Download a PDF version of this letter here.

March 24, 2020

TO: Board of Governors of the Federal Reserve System; Department of the Treasury; Consumer Financial Protection Bureau; Commodity Futures Trading Commission; Small Business Administration; Office of the Comptroller of the Currency; Federal Deposit Insurance Corporation; Department of Housing and Urban Development; Securities and Exchange Commission; Office of Management and Budget.

Re: Request to suspend all non-COVID-19 rulemaking during the public health emergency

Dear Madam or Sir:

As part of the executive branch response to the dangerous COVID-19 health emergency, the undersigned organizations respectfully urge federal agencies to place a moratorium on any pending, upcoming, or new regulatory rulemaking that is not directly responsive to the current COVID-19 pandemic, until at least 30 days after the national emergency has been lifted.

We are requesting a temporary suspension of all federal rulemaking and regulatory actions including requests for information, notices under the Paperwork Reduction Act, notices of proposed rulemaking, advance notices of proposed rulemaking, ongoing development of potential regulations, or issuing final rules, and any other such releases except any agency actions directly related to COVID-19, the health and safety of the U.S. population, or the financial and economic collateral damage of the health crisis (as well as rulemaking to extend statutory or regulatory deadlines during this period, until after the crisis as necessary).

We do not know when the current emergency might end; when the emergency is lifted, there will need to be an appropriately incremental and deliberative process to resume the halted regulatory processes that recognizes that the lifting of the emergency declaration will not result in an immediate return to pre-emergency conditions and allows for meaningful public input under still stressed conditions.

Every federal agency must dedicate all regulatory resources to addressing COVID-19 and the enforcement of rules meant to protect public health, consumers, investors and retirees, and the integrity and stability of the markets. The pursuit of any non-crisis-related rulemaking would be a misallocation of limited resources that distracts needed focus from U.S. public health and welfare, and financial stability. This is especially crucial because the crisis means that agency capacity and resources will themselves be unusually limited. When agencies resume their rulemaking process, they must take into account the need to incorporate the new circumstances and reassess the necessity and relevancy of their pending or planned policies even for rulemakings that were already far advanced before the crisis.

Transparency and fairness require allowing for meaningful engagement by the broad and diverse constituencies impacted by proposed rules and other regulatory actions. That simply will not be possible during the current health crisis and the economic crisis it is expected to spawn, and the administrative record will lack the breadth of expert and stakeholder public submissions necessary to formulate rules and policies that effectively and fairly accomplish statutory goals.

Thank you in advance for your consideration of this request.

 

Alabama Appleseed Center for Law and Justice

Alaska PIRG

Americans for Financial Reform Education Fund

Association for Neighborhood and Housing Development (ANHD)

Beneficial State Foundation

Better Markets

California Reinvestment Coalition

Center for Community Progress

Center for Digital Democracy

Center for NYC Neighborhoods

Center for Popular Democracy

Delaware Community Reinvestment Action Council, Inc.

Earth Democracy Campaign, WILPF-US

Economic Policy Institute

Empire Justice Center

Greenpeace USA

Hope Enterprise Corporation (Jackson, MS)

Housing Clinic, Jerome N. Frank Legal Services Organization, Yale Law School

Missouri Faith Voices

Mountain State Justice

National Association of Consumer Advocates

National Community Stabilization Trust

National Consumer Law Center (on behalf of its low income clients)

National Fair Housing Alliance

National Housing Resource Center

NETWORK Lobby for Catholic Social Justice

New Jersey Citizen Action

New York Housing Conference

Northwest Atlantic Marine Alliance

Ozarks Citizens Alliance

People’s Action

Pesticide Action Network North America

Proposition One Campaign for a Nuclear-Free Future

Public Citizen

Revolving Door Project

S.C. Appleseed Legal Justice Center

Seeding Sovereignty

Strong Economy For All Coalition

Take on Wall Street

350 Butte County

350 PDX

Texas Appleseed

Tzedek DC

UnidosUS; formerly NCLR

Virginia Organizing

Women’s International League for Peace and Freedom US

Woodstock Institute