In April, CPR released a paper that looked at 12 critical rulemaking activities that we urged the Obama administration to finish by June 2012. The new regulatory agendas released by the agencies earlier this month show that instead of moving forward, the agencies are often slowing down. Contrary to the “tsunami” of regulations that the Chamber of Commerce claims is hampering economic recovery, this is a molasses flow that will delay life-saving public protections for workers, air breathers and water drinkers.
One rule that was on track in April is now definitely off track: an update to the National Ambient Air Quality Standard (NAAQS) for particulate matter. Another rule that was on track is now probably off track: the Power Plant New Source Performance Standards for limiting greenhouse gases were pushed back from May 2012 to Jun 2012, which is the deadline we identified to complete rules in Obama’s first term (after that point, re-election politics will likely stifle any continued efforts to finish important rulemakings, and, in any event, rules completed after that point risk being overturned under the Congressional Review Act if Republicans are able to win both houses of Congress and the White House in the 2012 elections).
All or parts of eight of the rulemaking activities highlighted in the paper have been severely delayed since the paper was released in April:
Portions of two other rulemaking activities we highlighted in our report have also been slightly delayed since April:
And the best the agencies can do for the remaining rules is not to slow the timeline down any further:
It’s not clear why all of these rules have been delayed. Perhaps the Obama Administration is bowing to pressure from regulated industries and their conservative allies in Congress. Perhaps the agencies have lacked the resources to continue moving forward on these critical safeguards, having been distracted and delayed by the misguided look-back exercise required under Obama’s new Executive Order on regulation. Considering the benefits these rules would confer in terms of reduced greenhouse gas pollution, avoided emissions of toxic air pollutants, protection of wetlands and marginal waters, more accountability for serial offenders at mines, and safer workplaces, the Obama administration should be racing to finish these rules, not pushing them back.
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Lena Pons | July 18, 2011
In April, CPR released a paper that looked at 12 critical rulemaking activities that we urged the Obama administration to finish by June 2012. The new regulatory agendas released by the agencies earlier this month show that instead of moving forward, the agencies are often slowing down. Contrary to the “tsunami” of regulations that the Chamber […]
Ben Somberg | July 15, 2011
The House Energy & Commerce sub-committee on Environment and the Economy held a hearing yesterday on “regulatory chaos” (yikes!). One figure seemed popular: $1.75 trillion. That’s how much regulations cost the U.S. economy each year, sub-committee vice-chair Tim Murphy said in his opening statement. Two of the four witnesses made the same claim in their […]
Daniel Rosenberg | July 14, 2011
Editor’s Note: This morning, CPR President Rena Steinzor will testify at a House hearing regarding EPA’s Integrated Risk Information System chemical database (full testimony). This post by NRDC Senior Attorney Daniel Rosenberg, cross-posted from Switchboard, explains the importance of IRIS and how the program is under attack. Thursday morning, the House Science Committee’s Investigation and […]
Rena Steinzor | July 14, 2011
The nation’s capital is all but intolerable these days, even for those of us who have lived here for decades and are used to excessive histrionics and gross summer weather. A pall of bad, hot, wet air has settled over the place, and serves as a backdrop to the slow-motion car wreck that is the debt […]
Lena Pons | July 13, 2011
Last week, the Office of Information and Regulatory Affairs (OIRA) of the Office of Management and Budget released the semiannual regulatory agenda. I pointed out that the agenda, which contains the regulatory agencies’ planned actions, was quite late. Although the plans share problems from past years, like simply pushing back the target dates for regulatory actions, there […]
Thomas McGarity | July 13, 2011
On Monday, the White House announced that President Obama had signed a new executive order on federal regulation to supplement January’s executive order to executive branch regulatory agencies. The new executive order is aimed at the “independent agencies,” so named because the heads of those agencies do not serve at the pleasure of the president. By statute, […]
Lesley McAllister | July 12, 2011
Cross-posted from Environmental Law Prof Blog. Do you realize that the Cross-State Air Pollution Rule finalized by the Environmental Protection Agency last week represents the end of the famed Acid Rain Program? It’s a good thing because the Acid Rain Program had outlived its usefulness by several years and its allowance market had collapsed. Legislated […]
Ben Somberg | July 8, 2011
Last month, the American Chemistry Council sent a letter to Jacob Lew, Director of the Office of Managmenet and Budget, calling on OMB to “take greater responsibility in the coordination and review of chemical safety assessments” and to “require EPA to submit all ongoing EPA IRIS assessments to the NAS for independent review.” The letter […]
Lena Pons | July 7, 2011
The Administration has been busy promoting President Obama’s new approach to regulatory review, which required federal regulatory agencies to produce plans for how they would review existing regulations and look for regulations to cut. But while the mad dash to find regulations the administration can trot out as misguided or outdated continued, the agencies were delayed […]