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Regulation without Representation What You Should Know to Protect Yourself, Your Community, Your State, Our Liberties and Our Republic Harriet M. Hageman Hageman Law P.C. June 26, 2014

Harriet M. Hageman Hageman Law P.C. June 26, 2014

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Regulation without Representation What You Should Know to Protect Yourself, Your Community, Your State, Our Liberties and Our Republic. Harriet M. Hageman Hageman Law P.C. June 26, 2014. Current Financial Climate. Federal Government Debt - $ 17.552 (6/25/14) $ 17.31 (6/13/14) - PowerPoint PPT Presentation

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Page 1: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Regulation without RepresentationWhat You Should Know to Protect Yourself, Your Community, Your State, Our Liberties and Our Republic

Harriet M. Hageman

Hageman Law P.C.

June 26, 2014

Page 2: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Current Financial Climate

Federal Government Debt - $ 17.552 (6/25/14) $ 17.31 (6/13/14) $ 17.175 Trillion (11/22/13)

$ 16.9 trillion dollars (08/16/13) $ 16.353 trillion dollars (12/07/12) $ 15.989 trillion on 8/28/12 (increased almost $1 trillion dollars

in 12 months) $55,141 per person ($ 54,155 11/22/13) $ 151,159 per taxpayer ($ 149,669 11/22/13); $142,394 12/07/12) Increases approx. $ 3.3 billion every day

U.S. Federal Spending as of 6/13/2014: $ 3,545,919,000,000 (appropriated and spent) $ 3,475,349,000,000 as of 11/22/13

Page 3: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Spending Spree

110th Congress (01/07 to 01/09) increased debt by $1.957 trillion to the overall debt The Debt was $ 9.4 trillion as of December, 2010

111th Congress (01/09to 01/11) added $3.22 trillion to the overall debt. More than the first 100 Congresses combined.

112th Congress (01/11 to 01/13) added almost $ 4 trillion to the overall debt Outlays of $3.538 trillion for 2012.

President Obama’s federal budget proposal for FY 2013 - $3.803 trillion in discretionary, entitlement and interest spending

Debt has increased almost $ 8 trillion since 2009

Page 4: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Three Branches of Government

Executive (President, Governor)

Legislative (Congress, State Legislatures)

Judicial

Federal and State Agencies What happens once the legislation is

passed?

Page 5: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Statutes vs. Regulations – A Primer Statutes – Legislative Branch

Endangered Species Act National Environmental Policy Act Clean Air Act Clean Water Act

Regulations – Executive Branch (President, Governors) Developed by the agencies

Page 6: Harriet M. Hageman Hageman Law P.C. June 26, 2014

The “Real Governing Class”

In 2009, Congress passed 125 bills; over 3,500 Regs adopted by Fed Agencies

In 2010, Congress passed 217 bills; 3,573 Regs adopted by Fed Agencies

In 2011, Congress passed 81 bills; 3,807 Regs adopted by Fed Agencies (6.5% increase over 2010)

In 2012, Congress passed 127 bills; 3708 Regs adopted by Fed Agencies

In 2013, Congress passed 72 new laws; 3,659 new Regs (51 regs for every law; a new rule every 2 ½ hours)

Page 7: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Legislature/Congress v. Agencies

Agencies do not answer to voters, so the unelected end up doing the majority of the lawmaking.

Our elected officials are allowed to avoid making difficult decisions.

Agencies are incentivized to expand their jurisdiction, authority, oversight, involvement, _____, _____, _____, _____ (power, budgets, etc.)

Page 8: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Nerd Gas, Casper, Wyoming: just one example Nerd Gas has 209 total employees.

129 Federal, State, County and City agencies touch their companies.

Page 9: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Federal Red Tape Army Corps of Engineering BLM Census Bureau Consumer Finance Protection Bureau Department of Housing and Urban Development (Federal Housing Administration) Department of Labor Department of Veterans Affairs EPA Equal Employment Opportunity Commission Federal Aviation Administration (FAA) Federal Deposit Insurance Corporation (FDIC) Federal Emergency Management Agency (FEMA) Federal Housing Finance Authority as Receiver for Fannie Mae and Freddie Mac Federal Reserve (HMDA Data reporting) Internal Revenue Service (IRS) National Mortgage Licensing System

