The rulemaking process — nothing changes…
September 13th, 2015
Many thanks to the “little birdie” who brought this decades old report to my attention:
Yes, this is a report from the Minnesota Legislative Auditor from 1993, and if you read it, you’ll see little has changed is so many years… The issues raised are issues we’ve been raising in the Public Utilities Commission rulemaking for Minn. R. Ch. 7849 and 7850 (Certificate of Need and Siting/Routing). AAAAAAAAAAAACK!
For example, from the Summary:
For example, in the PUC Rulemaking for 7849 and 7850 (PUC Docket 12-1246), it’s been an over two-year-long process, and few are showing up anymore. We weigh in, some things are taken into account in the drafts, and then that disappears from the next draft. How can it feel like anything but a colossal waste of time? Yet if we weren’t there, the utilities would get everything they want. And as with the utility Certificate of Need and Siting/Routing processes, rulemaking has the same notice and public participation problems. It’s all the same, deja vu all over again.
… and also from the report …
Does this sound familiar?
So what is the bottom line of this report?
Also, we recommend the following additional changes to the Administrative Procedure Act:
… and …
In addition to changing the APA and other statutes that govern agency rulemaking, we recommend that:
Gov. Dayton rolls and caves again!
November 17th, 2011
O… M… D!
Gov. Mark Dayton has done it again, apparently looking to leave a legacy of being one of the most environmentally harmful Governors in Minnesota history.
What’s this all about? Well, for example, first there was his roll and cave on MPCA and DNR permitting, “streamlining” or gutting, as the case may be, beating the Republicans and their legislative agenda to the punch:
Dayton “streamlines” for corporate interests!
And then adding insult to injury:
Walton’s Bill Grant – Deputy Commissioner of Energy?
Now, by Executive Order, he does it again, this time to the EQB:
Executive Order 11-32
Check it out:
By November 15, 2012, the EQB shall evaluate and make recommendations on how to improve environmental review, given the changes made in Chapter 4, House File 1, and the recommendations contained in the Office of the Legislative Auditor Environmental Review and Permitting Report.
Here’s Chapter 4, House File 1.
And now for the Office of the Legislative Auditor Environmental Review and Permitting Report:
Legislative Auditor’s Report – Environmental Review & Permitting