to understand the general commodity price movements that have occurred during 2020.  
27 T raditional farm programs—such as Price Loss Coverage (PLC) and Agricultural  Risk Coverage (ARC)—use  an 
average price calculated for the entire marketing year and compare it against a reference price (PLC) or a historical 
moving average (ARC);  in contrast, the Market Facilitation Program (MFP) used a statistical model to evaluate the 
trade damage  resulting from retaliatory tariffs. See CRS  Report R45730, Farm  Com modity Provisions in the 2018 
Farm  Bill (P.L. 115-334); and CRS  Report R45310, Farm  Policy: USDA’s 2018 Trade Aid Package. 
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contract was used for lean hogs, Class III Milk,  corn, and wheat (Soft Red Wheat, Chicago). For  Upland Cotton 
(#2), the December  contract from the New York Mercantile  Exchange (NYMEX) was used. 
Notes: The price index differences,  displayed as percentages in the chart, compare  the difference between the 
January 13-17, 2020, average price index and the July 27-31, 2020, average price index. The price indexes are not 
adjusted for seasonality. 
For al  other commodities that did not meet the 5%-price decline criteria, or did not have data 
available  to calculate a price change, USDA relied on producer or industry submissions to 
determine eligibility  and calculate the relevant payment rate—such commodities are eligible for 
CFAP-2 payments under two alternate payment categories: flat-rate crops and sales commodities. 
Flat-Rate Crops 
For field or row crops with available data, a flat-rate payment was available  based on eligible 
acres of the crop planted in 2020.28 Eligible  flat-rate crops include alfalfa, Extra Long Staple 
(ELS) cotton, oats, peanuts, and rice, as wel  as some crops with relatively smal  acreage—such 
as amaranth grain, buckwheat, canola, crambe (colwort), einkorn, emmer, flax, guar, hemp, 
indigo, industrial rice, kenaf, Khorasan, mil et, mustard, oats, peanuts, quinoa, rice, sweet rice, 
wild rye, safflower, sesame, speltz, sugar beets, sugarcane, teff, triticale, and rapeseed. 
Sales Commodities 
For those commodities that lacked both price and acreage data, a final payment category was 
available  based on a producer’s 2019 sales value of the commodities. Sales commodities include 
fruits and vegetables; aquaculture grown in a controlled environment; nursery crops and 
floriculture; other livestock (excluding breeding stock) not included under the price trigger 
category that were grown for food, fiber, fur (but not pelts), or feathers; tobacco; goat milk; mink 
(including pelts); mohair; wool; horticulture commodities; tree nuts; honey; and maple sap.29 
Special  Consideration  for New or Beginning Farmers and Ranchers 
Payments cannot be calculated using the methods described above for producers of broilers, eggs, 
and sales commodities by producers who began farming in 2020 and had no 2019 production or 
sales. Payments for such producers wil  be based on the producer’s actual 2020 production or 
sales as of the date the producer submits an application for payment. 
Ineligible Commodities 
Only commercial y produced commodities are eligible for CFAP payments. Hay, except alfalfa, 
and any crops that were intended for grazing are excluded from eligibility  for CFAP. Similarly, 
birdsfoot and trefoil, clover, cover crop, fal ow, forage soybeans, forage sorghum, gardens 
(commercial and home), grass, kochia (prostrata), lespedeza, milkweed, mixed forage, pelts 
(excluding mink), perennial peanuts, pollinators, sunn hemp, vetch, and seed of ineligible crops 
are ineligible  for CFAP-2 payments. Al  equine, breeding stock, companion or comfort animals, 
pets, and animals raised for hunting or game purposes are excluded from eligibility.   
                                              
28 Eligible  acres include  the producer’s share of acres (as determined or reported via form FSA-578, Report of Acreage) 
of the crop planted in 2020, excluding prevented planted and experimental acres.  
29 For a complete list of eligible  sales  commodities, see Table 2. 
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Table 2. CFAP-2: Eligible Commodities by Category  
Category 
Commoditiesa 
Price-Trigger Commodities 
 
Commodities  where at least a 5% or greater price decline occurred between January 13-17, 2020, and 
July 27-31, 2020. Qualifying price-trigger  commodities  include the fol owing: 
 
Crops: barley, corn, sorghum, soybeans, sunflowers,  upland cotton, and wheat (al  classes)  
Broilers: any chicken that has been commercial y  produced for meat purposes that has left the farm for 
slaughter and was not used for laying or breeding purposes 
Eggs: dried,  frozen, liquid, and shel  eggs 
Dairy: cow’s milk 
Livestock: beef cattle, hogs and pigs, and lambs and sheep 
Flat-Rate  Crops 
 
For field or row crops with available data, a flat-rate payment was available based on eligible  acres of the 
crop planted in 2020. Qualifying flat-rate commodities  include the fol owing: 
 
Crops with relatively large acreage: Alfalfa,  canola, oats, peanuts, rice, sugar beets, and sugarcane 
Crops with relatively small acreage: amaranth grain, buckwheat, crambe (colwort), einkorn, 
emmer,  Extra Long Staple (ELS) cotton, flax, guar, hemp, indigo, industrial rice,  kenaf, Khorasan, mil et, 
mustard, quinoa, sweet rice,  wild rye, safflower,  sesame,  speltz, teff, triticale,  and rapeseed 
Sales Commodities 
 
For those commodities  that lacked both price and acreage data, a final payment category was available 
based on a producer’s 2019 sales value of the commodity.  Qualifying sales  commodities  include the 
fol owing: 
 
Aquaculture:  any species  of aquatic organisms  grown as food for human consumption; fish raised as 
feed for fish that are consumed by humans; and ornamental fish propagated and reared in an aquatic 
medium.  Eligible  aquaculture species must be raised by a commercial  operator and in water in a 
control ed environment.b 
 
Nursery crops: decorative or nondecorative plants grown in a container or control ed  environment 
for commercial  sale, including cactus and Christmas trees 
 
Floriculture: cut flowers  and cut greenery  from annual and perennial flowering plants grown in a 
container or control ed  environment for commercial  sale 
 
Horticulture:  anise,  basil, cassava, chervil  (fresh parsley), chia, chicory (radicchio), cilantro, cinnamon, 
curry leaves, galanga, ginger, ginseng, guayule, herbs, hops, lotus root, marjoram,  meadowfoam,  mint, 
moringa,  niger seed,  oregano, parsley,  pennycress, peppermint, pohole, psyl ium,  rosemary,  sage, savory, 
shrubs (forbs), sorrel,  spearmint,  tangos, tea, thyme, turmeric,  vanil a, wasabi, water cress,  and yu cha 
 
Tree nuts: almonds,  avocados, carob, cashew, chestnuts, coffee, hazel nuts, jojoba, macadamia nuts, 
noni, olives,  pecans, persimmons,  pine nuts, pistachios, quinces, and walnuts 
 