Page 10: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Federal Red Tape, cont. Federal Unemployment National Mortgage Licensing System U.S. Department of Agriculture (Rural Development Administration) U.S. Department of Education U.S. Department of Labor U.S. Department of the Interior U.S. Department of Treasury U.S. Department of Veterans Affairs U.S. Forest Service

Page 11: Harriet M. Hageman Hageman Law P.C. June 26, 2014

State Red Tape Alaska Department of Natural Resources Colorado Department of Labor and Employment Colorado Department of Revenue Department of Transportation in nearly every Western U.S. state Illinois Department of Revenue Minnesota Department of Revenue Nebraska Child Support Payments Center Lincoln, NE Nebraska Department of Revenue North Dakota Department of Employment North Dakota Department of Health North Dakota Office of State Tax Commissioner Nuclear Regulatory Commission Port Authority: Texas (Houston), Louisiana, Seattle, Alaska State Collection & Distribution Unit Las Vegas, NV State of Texas Child Support State of Wyoming State of Wyoming Office of State Lands & Investments University of Wyoming

Page 12: Harriet M. Hageman Hageman Law P.C. June 26, 2014

State Red Tape, cont.

Various State Income Tax Agencies Wyoming Board of Control Wyoming Business Council Wyoming Department of Banking Wyoming Department of Child Support Wyoming Department of Environmental Quality Wyoming Department of Insurance Wyoming Department of Labor Wyoming Department of Revenue Wyoming Department of Transportation Wyoming Department of Workforce Services Wyoming Employment Department Wyoming Game & Fish Department

Page 13: Harriet M. Hageman Hageman Law P.C. June 26, 2014

State Red Tape, cont.

Wyoming New Hire Reporting Center

Wyoming Oil & Gas Commission Wyoming OSHA

Wyoming Secretary of State Wyoming State Emergency Commission

Wyoming State Engineer's Office Wyoming State Historic Preservation Officer (SHPO) Wyoming Unclaimed Property Division Wyoming Unemployment Wyoming Workers and Safety Compensation Division

Page 14: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Redundant Redundancy

EPA (federal); DEQ (state)

Dept of Transportation (federal and state)

Dept of Education (federal and state)

Dept of Labor (federal and state)

Dept of Agriculture (federal and state)

Page 15: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Regulations – Costly and Contradictory Redundancy Federal Regulations - Examples

Clean Water Act Endangered Species Act National Forest Management

State Regulations Enforcement of the Clean Water Act Game and Fish Regulations Management of State Forest Lands

Page 16: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Regulatory Expansion

Federal Cost to administer and police the regulatory enterprise: Over $ 57 billion dollars per year

Number of current federal regulatory employees: almost 300,000; increased 17% under President Obama (as of December, 2012).

Page 17: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Agency “interpretation” of Statutes

EPA interpretation as described by U.S. Supreme Court in Rapanos v. U.S.

JP Morgan – Loss of $ 2 billion Dodd/Frank

White House Position: Regulations not finalized; so trading that resulted in the loss not prohibited.

Either the trades were illegal or were not; regulations shouldn’t be used to “legislate” where Congress hasn’t.

Page 18: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Agency “interpretation” of Statues cont. Health-care law – power of Secretary of Health and

Human Services Obamacare law – 2700 pages Lawyers drafted over 20,000 pages of regulations

for implementation (13,000+ pages in December, 2012)

In excess of 180 boards, commissions, and bureaus 18 pages in Fed.Reg. to define “full-time” employee

(now reduced to 30 hours per week) IRS Estimate: it will take 79,229,503 hours for

families and businesses to comply with Obamacare Taxes (80 million hours – seriously)

Page 19: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Examples of Regulatory Overreach – have we gone crazy? Pythagorean Theorem……………………..24 words

First Amendment to the U.S. Const….......45 words

Lord’s Prayer ……………………………….66 words

Archimedes’ Principle……….....................67 words

10 Commandments …………………….. 179 words

Gettysburg Address………......................286 words

Page 20: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Have We Gone Crazy cont.

Declaration of Independence…………….1300 words

U.S. Govt. Regs on Cabbage CropInsurance …………………………………3500 words

U.S. Constitution (w/ 27 Amend) ………7,818 words

U.S. Govt. Regs on Special Rules for ExperimentalPopulations of T and E Wildlife and Plants ……...over 36,000 words

Page 21: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Have We Gone Crazy cont.

