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    Subject Term: "Environmental regulations"

    1 publication with a total of 5 open recommendations
    Director: J. Alfredo Gomez
    Phone: (202) 512-3841

    5 open recommendations
    Recommendation: To improve future adherence to OMB guidance for conducting RIAs, the EPA Administrator should enhance the agency's review process for RIAs to ensure the transparency and clarity of information presented for selected elements in and across RIAs.

    Agency: Environmental Protection Agency
    Status: Open

    Comments: In May 2017, EPA reported that it is committing to have its National Center for Environmental Economics in the Office of Policy review regulatory impact analyses (RIAs) for economically significant rules and provide a written review prior to their submission to OMB, indicating progress toward implementing this recommendation. GAO is keeping this recommendation open until seeing how EPA implements this commitment, including any written documentation or guidance to support this process and the type of criteria the agency plans to use for these reviews to ensure the transparency and clarity of information presented for selected elements in and across EPA's RIAs.
    Recommendation: To clarify the relationship between OMB Circular A-4 and an Interagency Working Group's Technical Support document for estimating the effects of changes in carbon dioxide emissions, and the approach agencies should use when informing decision makers and the public of their findings, the Director of OMB should consider continuing monitoring the economic literature and working with agencies to identify approaches for presenting social cost of carbon estimates with other analytical results that have been discounted at different rates to help agencies more transparently communicate about the circumstances unique to assessing the long-term effects of changes in carbon dioxide emissions.

    Agency: Executive Office of the President: Office of Management and Budget
    Status: Open

    Comments: In a March 2016 update, OMB reported that the Interagency Working Group continues to monitor the economic literature and will also consider whether there are any new approaches for presenting social cost of carbon estimates with other analytical results that have been discounted at different rates that would help agencies more transparently communicate about the circumstances unique to assessing the long-term effects of changes in carbon dioxide emissions. It added that, as the National Academy of Sciences Committee may address the appropriate use of discount rates in calculating and presenting the social cost of carbon in Phase 2 of its report, it would be prudent to wait for Phase 2 of the report before making changes in this area to ensure that such changes are fully informed by any Committee recommendations. GAO will continue to monitor the Interagency Working Group's progress toward implementing this recommendation.
    Recommendation: In addition, to enhance the usefulness of EPA's RIAs, the EPA Administrator should identify and prioritize for research key categories of benefits and costs that the agency cannot currently monetize that, once monetized, would most enhance the agency's ability to consider economic trade-offs associated with different regulatory alternatives.

    Agency: Environmental Protection Agency
    Status: Open

    Comments: As of May 2017, EPA said that it continues to make progress in the spirit of this recommendation, including its consideration of the Science Advisory Board's (SAB) April 2017 draft report and research recommendations regarding the use of economy-wide modeling in benefit-cost analysis for environmental regulations. GAO is keeping this recommendation open until it is clearer how EPA is using the SAB's work to develop its regulatory impact analyses.
    Recommendation: To clarify the relationship between OMB Circular A-4 and an Interagency Working Group's Technical Support document for estimating the effects of changes in carbon dioxide emissions, and the approach agencies should use when informing decision makers and the public of their findings, the Director of OMB should consider clarifying the relationship between OMB Circular A-4 and the Technical Support Document by increasing the visibility of relevant language in the Technical Support Document.

    Agency: Executive Office of the President: Office of Management and Budget
    Status: Open

    Comments: In a March 2016 update, OMB said that in the Interagency Working Group's next update of the Technical Support Document, the Interagency Working Group will consider further clarification of the relationship between OMB Circular A-4 and the Technical Support Document through increasing the visibility of relevant language in the Technical Support Document. OMB did not specify the time frame for the next update. GAO will continue to monitor the Interagency Working Group's progress toward implementing this recommendation.
    Recommendation: In addition, to enhance the usefulness of EPA's RIAs, the EPA Administrator should continue efforts to update and improve the agency's approach to estimating employment effects.

    Agency: Environmental Protection Agency
    Status: Open

    Comments: As of May 2017, EPA reported that it continues to make progress in the spirit of this recommendation, with plans to implement a three-part program dealing with employment impacts. EPA also plans to review its Guidelines for Preparing Economic Analysis to expand and update the discussion of how to consider employment effects in RIAs. GAO is keeping this recommendation open until seeing the outcome of these planned efforts.