Title: Small Business and the SBA Office of Advocacy
1Small Business and the SBA Office of Advocacy
An Overview
- Bruce Lundegren
- Assistant Chief Counsel
- Office of Advocacy
- U.S. Small Business Administration
- (202) 205-6144
- bruce.lundegren_at_sba.gov
2Overview of Presentation
- The SBA Office of Advocacy The Federal Watchdog
for Small Business - The Impact of Small Business on the Economy
- Overview of the Regulatory Process
(Administrative Procedure Act and Executive Order
12866) - The Regulatory Flexibility Act
- The Small Business Regulatory Enforcement
Fairness Act (SBREFA) of 1996 - Executive Order 13272
- OSHAs Regulatory Agenda Whats on the Horizon?
3SBA Office of Advocacy The Federal Watchdog for
Small Business
- Created in 1976 as an independent voice for small
business - Headed by the Chief Counsel for Advocacy
- Oversee agency compliance with the Regulatory
Flexibility Act (1980) - requires federal agencies to assess the impact of
their regulations on small business and consider
less burdensome alternatives - Added small business consideration to the
rulemaking process - Agencies prepare IRFA and FRFA (or certify)
4The Impact of Small Business on the Economy
- Small businesses are the key to the nations well
being - Firm with fewer than 500 employees
- Represent 99.7 percent of all employer firms
- Employ about half of all private sector employees
- Pay 43 percent of total U.S. private payroll
- Have generated 65 percent of all net new jobs
over the past 17 years
5The Impact of Small Business on the Economy
- In 2008, there were 27.3 million total small
businesses - Of these, 6 million were employers
- Accounted for 49.6 percent of U.S. private sector
jobs - In 2009, real GDP growth in U.S. increased by 0.7
percent, while private sector employment
decreased by 5.5 percent
6The Impact of Small Business on the Economy
- Business ownership is becoming more inclusive in
the U.S - Minority-owned businesses numbered 5.8 million in
2007, and increase of 45.6 percent over 2002 - Woman-owned businesses totaled 7.8 million in
2007, a 20.1 percent increase since 2002 - Businesses showed signs of stability and
improvement over 2009
7The Cost of Regulation the Burden on Small
Business
- Study by Nicole and Mark Crain shows annual cost
of regulations 1.75 trillion (2008) - Disproportionate impact on small business
- Per Employee 10,585 lt 20 employees v. 7,755
500 employees (36 percent more) - Economic 4,120 lt 20 v. 5,835 500
- Environment 4,101 lt 20 v. 883 500
- Tax 800 lt 20 v. 517 500
- OSHA Homeland Security 610 lt 20 v. 520
500
8An Overview of the Regulatory Process
- The Basic Framework The Administrative
Procedure Act - Requires federal agencies to publish proposed
rules for public comment (notice and comment
rulemaking) - Great deference is given to federal agency
decisions - Courts overturn only if arbitrary and
capricious - Has been changed by Executive Order and RFA
requirements - OSHA rules must address significant risk and be
technologically and economically feasible
9White House Review of Regulations OIRA and
Executive Order 12866
- White House (centralized) review of agency rules
began in the Nixon administration and have become
increasingly sophisticated - President Reagan first required formal
cost-benefit analysis in 1981 - Current manifestation is Executive Order 12866,
signed by President Clinton in 1993 (remains in
effect) - Applies to significant regulatory actions (gt 100
million) - Requires agencies to prepare a regulatory impact
analysis - assess aggregate costs and benefits, consider
feasible alternatives, avoid duplication, choose
the most cost-effective alternative
10White House Review of Regulations (Continued)
- Centralized review conducted by OMBs Office of
Information and Regulatory Affairs (OIRA) - OIRA Administrator is Cass Sunstein
- Meets with interested stakeholders
- President Obama issued Executive Order 13563
(supplements and reaffirms EO 12866
retrospective review of regulations) - OIRA also established government-wide standards
for Information Quality, Peer Review, Risk
Assessment, and the use of Guidance Documents
11Regulatory Flexibility Act of 1980
- Applies to rules that must undergo notice and
comment rulemaking under the APA or any other
statute - Agencies must determine whether the rule, if
promulgated, would have a significant economic
impact on a substantial number of small
entities - Small entities include small businesses, small
non-profits, and small governmental jurisdictions
12Regulatory Flexibility Act (Continued)
- Threshold Question Will the rule, if
promulgated, would have a significant economic
impact on a substantial number of small
entities? - If no, agency head may so certify and no
further analysis is required - If yes, agency must prepare and publish for
comment an Initial Regulatory Flexibility
Analysis (IRFA)
13Initial Regulatory Flexibility Analysis (IRFA)
- Reason action is being taken
- Objectives of the proposed rule
- Description and estimate of the number of small
entities impacted - Estimated compliance requirements
- Duplicative, overlapping, or conflicting rules
- Significant alternatives considered (e.g.,
different compliance or reporting requirements,
simplification, performance standards, exemption,
etc.)
14Final Regulatory Flexibility Analysis (IRFA)
- Need for and objectives of the rule
- Description and estimate of the number of small
entities impacted - Issues raised by public comment
- Assessment of those issues and changes made to
proposed rule as a result - Steps the agency has taken to minimize impacts on
small entities (consistent with objectives) or
why alternatives were not selected
15RFA (Some Other Issues)
- Use SBA Small Business Size Standard
- Direct v. Indirect Impacts
- RFA is procedural, not substantive
- Final action subject to judicial review
- Advocacy can file amicus curie briefs
16Small Business Regulatory Enforcement Fairness
Act of 1996 (SBREFA)
- OSHA, EPA (and now the CFPB within the Federal
Reserve) must convene Small Business Advocacy
Review (SBAR) Panels before proposing certain
rules - Agencies must issue compliance guides for small
business - Allows for judicial review of agency compliance
17Executive Order 13272
- Strengthened the RFA by
- requiring agencies to issue RFA compliance
policies - notify Advocacy of upcoming rules
- address Advocacys comments with specificity
- Requires Advocacy to
- Issue RFA compliance guide
- train agencies on RFA compliance
- Report to Congress and OMB
18SBA Office of Advocacy
- Cost savings from 2002 - 2008 over 50 billion
- Legislative Priorities
- Review existing regulations - 610 - allow public
petitions - Improve SBREFA process - 120 days
- Consider indirect impacts - reasonably
foreseeable effects
19OSHAs Regulatory Agenda Whats on the Horizon?
- Injury and Illness Prevention Program (I2P2)
- Review/Look-back of OSHA Chemical Standards
- Occupational Exposure to Crystalline Silica
- Improve Tracking of Workplace Injuries and
Illnesses - Cooperative Agreements
- Hazard Communication (GHS)
- Combustible Dust
- Injury and Illness Recording and Reporting
Requirements - Musculoskeletal Disorders (MSD)
Column
20MSHAs Regulatory Agenda Whats on the Horizon?
- Respirable Crystalline Silica
- Notification of Legal Identity
- Proximity Detection Systems for Mobile Machines
in Underground Mines - Proximity Detection Systems for Continuous Mining
Machines in Underground Mines - Patterns of Violations
21Thank you!
- Questions/Comments/Discussion?
- Contact Info
- Bruce Lundegren
- Assistant Chief Counsel
- Office of Advocacy
- U.S. Small Business Administration
- (202) 205-6144
- bruce.lundegren_at_sba.gov