The federal worker-safety laws include some 4,000 rules dictating precisely what equipment shall be used and how facilities are built. Stairways shall be lit by “natural or artificial

illumination.”

Under a recent federal directive, the number of health-care reimbursement categories will soon increase from 18,000 to 140,000 Includes 21 separate categories for “spacecraft accidents” and 12

for bee stings.

There are over 100,000,000 words of binding federal statutes and regulations, and states and municipalities add billions more.

Page 22: Harriet M. Hageman Hageman Law P.C. June 26, 2014

We are crazy

HHS Regulation:

“Administrative Simplification: Adoption of Authoring Organizations for Operating Rules and Adoption of Operating Rules for Eligibility and Claims Status”

Page 23: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Hidden (indirect) Costs and Regulatory Burdens: The Real Definition of a Crises

1992-Regulation Costs: $ 400 billion 2001-Regulation Costs: $ 843 billion 2005-Regulation Costs: $ 1.1 trillion 2008- Regulation Costs: $1.75 trillion

These costs do not include: Obamacare Dodd/Frank financial “reform” Recent EPA Regulations

Total regulatory compliance and economic impacts are over $ 1.863 trillion dollars per year

Page 24: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Regulatory Costs cont.

2008 Regulatory Costs – nearly twice as much as all individual income taxes collected 2009 Americans paid $ 989 billion in income taxes 2012 income taxes – Over $ 1.1 trillion Through April, 2014 – Highest income tax receipts

ever in history of U.S. $ 1.4 trillion Income tax rate must be disclosed No similar requirement for costs of regulations

Unless have an “impact” of $ 100,000,000.00 or more (defined as “economically significant”)

Page 25: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Regulatory Costs cont.

The estimated cost of regulation exceeds half the level of the federal budget itself.

Regulatory costs of $ 1.863 trillion amount to 11.1% of the U.S. GDP (which was $ 16.797 trillion in 2013).

In absolute terms, the U.S. Gov’t is the largest government on planet earth.

Regulations and deficits each exceed $ 1 trillion per year.

Page 26: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Regulatory Costs, cont.

Regulatory costs exceed all 2013 est. corporate income tax revenues of $ 288 billion (was $ 237 billion in 2011), and approach corporate pretax profits of $ 2.19 trillion.

Regulatory costs exceed individual income taxes of $1.4 trillion

Combined with $ 3,454 trillion of federal spending, Washington, D.C.’s share of the economy now reaches 31%

If it were a country, U.S. regulations would be the 10th largest economy, ranked b/w India and Italy

Page 27: Harriet M. Hageman Hageman Law P.C. June 26, 2014

The Year 2013: A Snapshot

Of the 4,062 regulations adopted and/or proposed, 224 are “economically significant” (impacts exceed $100,000,000).

854 affect small businesses The 13 most expensive are estimated to cost the

U.S. economy $ 515 billion. Sen. Rob Portman (R-Ohio): “Those delayed rules,

together with more than 130 unfinished mandates under the 2010 Dodd-Frank financial law, could significantly increase the regulatory drag on our economy in 2013.”

Page 28: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Regulatory Costs

Regulatory costs amount to an average of $14,974 per household – 23% of the average household income of $65,596. This exceeds every item of the household budget

except for housing. Small businesses pay more per employee

regulatory costs. Firms with fewer than 20 employees pay an

average of $ 10,585 per employee; Firms with more than 500 employees pay an

average of $ 7,755 per employee.

Page 29: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Regulatory Costs – Future Costs of Current Agenda This Administration has averaged 81 major

regulations each year from 2009 to 2013 Of the 4,062 rules proposed for 2013, 224 were

identified as “economically significant,” imposing annual costs of at least $100,000,000

Of the 3,305 rules in the pipeline now, 191 are economically significant – potential of $19 billion in future off-budget regulatory effects

House of Representatives has passed almost 40 bills to control regulatory expansion; Senate has refused to hear them.

