Yesterday, the Administration published their 2026 Unified Agenda. The Unified Agenda lays out the major regulatory measures that the Administration is considering taking action on over the next year. The listing of a rulemaking or the estimated action dates associated with a rulemaking are aspirational at best and no guarantee of agency action, especially since there will be a change in Administration in January. There are 59 active rulemakings listed for DHS with 30 rulemakings on the Long-Term Action list for the Department. There are 101 rulemakings listed in the Inactive Rule portion of the Agenda. Finally, DHS reported 21 rulemakings (none of particular interest here) on the Completed Actions portion of the Agenda.
DHS Active Rulemakings
The DHS portion of the Spring 2025 Unified Agenda lists 45 rulemakings, five of which I would expect to cover in this blog if/when actions are taken. Those rulemakings are:
Commentary
Federal agencies are required {5 USC 602(a)} to publish twice a year (specifically in April and October) a regulatory flexibility agenda that lists “any rule which the agency expects to propose or promulgate which is likely to have a significant economic impact on a substantial number of small entities”. Since the fall of 1995, OIRA has published a compilation of these as the Spring and Fall Unified Agenda respectively. The April and October requirement has slipped over the years with the current Administration publishing the Spring 2025 Unified Agenda in September 2025. With the removal of the seasonal designation from the current Unified Agenda, it seems that the Administration is announcing that they have no intention of publishing a second Unified Agenda this year. Hopefully, they intend to return to complying with statutory requirements in 2027.