Fruit: abiu, acerola (Barbados cherry), achachairu, antidesma, apples, apricots, aronia (chokeberry), 
atemoya (custard apple), bananas, blueberries,  breadfruit, cacao, caimito,  calabaza melon,  canary melon, 
canary seed, caneberries,  canistel, cantaloupes, carambola (star fruit), casaba melon,  cherimoya (sugar 
apple), cherries,  Chinese bitter melon,  citron, citron melon,  coconuts, cranberries,  crenshaw melon, 
dates, donaqua (winter melon), durian, elderberries,  figs, genip, gooseberries,  grapefruit, grapes, ground 
cherry, guamabana (soursop), guava, guavaberry, honeyberries,  honeydew, huckleb erries,  Israel melons, 
jack fruit, jujube, juneberries,  kiwiberry,  kiwifruit,  Korean golden melon,  kumquats, langsat, lemons, 
limequats,  limes,  longan, loquats, lychee, mangos, mangosteen,  mayhaw berries,  mesple,  mulberries, 
nectarines, oranges,  papaya, passion fruits, pawpaw, peaches, pears, pineapple, pitaya (dragon fruit), 
plantain, plumcots, plums, pomegranates,  prunes, pummelo,  raisins,  rambutan, sapodil a, sapote, 
schizandra berries,  sprite melon,  star gooseberry,  strawberries,  tangelos, tangerines, tangors, wampee, 
watermelon,  wax jamboo fruit, and wolfberry  (goji) 
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Category 
Commoditiesa 
 
Vegetables:  alfalfa sprouts, aloe vera, artichokes,  arugula (greens), asparagus, bamboo shoots, batatas, 
bean sprouts, beans (including dry edible), beets, bok choy, broccoflower,  broccoli,  broccolini,  broccolo-
cavalo, Brussel  sprouts, cabbage, calaloo,  carrots, cauliflower,  celeriac,  celery,  chickpea (see beans, 
garbanzo), chives, col ard  greens, coriander,  corn, sweet, cucumbers, daikon, dandelion greens,  dasheen 
(taro root, malanga), dil ,  eggplant, endive, escarole,  frisee,  gailon (gai lein,  Chinese broccoli), garlic, 
gourds, greens, horseradish,  Jerusalem  artichokes  (sunchoke), kale, kohlrabi,  leeks,  lentils,  lettuce, 
melongene,  mesculin  mix, microgreens,  mushrooms,  okra,  onions, parsnip, peas (including dry edible), 
pejibaye (heart of palm), peppers, potatoes, sweet potatoes, pumpkins, radicchio, radishes,  rhubarb, 
rutabaga, salsify  (oyster plant), scal ions,  seed-vegetable,  shal ots, spinach, squash, swiss  chard, tannier, 
taro, tomatil os,  tomatoes, truffles, turnip top (greens), turnips, yam, and yautia (malanga) 
 
Other livestock: animals  (excluding breeding stock) not included under the price trigger category that 
were commercial y  raised for food, fur, fiber, or feathers, including alpacas, bison, buffalo, beefalo, deer, 
ducks, elk, emus,  geese,  goats, guinea pigs, l amas,  mink,  ostrich, pheasants, quail, rabbits, reindeer,  and 
turkey 
 
Other: tobacco, goat milk,  mink (including pelts), mohair,  wool,  and honey and maple sap 
Ineligible  Commodities 
  Hay, except alfalfa, and any crops that were  intended for grazing   
Birdsfoot and trefoil,  clover,  cover crop, fal ow, forage soybeans, forage sorghum, gardens (commercial 
and home), grass,  kochia (prostrata), lespedeza,  milkweed,  mixed  forage, pelts (excluding mink), 
perennial peanuts, pol inators,  sunn hemp, vetch, and seed of ineligible  crops 
Al   equine, breeding stock, companion or comfort animals,  pets, and animals raised  for hunting or game 
purposes 
Sources: USDA,  Office of the Secretary,  “Coronavirus Food Assistance Program,”  Final Rule, 85 Federal Register 
59380, September 22, 2020. See also USDA,  Farm Service  Agency (FSA), “Coronavirus Food Assistance Program 2,” 
fact sheet, October 1, 2020. 
Notes: 
a. 
Only commercial y  produced commodities  are eligible.  Furthermore,  only commodities  produced in the 
United States are eligible  for payments. Commodities  other than livestock  that are imported into the 
United States may not be used to determine  any payment made under CFAP. For livestock,  “produced in 
the United States” means physical y located in the United States (7 C.F.R. Part 9, §9.1(a)). 
b.  This includes mol uscan shel fish  and seaweed,  which were previously  covered under the U.S. Department 
of Commerce  program.   
Payment Formulas Vary by Commodity Category 
According to USDA, CCC funds are to be used to partial y compensate producers for the 
continued market disruptions from the COVID-19 pandemic and to assist with the transition to a 
more orderly marketing system.30 To accomplish this goal, USDA  developed separate payment 
formulas for each of the three payment categories—price trigger, flat-rate, and sales. 
Price Trigger Commodities 
A common feature for al  of the price trigger commodities is that each commodity experienced at 
least a 5% or greater price decline from mid-January to late July (Table A-1). USDA then 
calculated each commodity’s payment rate as 80% of the calculated price decline.31 However, the 
subsequent CFAP-2 payment formula for eligible price trigger commodities is tailored to the 
                                              
30 With the exception of tobacco, for which USDA  will  use  CARES  Act funds,  not to exceed $100 million.  
31 T he 80% coverage factor, not mentioned in USDA’s September 22 final rule, is discussed  in the CFAP-2 Cost-
Benefit Analysis. USDA  has provided no explanation for the 80% coverage factor.  
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nature of the commodity, with separate formulas for crops, broilers and eggs, dairy (cow’s milk), 
and livestock (beef cattle, hogs and pigs, and lambs and sheep). 
Price Trigger Crops 
For price trigger crops (see Table 2), the payment rate is to be applied to 2020 planted acres of 
the crop, excluding prevented planting and experimental acres, to determine a potential payment. 
USDA included a payment floor of $15 per acre as part of the payment formula for price trigger 
crop producers. Thus, the CFAP-2 payment for a price trigger crop would be the greater of either 
the eligible  acres multiplied by a payment rate of $15 per acre or the eligible  acres (Table 3, 
column B) multiplied  by both a nationwide crop marketing percentage (Table 3, column C)32 and 
a crop-specific payment rate (Table 3, column D), and then multiplied by the producer’s 
approximated crop yield for 2020 (Table 3, column E).33 
In contrast, under CFAP-1, both the price-loss and market-cost payment rates for row crops were 
applied to the unpriced inventory from 2019 production as of January 15, 2020.34 Again, this 
contrast is significant in that 2020 crops receiving CFAP-2 payments were stil  unharvested 
during the price-loss period of January 13-17 and July 27-31, thus, they had not yet incurred any 
losses. Furthermore, subsequent changes in market conditions since mid-August have contributed 
to farm prices moving substantial y higher through the end of 2020, thus offsetting much, if not 
al , of the price declines of the first half of the year (discussed in the “Wil  the Agricultural Sector 
Need Additional Assistance?” section). 
Other Price Trigger Commodities 
For broilers and eggs, payments are to be based on 75% of the producers’ 2019 production 
multiplied  by a per-unit payment rate (Table 3).35 
CFAP-2 dairy payments are to be based on the payment rate of $1.20 per hundredweight (cwt) 
multiplied  by the sum of the farm operation’s milk production during two periods: (1) April 1, 
2020, to August 31, 2020, and (2) September 1, 2020, to December 31, 2020.36 Since the second 
period extends beyond the CFAP-2 application deadline of December 11, 2020, USDA’s FSA 
wil  estimate milk production for the second period by multiplying the producer’s daily average 
milk production during the first period by the number of days the dairy operation expects to 
commercial y market milk during the second period.  
Eligible  beef cattle, hogs and pigs, and lambs and sheep CFAP-2 payments are to be based on the 
maximum owned inventory of eligible  livestock—but subject to a maximum number of head and 
excluding breeding stock—on a date selected by the producer between April 16, 2020, and 
August 31, 2020, times a per-head payment rate (Table 3). The limitation on CFAP-2 payments 
for livestock by capping the number of eligible  animals did not exist under CFAP-1.  
                                              
