Today the OMB’s Office of Information and Regulatory Affairs
(OIRA) finally got around to publishing the 2012 Unified Agenda. It broke with
the previous process of publishing Spring and Fall versions of the UA,
apparently because it was so far behind in keeping up with that process. The
last UA published was the Fall 2011 UA; published
in January of this year.
Current DHS Rule List
Readers of this blog are going to be primarily interested in
the DHS
Rule list. This lists the currently active and planned rule making
processes being pursued by the Department. I’ve extracted the ones of most
interest to readers of this blog and posted it in Table 1 below.
Agency
|
Stage
|
Title
|
RIN #
|
OS
|
Final Rule
|
Classified National Security Information
|
|
USCG
|
Proposed Rule
|
Cargo Securing on Vessels Operating in U.S. Waters
|
|
USCG
|
Proposed Rule
|
Transportation Worker Identification Credential (TWIC);
Card Reader Requirements
|
|
USCG
|
Proposed Rule
|
Updates to Maritime Security
|
|
USCG
|
Final Rule
|
Bulk Packaging To Allow for Transfer of Hazardous Liquid
Cargoes
|
|
TSA
|
Proposed Rule
|
General Aviation Security and Other Aircraft Operator
Security
|
|
TSA
|
Proposed Rule
|
Security Training for Surface Mode Employees
|
|
TSA
|
Proposed Rule
|
Freight Railroads and Passenger Railroads--Vulnerability
Assessment and Security Plan
|
|
TSA
|
Proposed Rule
|
Standardized Vetting, Adjudication, and Redress Services
|
Table 1: Current Items on DHS Agency Rule List
I’ll discuss these proposed rulemakings in some more detail
in future posts.
Rulemaking Missing from List
To paraphrase Sherlock Holmes, what is interesting is what
is not on the list. Comparing the 2012 UA to the Fall 2011 UA there are three
rules of interest that are missing from the current list. Rulemaking has not
been completed on these three so they were either removed from the list by the
Obama Administration or were overlooked somehow. Those three rulemakings are
listed in Table 2.
Agency
|
Stage
|
Title
|
RIN #
|
OS
|
Proposed Rule
|
Secure Handling of Ammonium Nitrate Program
|
|
USCG
|
Proposed Rule
|
Top Screen Information Collection from MTSA-Regulated
Facilities Handling Chemicals
|
|
TSA
|
Proposed Rule
|
Sensitive Security Information: Disclosure in Federal
Civil Court Proceedings
|
Table 2: Rulemakings missing from DHS Rule list
Surely the Ammonium Nitrate Security Program (ANSP) was an
oversight since this is a Congressionally mandated (and much overdue)
rulemaking. The NPRM
had been published in August of last year with the comment period closing
on December 1st, 2011. We have been waiting patiently for the final
rule to be published. I expect that Rep. Thompson (D,MS) will be one of the
first to question why this isn’t on the current UA.
The MTSA Top Screen rule was initiated as part of the
process of harmonizing the chemical security rules between CFATS and MTSA. This
was going to be essentially a data collection and analysis rule since there
were no specific intentions (and no Congressional authority) to require MTSA
covered facilities to comply with the CFATS rule. I suspect that this
rulemaking was specifically removed from the UA.
The SSI Disclosure rule has been on the Agenda as long as I
have been looking at it. The intent has been to establish rules for vetting a
limited number of people involved in a Federal civil case to be authorized to
view data that has been labeled Sensitive Security Information. This may have
been removed because of conflicts between the SSI rules being developed under the
President’s Executive Order on Controlled Unclassified Information. Actions on
that EO have been delayed.
Next Step
With the long delayed publication of the UA we can now
patiently wait for the President’s flexibility agenda to be published in the
Federal Register. This will provide more details on how the above actions will
be prioritized by the Administration. Earlier this year there was almost a
month delay between the publication of the UA and the posting of the
flexibility agenda.
1 comment:
Sorry for the delayed comment Pat, but I'm just now digging out from my vacation-induced backlog.
The USCG Top Screen Rulemaking may not be in the Unified Agenda, but it's still in the Regulatory Plan, but under the Long Term Actions category, meaning that the USCG lists the date for this NPRM as "To Be Determined."
Other items in this category that your readers might be interested in include:
* Marine Transportation-Related Facility Response Plans for Hazardous Substances (1625-AA12);
* Tank Vessel Response Plans for Hazardous Substances (1625-AA1); and
* 2012 Liquid Chemical Categorization Updates (1625-AB94).
Happy New Year!
John
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