U.S. Approach to Regulatory Policy

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Presentation transcript:

Centralized Management of the Regulatory State U.S. Office of Management and Budget Office of Information and Regulatory Affairs Centralized Management of the Regulatory State Alex Hunt U.S. Office of Management and Budget Regulation Inside Government: Reducing Administrative Burdens Mexico City, Mexico March 15, 2006

U.S. Approach to Regulatory Policy Centralized Management and Leadership Emphasizes the importance of and adherence to regulatory principles and procedures. Transparency and Accountability Addresses concerns about undue influence and allows all interested parties to be heard. Regulatory Impact Analysis Contributes to more informed policy decisions and promotes efficiency. New Management Tools Encourage the adoption of good rules and the reform of existing rules to improve cost effectiveness. Alleviating Administrative Burdens Balances the need for information and reporting burdens imposed on the public.

Office of Management and Budget Assists the President in the development and implementation of budget, program, management, and regulatory polices. Develops the President’s annual budget submission to Congress. Assists the President in managing the Executive Branch, developing the Administration’s position on legislation before Congress and executing the law. Provides high quality regulatory analysis. History 1921: Bureau of the Budget (BoB) established within the Treasury Department. 1939: BoB moved from Treasury to the Executive Office of the President. 1970: BoB reorganized into the Office of Management and Budget.

Federal Rulemaking Process Legislative Branch Executive Branch Judicial Branch Congress passes law authorizing/requiring regulation. Agency drafts and clears internally a proposed rule. If “significant,” OMB reviews and clears draft proposed rule. Agency publishes notice of proposed rulemaking (NPRM). Public reviews NPRM and submits comments to agency. If “significant,” OMB reviews and clears draft final rule. Congress reviews final rule. Agency publishes final rule. Rule challenged in court. Disapproval resolution passed. Rule takes effect. Court “vacates” all/part of rule.

Centralized Management and Leadership Presidential Oversight of Government Regulatory Policy President Nixon: Initiated regulatory review through his “Quality of Life” program. President Ford: Required, for the first time, regulatory impact analysis (RIA) requirement for major regulations (over $100 million in impact). President Carter: Established the Regulatory Analysis Review Group. President Reagan: Solidified regulatory oversight authority within the White House, issuing Executive Order 11291, which required OMB review and approval of rules. President Clinton: Issued Executive Order 12866, which focused OMB oversight on “significant” rules and increased the disclosure of contacts with outside parties. President George W. Bush: Maintained the Clinton Executive Order that requires the agencies to do RIAs and send significant regulations to OMB for review.

Centralized Management and Leadership Role of the Office of Information and Regulatory Affairs OIRA was established by the Paperwork Reduction Act of 1980, partially in response to the explosion in regulation that occurred in the 1970s and earlier in the U.S. As part of the Office of Management and Budget, OIRA is a central body that has special standing with the agencies. OIRA manages and coordinates Federal rulemaking, and oversees Federal information management, statistical policy, and information technology policy.

Centralized Management and Leadership Office of Information and Regulatory Affairs Total staff = 53. *Recent additions to OIRA’s staff.

Centralized Management and Leadership Presidential Executive Order 12866 Executive Order 12866 on Regulatory Planning and Review governs OMB’s oversight of agency rulemaking, requiring OMB review of “significant” agency regulatory actions. Agencies submit draft significant regulations (both proposed and final) to OIRA for an up-to-90-day review before publishing them. OIRA reviews 500-700 proposed and final regulations per year—those we determine to be significant—out of about 8,000 that are issued. About 70-100 of the regulations reviewed are “economically significant” (over $100 million per year in economic effects). During our review, we examine the RIA and the regulation and make suggestions to improve both the RIA and the rule’s cost-effectiveness and to make sure that it comports with the Executive Order’s principles and the President’s priorities. If the agency refuses to make changes or needs more time to make the changes, we can return the rule to the agency for reconsideration.

