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Eakinomics: Really
Modern Regulation Review
Our long national nightmare is over. President Biden issued an executive
order on the day of his inauguration directing the Office of Management and
Budget to “modernize” the practice of regulatory review, but the response was
crickets for two years. Sure, the administration managed to set a first-year
record with over $200 billion in regulatory costs. And, yes, it has managed
to burden the economy with $360 billion in costs thus far. But it was all
done in such a pedestrian, old-fashioned manner. When, oh when, would this
sleeker, 21st century red tape appear?
On April 6, Eakinomics’ prayers were answered
and the modernized review process was unveiled. AAF’s Dan Goldbeck digs
through the details.
Here are some of the highlights.
Let’s begin with what this is not. The original executive order had included
the directive to incorporate “unquantifiable benefits” into the analysis.
Eakinomics immediately envisioned an unvarnished gutting of the discipline of
benefit-cost analysis, with the administration putting its thumb on the scale
to help its (unquantifiable) political allies. That is not in the procedures.
Yes, there is consideration of unquantifiable aspects during the discussion
of uncertainty, but it is on both the benefit and cost sides. Eakinomics put
its tinfoil hat back in the closet and kept reading.
There are three major changes. The first is to raise the threshold for an
“economically significant” rule from $100 million to $200 million in costs
and adjust it for inflation every three years. One can think of this as
simply technocrats improving the process. But it also puts less scrutiny on
the Biden regulatory agenda.
The second is to reduce the discount rates used in regulatory analyses.
Discount rates translate the value of benefits and costs through time and
capture the phenomenon that future benefits are less valuable than immediate
ones. The higher the rate, the bigger the discount of the future. At the
other limit, a zero percent discount rate means that all benefits or costs
count the same, even if some are hundreds of years from now. The
modernization lowers discount rates. Again, the technocratic explanation is
that – recent months notwithstanding – this is a lower interest rate era and
analysis should reflect that fact. The conspiracy theorist notes that
typically costs are up front and benefits occur in the future. This will have
the tendency to count more benefits and push more regulatory initiatives into
the black.
The final change is to improve access to the rulemaking comment process by
traditionally underserved communities. Goldbeck’s take on this is: “The most
meaningful changes here involve: A) how agencies solicit initial input from
such communities, and B) how OIRA schedules and conducts meetings with
relevant stakeholders on a given rulemaking under review (so-called ‘EO 12866
meetings’).” Eakinomics is still unclear on this one, having not once ever
heard someone complaining about being excluded from reviewing the analysis of
a preliminary rule. But it does raise the image of the administration herding
its (unquantifiable) allies into a meeting room at OIRA and assaulting the
regulatory arithmetic.
Thoroughly modern regulatory review has arrived! Sit back and enjoy.
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