The White House Council on Environmental Quality (CEQ) issued new guidance this week on considering climate change in environmental impact statements (EIS). Here are the key points:
This is not only a guidance document, but is entirely phrased as recommendations rather than commands. So it's a pretty mild intervention into agency practice, as compared with executive orders requiring cost-benefit analysis. Still, I expect there will be the usual howls of outrage from the usual quarters. There may even be a few lawsuits, though I find it hard to see how anyone – including the always litigious State of Texas – would have standing.
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Daniel Farber | August 4, 2016
The White House Council on Environmental Quality (CEQ) issued new guidance this week on considering climate change in environmental impact statements (EIS). Here are the key points: Quantification. The guidance recommends that agencies quantify projected direct and indirect emissions, using the amount of emissions as a proxy for the eventual impact on climate change. The […]
Brian Gumm | August 3, 2016
NEWS RELEASE: Memo to the Next President: Let’s Make Government Work for All of Us Over the past several weeks, the Center for Progressive Reform (CPR) has urged the next president to take a constructive approach to our government and our system of health, safety, environmental, and financial safeguards. With Election Day just three months […]
Evan Isaacson | July 29, 2016
If a tree falls in a forest and no one hears it, does it make a sound? More to the point, if law enforcement issues a civil or criminal fine or sentence without anyone knowing, does it have an effect? Thinking back to my criminal law course, I recall such philosophical discussions over the various […]
Matt Shudtz | July 29, 2016
Earlier this week, the Occupational Safety and Health Administration (OSHA) cited Pilgrim’s Pride, one of the world’s largest poultry processors, with more than a dozen serious workplace health and safety violations. CPR Executive Director Matthew Shudtz issued the following statement today: Credit OSHA for pushing the envelope. The poultry slaughter industry loves to tout its […]
Alejandro Camacho | July 20, 2016
Whether it’s raging wildfires in the West, catastrophic flooding in the East and Upper Midwest, or rising sea levels on the coasts, there is no question that climate change is affecting and will continue to significantly impact our public lands and the resources they both provide and protect. As a nation, we need to be […]
James Goodwin | July 14, 2016
In an earlier post, CPR Member Scholar Robert Glicksman discussed the need for the next president to champion a truly positive vision of government and regulation. A new way of thinking and talking about these issues is critically important, and the president should play a key role in charting this course. While a rhetorical shift […]
Hannah Wiseman | July 13, 2016
When Congress extensively amended the Clean Air Act in 1970 to form the air pollution laws that we know today, it spoke in no uncertain terms about the breadth of federal authority in this area while also centrally involving states in the effort to clean up the nation’s air. Congress directed the EPA Administrator to […]
Sidney A. Shapiro | July 7, 2016
Originally published on RegBlog by CPR Member Scholar Sidney Shapiro. Although it is well known that regulatory capture can subvert the public interest, it is becoming increasingly clear that there are two forms of capture that can affect the performance of regulatory agencies. The “old capture”—which is what most of us think of when we think of […]
James Goodwin | July 6, 2016
This afternoon, the House Judiciary Committee’s Subcommittee on Regulatory Reform, Commercial, and Antitrust Law will hold an oversight hearing that looks at the Office of Information and Regulatory Affairs (OIRA), the powerful White House bureau that sits at the center of the regulatory universe. Originally created to oversee federal agencies’ implementation of the Paperwork Reduction […]