ARTBA sent a letter to the Administrator of Information and Regulatory Affairs at the White House Office of Management and Budget offering the following comments:

  • The proposal gives agencies broad discretion to employ favorable assumptions to achieve a particular regulatory outcome.
  • The proposal is too technically complex to achieve its intended purpose.
  • OMB should not issue new proposals before withdrawing or finalizing its revisions to Circular A-4.

Related Resources

Coalition Comments on EPA’s Draft Meaningful Involvement in Rulemaking Policy

ARTBA and its coalition partners sent a letter encouraging the Environmental Protection Agency (EPA) to actively engage trade associations in the rulemaking process.

Learn More

Coalition Comments on White House Office of Science and Technology Policy Environmental Justice Notice

ARTBA and its coalition partners sent a letter to the White House Office…

Learn More

Coalition Comments on EPA’s Draft Guidance for Clean Water Act Section 402 Permits

ARTBA and its coalition partners filed comments regarding the Environmental Protections Agency’s (EPA) draft guidance on application of the Supreme Court’s decision in County of Maui v. Hawaii Wildlife Fund.

Learn More