Page 30: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Six Most Active Rulemaking Agencies in 2013 Department of Treasury Commerce Department of Interior Health and Human Services Department of Transportation Environmental Protection Agency (finalized EPA

regulations up by 44% in Obama’s first term) They account for 49% of all federal rules

Page 31: Harriet M. Hageman Hageman Law P.C. June 26, 2014

EPA Regulation of Carbon

Destroy 1.4 million U.S. jobs and cost the economy up to $141 billion by 2014

200,000 American manufacturers could lose their jobs

2015 to 2026 average annual impact of carbon regulation would be more than 500,000 jobs, and by 2029 the total economy-wide cost would be close to $7 trillion (roughly ½ of America’s current GDP)

Page 32: Harriet M. Hageman Hageman Law P.C. June 26, 2014

EPA Regulation of Carbon – Wyoming Effects By the year 2020, average annual household income

would decline by b/w $ 894 to $2898 By the year 2030, average annual household income

would decline by b/w $ 3678 and $6707 Wyoming would stand to lose b/w 2,000 and 3,000

jobs by 2020 Wyoming would stand to lose b/w 6,000 and 8,000

jobs by 2030 States GDP would decline by as much as $ 1.4

billion/year

Page 33: Harriet M. Hageman Hageman Law P.C. June 26, 2014

EPA Regulation of Carbon

“No significant impact on reducing global GHG emission growth” (American Council for Capital Formation)

Page 34: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Obama’s Executive Order on Regulations Announced in January, 2011: “A government-wide

review of the rules already on the books to remove outdated regs that stifle job creation and make our economy less competitive.”

By Nov., 2011, 508 new rules deemed “significant” – impact in excess of $ 100 million each (minimum impact: $50.8 billion)

By December 2, 2011, 760 new rules deemed “significant” (minimum impact: $ 76 billion)

Page 35: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Regulatory Burden 2011 – A Summary Pages of regulations published in the Federal

Register (2011) 53,630 as of 9/10/11 67,036 as of 10/31/11 70,320 as of 11/17/11 75,770 as of 12/2/11

Million hours of annual paperwork burden 65.1 million hours as of 9/10/11 88.2 million hours as of 10/31/11 116.3 million hours as of 11/17/11 119.4 million hours as of 12/2/11

Page 36: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Regulatory Burden – January 27, 2012 374 days since Executive Order on

Regulations 0 economically significant rules repealed so far

(in the last year) 44 Rules deemed “significant” $ 7.7 Billion – cost of regulatory burdens from

new rules in first 27 days of 2012 4456 pages in the Federal Register so far 25.3 million hours of annual paperwork burden

Page 37: Harriet M. Hageman Hageman Law P.C. June 26, 2014

February 16, 2012 - EPA

The EPA published the Utility MACT (Maximum Achievable Control Technology) rule on Thursday, February 16, 2012. EPA estimates the costs of Utility MACT to be $9.6 billion The cost of the rule exceeds the benefits

by between 1,600 and 19,200 to 1. According to the EPA: It is “its most

expensive rule ever.”

Page 38: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Electrical Rates to Skyrocket

2015 Capacity Auction (occurred in May, 2012) $ 136 per megawatt

8 times higher than the price for 2012 ($ 16 per megawatt)

Mid-Atlantic Region - $ 167 per megawatt Northern Ohio - $ 357 per megawatt

According to PJM Interconnection (electric grid operator for 13 States): “Capacity prices were higher than last year’s because of retirement of existing coal-fired generation resulting largely from environmental regulations which go into effect in 2015.”

These are not estimates, projections or computer models; they are actual prices that electrical distributors have agreed to pay.

Page 39: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Europe’s Folly – Why follow such nonsense? Opportunity cost for the UK’s subsidy system

for renewables estimated to be 10,000 jobs b/w 2009 and 2010

Planned offshore wind farm estimated to cost $8972 per household Cost of conventional energy – 5% of that

amount ($ 448.60) Spain’s subsidies for renewable energy

(which increased 5-fold b/w 2004 and 2010) led to the loss of 110,500 jobs

Page 40: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Regulatory Burden – April 27, 2012 465 days since President’s Executive Order 0 Rules repealed up to that point 257 Rules deemed “significant” (minimum

impact $25,700,000,000) 25348 Pages in the Federal Register 85.9 million hours of annual paperwork

burden

Page 41: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Regulatory Burden – June 22, 2012

521 days since President’s Executive Order 1 rule repealed – spilled milk is no longer

considered an “oil spill.” 4 economically significant rules repealed in

2012 (1 ½ years after the announcement) 358 Rules deemed “significant” (minimum

impact of $35.8 billion) 37750 Pages in the Federal Register 108.3 million hours of annual paperwork

burden

Page 42: Harriet M. Hageman Hageman Law P.C. June 26, 2014

April 9, 2013 Headline – Finally!!