32 T he national average share of the crop marketed from the start of the 2020/21 marketing year through the end of 
calendar year 2020. T he marketing year begins June  1 for barley and wheat; August  1 for upland cotton and 
sunflowers;  and September 1 for corn, sorghum, and soybeans. 
33 See  table note “b” in Table 3 for details  on deriving the applicable crop yield. 
34 CRS  Report R46395, USDA’s Coronavirus Food Assistance Program: Round One (CFAP-1). 
35 Broilers and eggs  in the shell were not eligible  for CFAP -1 payments. Liquid  and frozen eggs  were eligible  for 
CFAP-1 payments based  on their first quarter 2020 production. 
36 CFAP-1 price-loss payments for dairy producers were based  on first quarter 2020 milk production. 
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Table 3. CFAP-2 Payment Formula for Price Trigger Commodities 
(A) 
(B) 
(C) 
(D) 
(E) 
Marketing 
Payment Rateb 
Yield per 
Commodity 
Unit 
Percentagea 
($/unit) 
Acrec 
Row Crops 
 
 
 
 
Barley 
2020 planted acres 
63% 
$0.54 
Bushels 
Corn 
2020 planted acres 
40% 
$0.58 
Bushels 
Cotton, Upland 
2020 planted acres 
46% 
$0.08 
Bushels 
Sorghum 
2020 planted acres 
55% 
$0.56 
Bushels 
Soybeans 
2020 planted acres 
54% 
$0.58 
Bushels 
Sunflowers 
2020 planted acres 
44% 
$0.02 
Bushels 
Wheat (al  classes) 
2020 planted acres 
73% 
$0.54 
Bushels 
Other Commodities: Broilers and Eggs,d Dairy, and Livestock 
 
 
Broilers 
head of 2019 production 
75% 
$1.01 
NA 
Eggs, Shel ed 
dozen of 2019 production 
75% 
$0.05 
NA 
Eggs, Liquid 
pounds of 2019 production 
75% 
$0.04 
NA 
Eggs, Dried 
pounds of 2019 production 
75% 
$0.14 
NA 
Eggs, Frozen 
pounds of 2019 production 
75% 
$0.05 
NA 
Dairy (cow’s milk) 
hundred pounds of eligible  productione 
100% 
$1.20 
NA 
Beef Cattle 
head of eligible  productionf 
100% 
$55.00 
NA 
Hogs and Pigs 
head of eligible  productiong 
100% 
$23.00 
NA 
Lambs and Sheep 
head of eligible  productionh 
100% 
$27.00 
NA 
Source: USDA,  Office of the Secretary, “CFAP,” Final Rule, 85 Federal Register 59380, September  22, 2020. 
Notes: NA = not applicable. For row crops,  the CFAP-1 payment = (B) x (C) x (D) x (E); for other 
commodities,  the CFAP-1 payment = (B) x (C) x (D). 
a. 
National average share of the crop marketed  from the start of the 2020/21 marketing year through the 
end of calendar year 2020. The marketing  year begins June 1 for barley and wheat; August 1 for upland 
cotton and sunflowers; and September  1 for corn, sorghum, and soybeans. 
b.  The payment rate equals 80% of the price decline from January 13-17, 2020, to July 27-31, 2020. 
c. 
To approximate 2020 yields, USDA used the weighted Actual Production History (APH) approved yield 
from the federal crop insurance program.  For details, see CRS Report R45193, Federal Crop  Insurance: 
Program  Overview for the 115th Congress.  A producer wil   have a distinct APH on each insured unit on which 
a commodity  is produced. These different APHs are weighted by the acres of each unit to produce a 
weighted APH for a producer. If the APH is  unavailable, then 85% of the 2019 Agriculture Risk Coverage-
County Option (ARC-CO) benchmark yield  for that crop wil  be used.  For details,  see CRS Report 
R45730, Farm Commodity  Provisions  in the 2018 Farm Bil  (P.L. 115-334). 
d.  CFAP-1 payments for egg are to the producers, not the processors.  The egg categories  are for producers 
supplying different segments  of the egg market.   
e.  The sum of the farm operation’s milk  production during two periods:  (1) April 1, 2020, to August 31, 
2020, and (2) September  1, 2020, to December  31, 2020. FSA wil  estimate  milk  production for the second 
period by multiplying the producer’s daily average milk  production during the first period by the number of 
days the dairy operation expects to commercial y  market milk  during the second period.   
f. 
The lower  of (1) maximum  owned inventory of eligible  beef cattle, excluding breeding stock, on a date 
selected by the producer between April  16, 2020, and August 31, 2020; or (2) 4,546 head.  
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g. 
The lower  of (1) maximum  owned inventory of eligible  hogs and pigs, excluding breeding stock, on a date 
selected by the producer between April  16, 2020, and August 31, 2020; or (2) 10,870 head.  
h.  The highest owned inventory of eligible  lambs and sheep, excluding breeding stock, on a date selected by 
the producer between April 16, 2020, and August 31, 2020. 
In contrast to CFAP-2, CFAP-1 used both inventories and sales to calculate payments to livestock 
producers. Price-loss payments were based on the quantity sold during the first quarter of 2020 
(as approximated by using data for the January 15, 2020, to April 15, 2020, period), and market-
cost payments were based on their maximum unpriced inventory during the April 16, 2020, to 
May 14, 2020, period. CFAP-2 payments are based uniquely on inventories, not sales, and the 
inventory period overlaps with the CFAP-1 inventory period. As a result, some livestock 
inventories could be paid twice for the same price decline. 
Flat-Rate Crops 
Commodities that did not experience a 5% or greater price decline but continue to experience 
COVID-19-related marketing costs and are able to provide information on 2020 planted acres 
may be eligible  for a flat-rate payment.37 Such commodities are referred to as flat-rate crops. For 
flat-rate crops, USDA calculates the CFAP-2 payment as $15 per acre for a producer’s eligible 
acres.38 The choice of $15 per acre reflects the continuation of the flat rate of $15 per acre that 
USDA  used as a floor payment rate for price trigger crops (as described earlier) and for major 
crops (corn, upland cotton, sorghum, soybeans, and wheat) under the 2019 Market Facilitation 
Program.39 
Sales Commodities 
Producers of commodities that did not have a 5% or greater price decline, and who do not have 
data on 2020 planted acres, are eligible for payments based on the value of their 2019 sales (used 
as a proxy for 2020 sales) for an extensive list of USDA-designated eligible  commodities. For 
such sales commodities, payments are to be calculated using a percentage of 2019 farm sales of 
the commodity based on five payment gradations (Table 4). 
Producers compare their total sales of eligible commodities from 2019 against the payment 
ranges in Table 4: the first $49,999 of sales receives a payment of 10.6%; the next $50,000 in 
sales (from $50,000 to $99,999) receives a payment of 9.9%, etc. Table 5 provides five examples 
of CFAP-2 sales commodity payment calculations under increasing sales values. 
Many specialty crops are expected to receive CFAP-2 payments under the sales commodity 
method. Under CFAP-1, specialty crop producers could receive payments under three different 
methods: (1) a price-loss payment based on the quantity sold during the first quarter of 2020;40 (2) 
a market-cost payment based on the unpriced inventory on the farm (including unharvested 
                                              
