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Is There Actually an Error in the Supreme Court's Analysis in Loper Bright?On Thursday, I noted an interesting footnote in Senior Circuit Judge Ray Randolph's dissent in Hospital Menonita de Guayama v. NLRB (an interesting decision in its own right), suggesting that the Supreme Court's decision ending Chevron deference in Loper Bright Enterprises v. Raimando failed to account for the fact that Chevron had not been an APA case, but was rather governed by the judicial review provisions of the Clean Air Act. But is this so? An astute reader pointed me to another footnote--this one from a law review article by Professor John Duffy--suggesting that at the time Chevron v. NRDC was decided, the issue from the Court was, in fact, governed by the APA. In FN19, Professor Duffy writes:
So perhaps Judge Randolph spoke too soon. This is an interesting dispute, but it does not have much bearing on Loper Bright Enterprises. Judge Randolph's point was raised by the petitioners (see, e.g,, the oral argument transcript at p. 87), and the substance of judicial review under 42 U.S.C. § 7607 is not materially different from that under APA § 706 (though there are important procedural differences for rulemakings). While Chevron made no reference to the APA, the Chevron doctrine was understood to apply to APA cases, so whether the doctrine comports with the APA mattered--a point Judge Randolph concedes. The Court's decision in Loper Bright rejected the Chevron methodology--in particular the requirement that courts defer to reasonable agency interpretations of ambiguous statutory language--not its interpretation of the Clean Air Act or its conclusion that the EPA regulation at issue was permissible. The post Is There Actually an Error in the Supreme Court's Analysis in Loper Bright? appeared first on Reason.com. |
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