Notice & Comment

Notice & Comment

Notice & Comment

Texas Public Policy Foundation v. Department of State and Its Potential Unanticipated Consequences

Recently, as noted in this blog, a Fifth Circuit panel considered whether the names and email addresses of low-level federal employees who worked on climate change issues must be provided to a Freedom of Information Act (“FOIA”) requester.  The divided panel issued a strong pro-transparency decision, concluding that government employees, even low-level ones, generally lack […]

Notice & Comment

D.C. Circuit Review – Reviewed: Time Bars for FISA and Patriot Act Claims

The D.C. Circuit published two opinions last week. Page v. Comey addressed an already-reported on lawsuit in which Carter Page, an advisor to Donald Trump’s 2016 presidential campaign, alleged that the FBI unlawfully surveilled him and damaged his reputation by leaking information to the press. In 2022, the district court dismissed his complaint for failure to state a claim. […]

Notice & Comment

Responding to a Quorumless Merit Systems Protection Board, by Jordan Ascher

The Trump Administration, using a range of means, has sought to decimate the federal civil service. That has included efforts to fire probationary employees, initiate large-scale reductions in force at multiple agencies, and place large groups of employees on administrative leave. At the same time, the administration has hampered the Merit Systems Protection Board (MSPB), […]

Notice & Comment

Ad Law Reading Room: “The Lost English Roots of Notice-and-Comment Rulemaking,” by Rephael Stern

Today’s Ad Law Reading Room entry is “The Lost English Roots of Notice-and-Comment Rulemaking,” by Rephael G. Stern, which was recently published by the Yale Law Journal and posted to SSRN.  Here is the abstract: Notice-and-comment rulemaking is arguably the most important procedure in the modern administrative state. Influential accounts even frame it as the […]

Notice & Comment

Setting the Record Straight on the APA’s “Good Cause” Exception, by Reed Shaw

In defending President Trump’s April 2025 memorandum directing agencies to rescind regulations they deem to be “facially unlawful,” a recent post in this forum misinterprets the scope of the “good cause” exception to the notice-and-comment requirements of the Administrative Procedure Act (APA). The President’s memorandum instructs agencies to invoke the exception in rescinding existing rules, […]