37 USDA  has deemed  the announced commodities listed in Table 2 as  being eligible  under one of the three payment 
methods. Producers do not have to document any loss; instead, they must document planted acres or 2019 sales per the 
relevant payment method. 
38 Eligible  acres included  the producer’s share of acres (as determined or reported via form FSA-578, Report of 
Acreage) of the crop planted in 2020, excluding prevented planted and experimental acres.  
39 CRS  Report R45865, Farm Policy: USDA’s 2019 Trade Aid Package. USDA  also contends that $15 per acre 
generally falls along the lower end of the distribution for CFAP -2 price triggered crops. USDA,  Coronavirus Food 
Assistance Program  2: Cost-Benefit Analysis, September 15, 2020. 
40 T he first quarter was  approximated by using  data for the January 15, 2020, to April 15, 2020, period.  
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commodities); and (3) a spoilage payment based on shipped quantity that spoiled before the 
purchase contract’s completion and subsequently received no payment.41 
Table 4. CFAP-2 Payment Rate for Sales Commodities by Sales Range 
2019 Sales Range 
Percent  Payment Factor 
Up to $49,999 
10.6% 
 
$50,000 to $99,999 
9.9% 
 
$100,000 to $499,999 
9.7% 
 
$500,000 to $999,999 
9.0% 
 
Al   sales over $1 mil ion 
8.8% 
 
Source: USDA,  Office of the Secretary, “CFAP,” Final Rule, 85 Federal Register 59380, September  22, 2020. 
Notes: Producers are to self-certify their 2019 commodity sales  to their local FSA office. Eligible sales  include 
only sales  of raw commodities  grown by the producer. The portions of sales  derived from adding value to the 
commodity,  such as processing and packaging, and from sales of products purchased for resale  are not included 
in the payment calculation unless determined  eligible  by the Secretary. The percent payment factors are based 
on regression  analysis estimating  variable crop expenses as a proportion of fruit, vegetable, and nut sales,  using 
data from USDA’s  2018 Agricultural  Resource Management Survey. For details, see the discussion in USDA, 
Coronavirus  Food Assistance Program 2: Cost-Benefit Analysis,  September 15, 2020, pp. 20-21 and p. 21, footnote 8. 
Table 5. CFAP-2 Calculations for Five Hypothetical Sales Commodity Producers 
assuming dif erent levels of 2019 sales of eligible commodities 
Sales Tranches and Payment Rates 
 
Sales 
Sales 
$50K to 
$100K to  $500K to 
$1M or 
Total 
 
Scen-
2019 
<$50K 
$99,999 
$499,999 
$999,999 
more 
Gross 
Effective 
ario 
Sales 
(10.6%) 
(9.9%) 
(9.7%) 
(9.0%) 
(8.8%) 
Paymenta 
Rateb 
 
(A) 
(B)c 
(C)d 
(D)e 
(E)f 
(F)g 
(G) 
(H) 
1 
$8,265 
$876 
— 
— 
— 
— 
$876 
10.6% 
2 
$66,187 
$5,300 
$1,603 
— 
— 
— 
$6,903 
10.4% 
3 
$220,737 
$5,300 
$4,950 
$11,712 
— 
— 
$21,962 
9.9% 
4 
$686,650 
$5,300 
$4,950 
$38,800 
$16,798 
— 
$65,848 
9.6% 
5 
$3,978,421 
$5,300 
$4,950 
$38,800 
$45,000 
$262,101 
$356,151 
6.3% 
Source: Reproduced from Table 11 in USDA,  Office of the Secretary, “CFAP,” Final Rule, 85 Federal Register 
59380, September 22, 2020. 
Notes: K = thousands; M = mil ions. 
a.  Total gross payments (G) equals the sum of payments by tranche, that is (B)+(C)+(D)+(E)+(F).  
b.  Total gross payments (G) as a share of 2019 sales value (A), that is (G)/(A). 
                                              
41 CRS  Report R46395, USDA’s Coronavirus Food Assistance Program: Round One (CFAP-1). 
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c.  Under Tranche 1 (sales< $50,000), that is column (B): scenario 1 is ($8,265 x 10.6%)  = $876; scenarios 2-5 
are ($49,999 x 10.6%) = $5,300).  
d.  Under Tranche 2 ($50,000 to $99,999), that is column (C): scenario 1 is empty; scenario 2 is ($16,188 x 
9.9%) = $1,603; scenarios 3-5 are ($49,999 x 9.9%) = $4,950. 
e.  Under Tranche 3 ($100,000 to $499,999), that is column (D): scenarios  1-2 are empty; scenario 3 is 
($120,738 x 9.7%) = $11,712; scenarios 4-5 are ($399,999 x 9.7%) = $38,800. 
f.  Under Tranche 4 ($500,000 to $999,999), that is column (E): scenarios 1 -3 are empty; scenario 4 is 
($186,651 x 9.0%) = $16,798; scenario 5 is ($499,999 x 9.0%) = $45,000. 
g.  Under Tranche 5 ($1 mil ion  or greater), that is column (F): scenarios 1-4 are empty; scenario 5 is 
($2,978,422 x 8.8%) = $262,101. 
Eligibility Criteria for Producers  
According to USDA rules, to qualify for a CFAP-2 payment, an eligible  individual  or legal entity 
must meet the below criteria.42 CFAP payments are not to be made until al   eligibility 
documentation has been received. 
  Each producer or legal entity of qualifying commodities must complete a CFAP-
2 application form and provide any required documentation.43 
  A producer must share in the risk of producing a qualifying crop or livestock.44 A 
contract grower who does not own the livestock is to be considered a producer if 
the contract al ows the grower to have risk in the livestock. 
  A producer must be in the business of farming at the time of the application. 
  A producer must be in compliance with conservation provisions—including 
highly erodible land conservation (Sodbuster) and wetland conservation 
(Swampbuster) provisions.45 
  A producer must be either a U.S. citizen or a resident alien; however, a foreign 
person may qualify if that person provides sufficient land, capital, and active 
personal labor to the farming operation. USDA has established that 400 hours of 
active personal labor or active personal management meet this standard.46 
  There is no requirement to have crop insurance coverage or coverage under the 
Noninsured Crop Disaster Assistance Program. 
  A person or legal entity, other than a joint venture or general partnership,47 is 
ineligible  for payments if the person’s or legal entity’s average adjusted gross 
                                              
