Agencies Should Provide Enhanced Procedural Protections in Aggregate SettlementsAgencies fail to provide necessary fairness when they compensate large groups of people. |
Prospects for Regulatory ReformCongress should use a rare political moment to improve the U.S. regulatory process. |
Gainful Employment Rule Hurts College Students and SchoolsNew Department of Education rule places excessive restrictions on federal funding for higher education. |
A Silver Lining in the Supreme Court's Latest Climate Change DecisionIn the process of handing environmentalists a loss in AEP v. Connecticut, the Court strengthens the EPA's authority over greenhouse gas emissions. |
How Bad Math at Federal Agencies Undervalues Human LifeAgencies underestimate the value of human life by consistently ignoring health inflation and wealth inflation. |
Tracking Down Killer RegulationsThe federal government lacks an independent office to provide retrospective analysis of regulations' costs and benefits. |
Why Congress Should Not Codify Cost-Benefit Analysis RequirementsCodifying cost-benefit analysis requirements of Executive Order would preempt valuable nuances of current review system. |
The Myths of Benefit Cost AnalysisCongress should resist the popular misconceptions of the critics of benefit-cost analysis. |
The Administration's Regulatory Review Plans: Toward Evidence-Based GovernanceThe White House has just released the first plans for retrospective reviews of existing regulations from thirty agencies, making a notable step toward evidence-based governance. |
Why the REINS Act is Unwise If Not Also UnconstitutionalA proposed act would hinder needed regulations, thereby interfering with the executive branch's constitutional authority to execute the law. |



