Abstract
In 1984, Portney argued that "[w]e should scrutinize proposed reforms of the rulemaking process every bit as carefully as the regulations that process produces." In the 23 years since then, the regulatory process on the federal level has been continuously reformed by statute, by executive order, and by directives from the OMB. Despite the extensive debate on the need for these reforms, there has been very little analysis of the reforms themselves. This paper updates Portney's work on analyzing cost-benefit analysis and expands it to evaluate reforms of the regulatory process. I use as my primary example the recent peer-review guidelines issued by OMB. I argue that we may have reached a point of diminishing returns in regulatory reforms, that the peer-review guidelines likely have costs that exceed their benefits, and that further regulatory reforms merit closer evaluation.
Original language | English (US) |
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Pages (from-to) | 223-230 |
Number of pages | 8 |
Journal | Evaluation and Program Planning |
Volume | 31 |
Issue number | 3 |
DOIs | |
State | Published - Aug 2008 |
All Science Journal Classification (ASJC) codes
- Business and International Management
- Social Psychology
- Geography, Planning and Development
- Strategy and Management
- Public Health, Environmental and Occupational Health
Keywords
- Cost-benefit analysis
- Peer review
- Regulation
- Regulatory reform