42 T hese criteria apply equally to both CFAP-1 and CFAP-2 payments but with references to different periods—first 
quarter 2020 for CFAP -1 versus second through fourth quarter 2020 for CFAP -2. T he criteria are restated here with 
reference to CFAP -2. 
43 T he required USDA  application forms are available at USDA,  CFAP -2, “Assistance with Applying,” at 
https://www.farmers.gov/cfap. T he application forms also are described  in Appendix T able A.5 in CRS  Report 
R46395, USDA’s Coronavirus Food Assistance Program : Round One (CFAP -1).  
44 In addition, a producer applying for CFAP -2 assistance for a crop under either the price trigger or flat -rate categories 
must file a report of all acreage of the crop on FSA-578, Report of Acreage. 
45 See  CRS  Report R42459, Conservation Compliance and U.S. Farm Policy. 
46 Under traditional farm support programs, payment recipients must meet different eligibility requirements, including 
the following: for active personal labor—the smaller of at least 1,000 hours per calendar year or 50% of the total hours 
needed  to run the farm operation; for active personal management—at least (a) 25% of total management hours of the 
operation; or (b) at least 500 hours of management annually; or (c) a combination of labor and management hours as 
defined  by a USDA  schedule.  See  CRS  Report R46248, U.S. Farm  Program s: Eligibility and Paym ent Lim its. 
47 With respect to joint ventures and general partnerships, this adjusted gross income (AGI) provision would  be applied 
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income (AGI)—using the average of the AGIs for the 2016, 2017, and 2018 tax 
years—is more than $900,000, unless at least 75% of that person’s or legal 
entity’s average AGI is derived from farming, ranching, or forestry-related 
activities.  
  A producer must not have a controlled substance violation. 
Producer Data Subject to Verification 
As with CFAP-1, producers are expected to self-certify their sales and inventories that are used to 
calculate CFAP-2 payments.48 Producers who are approved for participation in CFAP-2 are 
required to retain documentation in support of their application for three years after the date of 
approval. This includes records and paperwork to demonstrate losses, especial y for producers 
who have destroyed their product (e.g., dumping of milk or plowing under specialty crops). 
Participants receiving CFAP payments, or any other person who furnishes such information to 
USDA, must permit authorized representatives of USDA or the Government Accountability 
Office (GAO) to enter, during regular business hours, the agricultural operation and to inspect, 
examine, and make copies of books, records, or other items for the purpose of confirming the 
accuracy of the information provided by the participant. 
Payment Limits 
CFAP-2 payment limits  are identical to those of CFAP-1; however, they are separate from and 
independent of both CFAP-1 payment limits and other farm program payment limits. In general, 
CFAP-2 payments are subject to a per-person and per-legal-entity payment limitation of 
$250,000,49 which is expected to result in some eligible  commodity producers not receiving the 
entire calculated CFAP-2 payment. For example, USDA projects that based on its CFAP-2 
payment formula without payment limits, $18.6 bil ion  in CFAP-2 payments would be made.50 
However, after applying the CFAP payment limit  criteria, USDA projects that a net of $13.2 
bil ion  in CFAP-2 payments would be made. 
Unlike  payment limits for other FSA programs where corporate entities are limited to a single 
payment limit,51 USDA has elected to apply special payment limitation rules to CFAP-1 and 
CFAP-2 participants that are corporations, limited liability  companies, and limited partnerships. 
In the case of CFAP-2 payments, under the special payment limitation rules, corporate entities 
may receive payments up to $750,000 if three or more different individual owners or shareholders 
of the legal entity each contributed at least 400 hours of active personal labor or active personal 
management (or combination thereof) with respect to the production of either 2019 or 2020 
commodities—the relevant year varies with different commodities, as described above.52 
Under normal USDA rules governing recordkeeping requirements in regard to meeting the 
“actively engaged in farming” criteria, al  persons who provide any management to the farming 
                                              
to each member of the joint venture and general partnership. 
48 USDA,  FSA,  “Coronavirus Food Assistance Program,” Final Rule,  85 Federal Register  59380, September 22, 2020. 
49 T his compares with a payment limit of $125,000 per individual under traditional farm programs from T itle I o f the 
2018 farm bill (P.L. 115-334). See CRS  Report R46248, U.S. Farm  Program s: Eligibility and Paym ent Lim its. 
50 T able 15 in USDA,  Coronavirus Food Assistance Program 2: Cost-Benefit Analysis, September 15, 2020, p. 28. 
51 CRS  Report R46248, U.S. Farm Programs: Eligibility and Payment Limits. 
52 7 C.F.R.  Part 9, §9.2(e)(2).  
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operation and seek to qualify as a farm manager—eligible  for payments up to the individual 
payment limit—are required to maintain contemporaneous records or activity logs of their 
management activities.53 
For a corporate entity,54 
  in general, the payment limit for the entity is $250,000; 
  the payment limit for the entity is $500,000 if two different individual owners or 
shareholders of the legal entity each contributed at least 400 hours of active 
personal labor or active personal management (or combination thereof) with 
respect to the production of commodities for which an application or applications 
are made; and 
  the limit  is $750,000 if three or more different individual owners or shareholders 
of the legal entity each contributed at least 400 hours of active personal labor or 
active personal management (or combination thereof) with respect to the 
production of commodities for which an application or applications are made. 
Neither the CARES Act nor the underlying CCC authority requires payment limits. Payment 
limits  were applied at USDA’s discretion—similarly to when it established the Market 
Facilitation Program payments and the Wildfire and Hurricane Indemnity Program, which were 
also undertaken at the Secretary’s discretion.55 Benefits received under traditional farm support 
programs, such as the Acreage Risk Coverage (ARC) and Price Loss Coverage (PLC) programs, 
are not to be added to either CFAP-1 or CFAP-2 payments—and CFAP-1 payments are not to be 
added to CFAP-2 payments—when evaluating payment limits.56 In other words, payment limits 
for CFAP-2 are independent of other farm program benefits received by a farm, including CFAP-
1 payments. 
Program Outlays: Projected Versus Actual 
As of December 5, 2020, USDA had approved 759,089 applications and made $11.614 bil ion  in 
outlays under CFAP-2 (Figure 2), with cattle and corn producers receiving the largest amounts.57 
The current CFAP-2 payment geographic distribution pattern is similar to CFAP-1’s—that is, 
payments are concentrated in the Corn Belt, Texas, and California (Figure 3). Producers could 
submit applications for CFAP-2 payments through December 11, 2020.  
USDA projects that once adjustments have been made to account for payment limits, a total of 
$13.2 bil ion  in CFAP-2 funding wil  be al ocated across the four different commodity groupings 
as follows: row crops ($5.7 bil ion, 43%); livestock ($3.7 bil ion or 28%); specialty crops and 
other ($2.5 bil ion, 19%); and dairy ($1.3 bil ion, 10%) (Figure 2).58 
                                              
53 See  CRS  Report R46248, U.S. Farm Programs: Eligibility and Payment Limits. 
54 T he CFAP-2 final rule (85 Federal Register  59380, September 22, 2020) extended the special payment limitation 
provisions for corporate entities to trusts and estates for both CFAP -1 and CFAP -2. It also changed the method by 
which payments under the special payment limitation provisions are attributed to individuals and legal  entities for both 
CFAP-1 and CFAP -2. T he change was  undertaken to avoid inequities  attributed to ownership shares.  
55 See  CRS  Report R45310, Farm Policy: USDA’s 2018 Trade Aid Package; CRS  Report R45865, Farm Policy: 
USDA’s 2019 Trade Aid Package; and CRS  In Focus  IF11539, Wildfires  and Hurricanes Indemnity Program (WHIP). 
56 USDA,  CFAP-2 Final Rule,  85 Federal Register 59380, September 22, 2020. 
57 USDA,  “ Coronavirus Food Assistance Program 2 Data,” as of December 5, 2020, at https://www.farmers.gov/cfap/
data. 
58 T able 15 in USDA,  Coronavirus Food Assistance Program: Cost-Benefit Analysis, September 15, 2020, p. 28. 
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Figure 2. CFAP-2 Payments by Commodity Category: Projected and Actual 
USDA projected (adjusted for payment limits) versus actual outlays 
 