“Government slashes red tape with repeal of more than one thousand regulations.” “Unnecessary regulation causes frustration

and imposes costs on business, the community and individuals,” said Attorney-General Mark Dreyfus

“The regulations removed by this instrument form part of the more than 12,000 regulations the Government will be repealing this year.”

Page 43: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Press release issued by …..

The Attorney General for Australia

Page 44: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Federal Register – Just a Glance

2013 Federal Register: 79,311 pages (the fourth highest level in history) Federal Register pages devoted solely to final

rules in 2013: 26,417 -- a record high (24,690 pages in 2012)

2012 Federal Register: 78,961 pages 2010 Federal Register: 81,405 pages (the all-

time high) 2011 Federal Register: 81,247 pages

Page 45: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Costs of Overregulation – Not Just Monetary Destruction of our National Forests

2001 Roadless Rule GAO Reports

Risk of catastrophic forest fires Risk of beetle outbreak

Routt National Forest – ground zero Selective Enforcement

Dept. of Labor’s effort to ban anyone under 16 from working on farms/ranches

EPA clean water act actions (ignoring exemptions to 404 permitting requirements)

Page 46: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Real Crisis – remains largely unrecognized Regulatory burden at local, state and federal

level Regulatory burdens are creating “fuel poverty”

Destroying our economic freedoms and the ability for our next generation to prosper

Our ability to protect our environment is dependent upon our economic prosperity

If we destroy our economy we cannot educate our young people, provide necessary services, etc.

Page 47: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Balanced Approach is Critical

When the government directs its resources to doing things it should not be doing, it becomes incapable of doing those things that it should

A government that is closest to the governed is more responsive and accountable to the people that it was established to serve Converse is also true Regulation w/out representation cannot work

Page 48: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Solutions – Some Ideas

There must be an immediate moratorium placed on new regulations

There must a comprehensive analysis of the ones already on the books

Regulations must clearly state that the statutory language controls

Regulations and the regulatory process must be simplified

Page 49: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Additional Solutions

Congress and State Legislatures must prevent “legislative malpractice” Do not delegate entire authority for lawmaking to

the agencies

Reverse the “top down approach” that we have been moving towards since the new deal President and Congress must be willing to

return power to the States Concentrating power in Washington D.C. does

not and cannot work

Page 50: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Additional Solutions

Change the timing of when regulations are drafted and become effective

Ensure Congressional and Legislative oversight for proposed regulations (mandatory review before they become effective)

Require Congressional/Legislative approval before any regulation costing in excess of $_______ be implemented

NEVER PAY A REGULATOR BY THE HOUR

Page 51: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Additional Solutions

Mandatory sunsets

Small entities must be regulated differently

Individual accountability must replace bureaucratic micromanagementWe must trust our fellow men and

women

Page 52: Harriet M. Hageman Hageman Law P.C. June 26, 2014

EPA Specific Solutions

Abolish “administrative courts” Prohibit EPA from seizing or destroying

private property Rules and Regs, and “Guidance” documents

must be completely rewritten and simplified Must be barred from regulating CO2 Penalties must be dramatically reduced Agency’s extra-constitutional activities must

be barred

Page 53: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Congressional Accountability

Make Congress directly answerable to the voters for the costs that agencies impose on the public.

Congress should vote on agencies’ final rules before they become binding on the public.

Pass the REINS Act (H.R. 367) Requires Congress to pass and the President

to sign a joint resolution of approval before a new major regulation issued by an agency may take effect.

Page 54: Harriet M. Hageman Hageman Law P.C. June 26, 2014

What can you do?

We must develop and implement a Legislative and Congressional Solution State Legislators must fix this at the State

level Congress must fix this at the Federal level

Participate in the process – have your voices heard – you cannot rely upon “someone else” to fight these battles

Page 55: Harriet M. Hageman Hageman Law P.C. June 26, 2014

Wyoming Resource Alliance and Colorado Resource Alliance What is it? Why did we create? Our Goals:

To increase participation in the federal and state regulatory process

To disclose what is happening in this Country To educate the public on what regulations are,

their impact, and the manner in which they undermine our Republic and our entire structure of Government

Page 56: Harriet M. Hageman Hageman Law P.C. June 26, 2014

QUESTIONS OR COMMENTS?

Harriet M. Hageman Hageman Law P.C. 222 East 21st Street Cheyenne, Wyoming 82001 (307) 635-4888 [email protected]