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, […]