Sources: USDA projected outlays based on available funding are from  Table 15 in USDA,  Coronavirus  Food 
Assistance Program  2: Cost-Benefit Analysis,  September 15, 2020, p. 28; actual outlays as of December  5, 2020, are 
from USDA,  “Coronavirus Food Assistance  Program  2 Data,” at https://www.farmers.gov/cfap/data.  USDA 
projections  include adjustments for payment limits,  which may prevent some  large farms from  obtaining their 
maximum  potential CFAP-2 payments. 
Notes: Livestock  includes beef cattle, hogs and pigs, lambs and sheep, eggs, and broilers.  Row crops include 
barley, corn, sorghum, soybeans, sunflowers,  upland cotton, and wheat. Dairy is cow’s milk.  Specialty crops and 
others include fruits, vegetables,  tree nuts, horticulture and al  other commodities  not associated with the listed 
categories  of livestock,  row crops, and dairy. Totals may not add due to rounding. 
Figure 3. CFAP-2 Payments by State, as of December 13, 2020 
state abbreviation: $ mil ions 
 
Source: USDA,  Coronavirus Food Assistance  Program 2 data, as of December  15, 2020. 
Notes: Total CFAP-2 outlays were  $12.473 bil ion as of December  15, 2020. 
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Prior to adjusting for payment limits, USDA projects that corn producers would be eligible to 
receive the largest outlay—$3.5 bil ion—from among the many eligible  commodities (Table 2), 
followed by cattle ($2.8 bil ion), dairy ($2.0 bil ion), hogs and pigs ($1.7 bil ion), and soybeans 
($1.4 bil ion).59  
Issues for Congress 
Three policy questions about the implementation of CFAP-2 payments are as follows:  
1.  Have CFAP-2 payments provided at least partial  compensation to al  producers 
that have experienced unexpected economic costs due to COVID-19 during the 
second through fourth quarters of 2020? 
2.  Have CFAP-2 funds been distributed in a fair manner to every producer and for 
every commodity sector that has experienced COVID-19-related costs? 
3.  Have CFAP-2 payments overcompensated any producers for losses incurred from 
COVID-19-related market disruptions?60 
In addition to these questions, some have expressed additional policy concerns related to the 
potential for duplication of loss coverage under existing farm programs; the limited role for 
congressional monitoring and oversight of the large sums of taxpayer money that are being spent 
under a nontraditional  authority; the potential need for additional assistance in 2021; and the 
potential for this nontraditional authority to serve as a recurring template for future USDA 
payment interventions. 
To address these questions, Congress could consider requesting that a study be conducted by an 
independent, objective institution to review the evidence and empirical y address many of these 
questions, particularly if CFAP is to serve as a template for future large-scale emergency 
interventions in the agricultural sector. Several of these policy issues are discussed briefly below. 
Congressional  Monitoring  and Oversight of  CFAP-2 Outlays 
Congress retains its traditional monitoring and oversight responsibilities for al  USDA activities, 
including the CFAPs. Total combined funding al ocations to the two rounds of CFAP direct 
payment programs are up to $30 bil ion—including  up to $16 bil ion  under CFAP-1 and up to $14 
bil ion  under CFAP-2. USDA has developed special websites for both rounds of CFAP spending 
that provide links to al  official documentation, as wel  as weekly updates of payment data by 
commodity and state.61 However, the time frame for implementation of these programs in 
response to the pandemic leaves little time for congressional intervention at any level, were it to 
be deemed necessary. Some additional topics Congress may consider exploring could include the 
following: whether implementation of CFAP-2 created a burden for certain types of producers in 
applying for program benefits; if USDA’s procedures for auditing self-certified records are likely 
to impose a burden on certain types of producers; whether payment rates are biased against 
suppliers of higher-value crops (e.g., organic crops or crops targeting local markets); and whether 
                                              
59 See  footnote 58. 
60 CFAP-2 payments are nominally supposed to correspond to a measure of losses  incurred during  the second to fourth 
quarters of 2020. USDA’s  various methods of estimating losses incurred  under both CFAP-1 and CFAP -2 appear to 
have little relationship to actual losses incurred  for many of the eligible  commodities, as discussed  earlier in the report . 
61 CFAP-2 program information is available at https://www.farmers.gov/cfap; CFAP-1 program information is 
available at https://www.farmers.gov/cfap1. 
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payments based on projected dairy production after September introduced moral hazard into dairy 
markets.62 
Have CFAP-2 Payments Alleviated  COVID-19-Related Costs? 
There is no widely agreed-upon metric for assessing the extent of costs to the U.S. agricultural 
sector associated with COVID-19-related low prices and market disruptions during the second to 
fourth quarters of 2020. As a result, it is difficult to conclusively assess the extent to which 
CFAP-2 payments are al eviating  COVID-19-related costs—particularly while the program is 
ongoing. For example, which is a better method of approximating losses—basing payments on 
sales or on inventories? Should USDA have considered estimating losses on eligible  commodities 
with actual sales separately from the loss calculations of commodities not yet harvested or sold? 
Should USDA  have adjusted for commodities that depend more heavily on farm production and 
marketing costs that actual y decreased during this period (e.g., fuel for drying and transporting 
grain)? 
As CFAP-2 winds down and more stakeholder feedback becomes available, Congress may 
evaluate whether it would serve as a useful template for future disaster response programs and 
what changes might be necessary or useful in designing any future program. In addition, future 
studies may help to address the lack of information about the efficacy of the CFAP. 
Will  CFAP-2 Payments Duplicate  Payments Under Traditional  Farm Programs? 
CFAP-2 payments to major program crops—such as corn, soybeans, and wheat—are to occur 
primarily under the row-crop, price-trigger category and are to be based on 2020 planted acres. 
The row-crop category is projected to be the largest recipient of CFAP-2 payments (Figure 2). 
Row crops were a major recipient of CFAP-1 payments. In addition, most of these acres also 
participate in  either the ARC  or PLC programs,63 as wel  as in the federal y subsidized crop 
insurance program.64 If payments also were triggered under ARC and PLC during 2020, then it is 
likely  that a large portion (perhaps a majority) of those same farm acres would receive payments 
under multiple programs, including the CFAPs. 
Have CFAP-2 Payments Been Distributed Fairly? 
After CFAP-1, several program watchers asserted that the payment program’s implementation 
methodology failed to incentivize participation by al  affected agricultural sectors and al  injured 
producers in those sectors—in particular, smal  farmers, processed food commodities (e.g., 
raisins), and aquaculture.65 This concern has carried over to CFAP-2, and USDA made an effort to 
expand CFAP-2 program inclusivity. The application period for CFAP-2 was open until 
December 11, 2020. As a result, the question of its efficacy in responding to COVID-19-related 
                                              
