Header graphic for print
Federal Regulations Advisor Insight and Commentary on U.S. Government Regulatory Affairs

Monthly Archives: October 2013

SCOTUS Argument Preview: Sandifer Interpretation, not Auer Deference

Posted in Agency Authority, Judicial Review & Remedies, Regulatory Process

The United States Supreme Court will hear arguments in Sandifer v. U.S. Steel Corporation next Monday, November 4, 2013, asking the question “What constitutes “changing clothes” within the meaning of Section 203(o) of the Fair Labor Standards Act.”  Why Sandifer matters to administrative law practitioners beyond the presented statutory interpretation issue is not readily apparent. … Continue Reading

Monday Morning Regulatory Review – 10/28/13

Posted in Agency Authority, Executive - OMB Review, Judicial Review & Remedies, Regulatory Process

The Engine of Government fully engaged last week, paperwork to follow.  The Administration “announced” an interpretation of the Patient Protection and Affordable Care Act (PPACA, aka ObamaCare) that permits more time for individuals to acquire health care and avoid tax penalties, while the United States District Court for the District of Columbia denied a preliminary… Continue Reading

Monday Morning Regulatory Review – 10/21/13

Posted in Agency Authority, Judicial Review & Remedies, Regulatory Process

United States Government agencies lurched back into business and began to resolve the problems created by their absence, to the extent they can – and litigation has already commenced over the legality of a number of agency actions during the shutdown.  Post-reopening, some agencies, such as the Federal Communications Commission (FCC) have attempted to make… Continue Reading

Greenhouse Gases – Statutory Construction & the Length of Regulatory Logic

Posted in Agency Authority, Judicial Review & Remedies

The United States Supreme Court (SCOTUS) yesterday granted review in six greenhouse gas cases, consolidated them all into one, and posited its own question for argument:  “Whether [the Environmental Protection Agency (EPA)] permissibly determined that its regulation of greenhouse gas emissions from new motor vehicles triggered permitting requirements under the Clean Air Act for stationary… Continue Reading

Monday Morning Regulatory Review – 10/14/13

Posted in Agency Authority, Executive - OMB Review, Judicial Review & Remedies, Regulatory Process

The government shutdown – now in its 14th day – should leave little for a blog on federal regulations, but not quite so.  Admittedly, the weekly scour has become more complicated, but much fodder remains to be chewed.  A brief look at the state of the process reveals agencies like the Federal Reserve Bank and… Continue Reading

Monday Morning Regulatory Review – 10/7/13

Posted in Judicial Process, Judicial Review & Remedies, Regulatory Process

The funding lapse of the United States Government – or parts of it – has all but shut down the regulatory process.  As noted previously, the Anti-Deficiency Act bars action in violation of appropriation limits and few regulatory actions fall within its narrow exceptions.  Our source of material may have declined, but note readership.  A… Continue Reading

Judicial Review of An Orderly Shutdown of Government – Regulatory Process

Posted in Agency Authority, Judicial Review & Remedies, Regulatory Process

The Government is closed – somewhat – and the regulatory process surely is winding down but will not entirely stop.  The funding lapse with closing the books on FY2013 and no appropriations in place for FY2014 set in motion an “orderly shutdown” yesterday.  What that means from a regulatory process perspective is as varied as… Continue Reading