Regulatory Transparency and Accountability Administrative Procedure Act The Act requires that agencies go through a notice and comment process open to all members of the affected public, both U.S. and foreign. Before agencies can issue a final regulation, they must respond to the public comments, make sure that the final regulation is a logical out-growth of the proposal and the public record, and is not arbitrary or capricious. The public record is used by the courts in settling any challenge to the regulations brought by the affected public.

Regulatory Transparency and Accountability Disclosure of Information Under Executive Order 12866 The public can consult OMB’s website and learn each day which rules are under formal review at OMB and which have been cleared. OMB’s website notes which outside groups have recently lobbied OIRA on rules under review. All written information given to us while a rule is under review is sent to the agency, placed in our public docket reading room, and posted on our website. Return letters sent to the agencies outlining our concerns with rules we send back are posted on our website.

Regulatory Impact Analysis Basic Goals Maximize net benefits to society—or at least ensure that benefits justify costs. Promote economic efficiency by regulating only where markets fail, and when regulating, by using cost-effective and market-based approaches. Increase the transparency of the regulatory system. Elements of a Regulatory Impact Analysis Statement of need for the proposed rule that identifies the nature and significance of the problem (e.g., identification of the market failure). Examination of alternative approaches to addressing the problem. Analysis of the costs and benefits of each alternative.

New Management Tools Pursuant to the Information Quality Law, OMB has issued guidelines to enhance the quality of information that agencies use and disseminate. OMB has required agencies to subject their RIAs and risk assessments to formal, independent, external peer review. In 2001, 2002, and 2004, OMB asked the public for regulatory reform ideas for increasing net benefits to the public. OMB is proposing policies and procedures for agencies to develop, issue, and use guidance documents. OMB is proposing new technical guidance on risk assessments produced by the Federal government.

Alleviating Administrative Burdens The Paperwork Reduction Act of 1995 The PRA is intended to improve the quality and practical utility of information required by the Federal government, and reduce paperwork burden on the public. Agency Need for Information Sound decision-making. Responsive government through effective service provision. Transparency and accountability.

Alleviating Administrative Burdens What is an information collection? Identical questions or recordkeeping requirements. Ten or more respondents (any non-Federal entity). All media are covered (electronic, telephone, etc.). Voluntary or mandatory. Third-party reporting.

Alleviating Administrative Burdens Calculating burden. Time to read instructions, gather records, complete response, and submit information to agency. Seek public comment. Itemize it by program, by forms and other criteria. OMB considerations in reviewing an information collection. Evaluate the agency’s stated need for information. Appropriateness of the method of collection. Ensure consistency with statutes/protections to respondents. Minimize paperwork burden.

Conclusions A firm and enduring commitment from the center of government is a necessary condition for a successful regulatory program. Accountability is required because special interests are especially powerful in regulatory matters. An effective regulatory program should ensure that economic analysis is conducted to promote economic efficiency. Transparency and openness are required to maintain support for the regulatory program.

References Administrative Procedure Act: www.archives.gov/federal_register/public_laws/acts.html#apa Federal Rulemaking Flowchart: http://reginfo.gov/Regmap/index.html Executive Order 12866 – Regulatory Planning and Review (October 4, 1993): www.whitehouse.gov/omb/inforeg/eo12866.pdf Fall 2005 Regulatory Plan and Unified Agenda: http://ciir.cs.umass.edu/ua/Fall2005/ Listing of regulations under Executive Order 12866 review: www.whitehouse.gov/library/omb/OMBREGSP.htm Listing of OIRA’s meetings with outside parties on regulations under OMB review: www.whitehouse.gov/omb/oira/meetings.html 2005 Final Report to Congress on the Costs and Benefits of Federal Regulations (December 2005): http://www.whitehouse.gov/omb/inforeg/2005_cb/final_2005_cb_report.pdf OMB guidance to agencies on Regulatory Analysis (September 17, 2003): www.whitehouse.gov/omb/circulars/a004/a-4.pdf Paperwork Reduction Act: www.archives.gov/federal_register/public_laws/acts.html#pra

Questions Alex Hunt (202) 395-7860 ahunt@omb.eop.gov