62 T he moral hazard would  be that after receiving a payment for projected milk production during the September 1, 
2020, to December 31, 2020, period, a producer might elect to produce less  than was  projected, thus garnering savings 
from avoiding the production expenses associated with that production while capturing the CFAP -2 payments on the 
projected production. 
63 For a description of losses  under the ARC  and PLC programs, see CRS  Report R45730, Farm Commodity Provisions 
in the 2018 Farm  Bill (P.L. 115-334).  
64 T he federal government subsidizes  the cost of crop insurance regardless  of market prices for insured crops. For a 
description of losses  under the federal crop insurance program, see CRS  Report R45193, Federal Crop Insurance: 
Program  Overview for the 115th Congress. 
65 See  Hooker, “Smaller Farmers Are ‘Left Out ,’” 2020; and Letter from House Agriculture  Chairman Collin Peterson 
to USDA  Secretary Perdue, June  9, 2020.  
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USDA’s Coronavirus Food Assistance Program: Round Two (CFAP-2) 
 
costs cannot yet be fully answered. However, preliminary payment data may be used to make an 
early assessment. Under the assumption that the COVID-19 pandemic affected al  regions and 
commodity sectors relatively equal y, then a simple approach to evaluating the CFAP-2’s efficacy 
would be to compare the distribution of CFAP-2 payments by commodity category with each 
category’s share of national output value (Figure 4). 
Such a comparison would reveal that row crops—which are the primary beneficiary of traditional 
farm support programs—have received the largest share (46.4%) of CFAP-2 payments, a share 
that exceeds their share of average national output value (28.1%). In contrast, the specialty crops’ 
and livestock sector’s CFAP-2 payment shares are substantial y lower than their national output 
value shares—25.3% national output share versus 17.0% share of CFAP-2 payments for specialty 
crops, and 36.3% versus 26.9% for livestock. The dairy sector’s share of national output value is 
nearly equal to its share of CFAP-2 payments—10.3% versus 9.5%. 
If USDA’s projected outlays (Figure 2) are a good estimate of final CFAP-2 payments, then 
dairy’s $1.3 bil ion (9.8%) and livestock’s $3.7 bil ion (28.0%) payment shares would align with 
their national output shares. However, the row crops category’s projected $5.7 bil ion (43.2%) 
would be substantial y larger than its national output value share of 28.1%, and the specialty 
crops catetory would receive a smal er share of payments (18.9%) than its share of national 
output (25.3%). However, this relatively simple comparison does not evaluate the extent to which 
CFAP-2 payments have mitigated actual production and marketing losses sustained by each 
commodity sector—the stated objective of the CFAP payments. Furthermore, future analysis 
based on these criteria may paint a different picture of sectoral benefits. 
Figure 4. Average Output Value and CFAP-2 Payments by Commodity Category 
average farm value of output (2016-20) versus current CFAP-2 outlays as of November 15, 2020 
 
Sources: Compiled  by CRS from  USDA, Economic Research Service,  “U.S. and State-Level  Farm Income and 
Wealth Statistics: Annual Cash Receipts by Commodity,”  September  2, 2020. CFAP-2 outlays as of December  5, 
2020, are from USDA,  “Coronavirus Food Assistance  Program  2 Data,” at https://www.farmers.gov/cfap/data. 
Notes: *Average  production values are for 2016 through 2020. Livestock  includes beef cattle, hogs and pigs, 
lambs and sheep, eggs, and broilers.  Row crops include barley, corn, sorghum, soybeans, sunflowers,  upland 
cotton, and wheat. Dairy is cow’s milk.  Specialty crops and others include fruits, vegetables,  tree nuts, 
horticulture, and al  other commodities  not associated with the listed  categories of livestock,  row crops, and 
dairy. Totals may not add due to rounding. 
Will  the Agricultural  Sector Need Additional  Assistance? 
The question of whether additional assistance would be needed in response to the continuing 
effects of the COVID-19 pandemic wil  depend primarily on the duration of COVID-19 effects 
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USDA’s Coronavirus Food Assistance Program: Round Two (CFAP-2) 
 
on market conditions. Because CFAP payments are intended to offset both sales losses due to 
price declines and higher marketing costs due to supply chain disruptions, a return to normalcy 
for these two criteria (market prices and supply chain activity) would likely signal an end to the 
need for federal assistance. However, these potential criteria engender several related questions. 
What would be a signal of a return to normalcy? Should USDA have the authority to determine 
what constitutes a return to normalcy, or should Congress make this determination? Is it sufficient 
if prices return to pre-COVID-19 levels or exceed historical averages? If producers reduce 
livestock inventories to adjust to current COVID-19-suppressed demand conditions, is that a 
return to normalcy, or is that a situation that requires compensation because demand is not what it 
would typical y be—similar to the justification for the Market Facilitation Program payments?66 
With respect to COVID-19-related sales losses from price declines, payments were based on a 
commodity having experienced at least a 5% decline in prices from pre-COVID-19 average 
prices based on the January 13-17 period to the mid-April period for CFAP-1 and to late July for 
CFAP-2 (Figure 1). Livestock and row crop commodities, which are price-trigger commodities, 
received over 73% of CFAP-2 payments through December 5, 2020 (Figure 4). Since late July, 
most of the major crop and livestock commodities (dairy and beef cattle being notable 
exceptions) have seen their prices increase substantial y under improving market conditions, 
which include tighter supplies and increasing international demand (Figure 5).67 
Figure 5. Commodity Price Indexes, July 27-31=100, Through December 4, 2020 
 
Sources: Compiled  by CRS using futures contract closing prices from the Chicago Mercantile Exchange 
(CME)—the December  2020 contract was used for lean hogs, Class  III Milk,  corn, and wheat (Soft Red Wheat, 
Chicago), and the January 2021 contract was used for feeder cattle, rough rice, soybeans, and ethanol. The 
December  contract from the New York Mercantile  Exchange (NYMEX) was used for Upland Cotton (#2). 
                                              
66 See  CRS  Report R45310, Farm Policy: USDA’s 2018 Trade Aid Package; and CRS  Report R45865, Farm Policy: 
USDA’s 2019 Trade Aid Package. 
67 USDA,  World  Agricultural Supply and Demand Estimates, November 11, 2020. 
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Notes: The price indexes are not adjusted for seasonality.  The price indexes compare the closing futures 
contract prices relative  to the average price index for July 27-31, 2020. The percentages listed in the chart next 
to the commodity  labels are the percentage changes from  the five-day average for July 27-31, 2020, to the four-
day average price index for December  1-4, 2020. 
When market price data are appended to the pre-COVID-19 price index chart (Figure 6), al  
major row crops and hogs have moved out of the 5%-price-decline qualifying zone; beef cattle 
and dairy continue to experience low market prices relative to the pre-COVID-19 period.68 As a 
result, if current market conditions were to persist into the first half of 2021, it would appear that 
price declines would be a possible reason for a new round of CFAP payments for livestock and 
dairy, but not for row crops. 
Figure 6. Commodity Price Indexes, January 13-17=100, Through December 4, 2020 
 
Source: Compiled  by CRS using futures contract closing prices from  the CME—the December  2020 contract 
was used for lean hogs, Class III Milk, corn, and wheat (Soft Red Wheat, Chicago), and the January 2021 contract 
was used for feeder cattle, rough rice,  soybeans, and ethanol. The December  contract from  the NYMEX was 
used for Upland Cotton (#2). 
Notes: The price indexes are not adjusted for seasonality.  The price indexes compare the closing futures 
contract prices relative  to the average price index for January 13-17, 2020. The percentages listed  in the chart 
next to the commodity  labels are the percentage changes from the 5-day average for January 13-17, 2020, to the 
4-day average price index for December  1-4, 2020.  
The CFAP-2 payment rate calculation was less transparent for many specialty crops. Such 
specialty crop payment rates were based largely on the addition of unexpected marketing costs 
related to supply chain disruptions due to widespread shutdowns (with only a partial reopening) 
of al  but essential businesses; uncertainty about the availability of labor for the food distribution 
network; and a large-scale reorientation of food product demand away from the bulk form 
                                              
68 T he milk market situation appears to be more complicated than simply a loss of demand related to COVID-19. In late 
October, milk prices surged  to 20% above their pre-COVID-19 level before plummeting to 12.3% below  pre-COVID-
19 prices in early December. 
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targeting institutional purchasers (including restaurants, hotels, schools, and entertainment 
venues) and toward smal er packaging or consumer-ready items for sale at retail outlets.  
Much of the transformation refocusing food product delivery to retail outlets is now happening or 
has occurred. Similarly, food processors have implemented slower line operating speeds and new 
safety standards to ensure worker safety than before the COVID-19 pandemic. These 
transformations have likely raised costs from the pre-COVID-19 period, but those costs are 
becoming more stable, thus aiding greater confidence in the supply chain. However, the COVID-
19 pandemic continues unabated, and most parts of the country continue to implement partial or 
full shutdowns of restaurants and schools, as wel  as sports and entertainment venues. Whether 
this continuation of at least a partial shutdown of institutional buyers constitutes grounds for 
another round of CFAP payments remains an open question. 
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Appendix. Supplementary Tables 
Table A-1. Price Changes from Mid-January to Late-July 2020 for Price Trigger 
Commodities 
Avg. Price: 
Avg. Price: 
Price 
Percent 
Commodity 
Unit 
Jan. 13-17 
July 27-31 
Declinea 
Decline 
 
 
($/unit) 
($/unit) 
($/unit) 
(%) 
Cropsb 
 
 
 
 
 
Barley 
bushel 
$4.27 
$3.60 
$0.67 
16% 
Corn 
bushel 
$4.02 
$3.29 
$0.73 
18% 
Cotton, Upland 
pound 
$0.72 
$0.62 
$0.10 
14% 
Sorghum 
bushel 
$3.82 
$3.12 
$0.70 
18% 
Soybeans 
bushel 
$9.63 
$8.91 
$0.72 
7% 
Sunflowers 
pound 
$0.18 
$0.16 
$0.02 
11% 
Wheat (al  classes) 
bushel 
$5.57 
$4.89 
$0.68 
12% 
Dairy 
 
 
 
 
 
Cow’s milkc 
cwt 
$17.73 
$15.60 
$2.13  
12% 
Livestock 
 
 
 
 
 
Fed cattled 
head 
$1,706 
$1,537 
$169 
10% 
Feeder  cattle (< 600 pounds)e 
head 
$861 
$791 
$70 
8% 
Feeder  cattle (>600 pounds)f 
head 
$1,174 
$1,078 
$96 
8% 
Hogs and pigsg 
head 
$148 
$109 
$39 
26% 
Lambs and sheeph 
head 
$200 
$149 
$51 
26% 
Broilers and Eggs 
 
 
 
 
 
Broilersi 
pound 
$0.9096 
$0.6489 
$0.26  
29% 
Shel  eggsj 
dozen 
$0.46 
$0.40 
$0.06  
13% 
Liquid eggsk 
pound 
na 
na 
$0.06  
na 
 
Dried  eggsl 
pound 
$2.15 
$1.98 
$0.17  
8% 
Frozen eggsl 
pound 
$0.53 
$0.45 
$0.08  
15% 
Source: USDA,  Coronavirus  Food Assistance Program 2: Cost-Benefit Analysis, September  15, 2020. 
Notes: Average prices  are rounded to two decimal places. cwt = hundredweight; lbs. = pounds. 
a. 
The price decline is the difference between the weekly  average of the futures contract prices  (or weekly 
average of the cash prices if the futures prices  are unavailable) for the weeks of January 13 -17, 2020, and 
July 27-31, 2020.  
b.  Wheat prices  are based on a production-weighted composite  of hard red spring (HRS), hard red winter 
(HRW), and soft red winter (SRW) futures. For crops with futures market  data, December  contracts are 
from the Chicago Mercantile Exchange (CME) for most crops other than soybeans (November contract). 
HRS wheat uses the December  contract quoted on the Minneapolis Grain Exchange, and upland cotton 
uses the December  contract quoted on the Intercontinental Exchange (ICE). For nonspecialty crops 
without futures contracts, Risk Management Agency (RMA) conversion factors utilizing futures contracts 
are employed when relevant and available.  The price for sorghum is calculated as 95 % of the corn futures 
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price, which is consistent with the multiplicative  factor used by RMA under the Commodity Exchange 
Price Provisions  (CEPP). The price of sunflowers is the soybean oil  price divided by 2, plus 1 cent, which is 
consistent with the CEPP for oil-type sunflowers.  AMS data is used for other crops where  futures 
contracts are not traded.  
c. 
Milk prices  are calculated as the average of Class III (60% weight) and Class IV (40% weight) futures prices. 
Although the al -milk  price by construction always wil   be above the Class III and Class IV prices, the al -
milk  price general y  fol ows the trend of the weighted average of 60% of the Class III price and 40% of the 
Class IV price.  
d.  Fed cattle are cattle that are market-ready (with a weight of 1,200 lbs. or more) and intended for 
slaughter. The price decline per head of fed cattle is approximated by first calculating the difference 
between the weekly  average prices for January 13-17, 2020, and July 27-31, 2020. These values are 
multiplied  by 14 (assuming an average weight of 1,400 lbs. or 14 cwt) to approximate the equivalent per-
head values for fed cattle.  
e.  Feeder  cattle are young cattle that are taken off pasture and brought to a feedlot for finishing weight gain 
to achieve market-ready status prior to slaughter. The under 600-pound category price per head is the 
feeder cattle November  2020 futures contract price ($/cwt) multiplied  by 5.5 cwt, the typical weight of a 
weaned calf.  
f. 
The feeder cattle over  600-pound category price per head is the feeder  cattle November  2020 futures 
contract price multiplied by 7.5 cwt, the typical weight of feeder cattle when placed on feed.  
g. 
Hogs are any swine that weigh more  than 120 lbs.  Pigs means any swine weighing less than 120 lbs.  Lean 
hog December  2020 futures contract prices  are converted to a per-head basis using a 215 pound-per-head 
conversion factor.  
h.  Lambs and yearlings  are al  sheep less than two years of age. Al   sheep are greater than two years of age. 
The AMS provided price data. 
i. 
Broiler  prices are the National Composite  Weighted Average from the AMS  Broiler Market News Report. 
To obtain the per-bird payment rate of Table 3, the price decline is converted from a per-pound basis to 
a per-bird basis,  which uses the average live  weight of young chickens from January 2020 to June 2020 (as 
reported in the NASS July 2020 Poultry Slaughter  report) and a dressed percentage of 76% from  the AMS 
Broiler Market News Report to give a dressed  weight of 4.86 lbs. per bird. 
j. 
The shel  egg price is the National Shel  Egg Index Price for large eggs from  the National  Shel  Egg Index Price 
Report.   
k.  Liquid egg price data are not shown by USDA to maintain confidentiality of proprietary  data. 
l. 
Prices are from the AMS Processed Eggs: Weekly National Egg Product  report, using the midpoints for 
“Whole” eggs of the “Mostly” columns. 
 
 
 
  
 
Author Information 
 
Randy Schnepf 
   
Specialist in Agricultural Policy 
    
Congressional Research Service  
 
25 
USDA’s Coronavirus Food Assistance Program: Round Two (CFAP-2) 
 
 
 
Disclaimer 
This document was prepared by the Congressional Research Service (CRS). CRS serves as nonpartisan 
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under the direction of Congress. Information in a CRS Report should n ot be relied upon for purposes other 
than public understanding of information that has been provided by CRS to Members of Congress in 
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Congressional Research Service  
R46645 · VERSION 1 · NEW 
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