The Financial CHOICE Act is a market-based, common sense reform proposal that will peel back the most onerous Dodd-Frank regulatory layers. The legislation begins with a conservative consensus of eliminating the most damaging provisions of Dodd-Frank, explicitly reforming the Consumer Financial Protection Bureau (CFPB) and repealing the Durbin Amendment: Coalition Letter in Support of The Financial CHOICE Act of 2017
Though discussed for many years, it is only in the last decade that regulatory impacts have been seen by the mainstream political establishment as a driving factor in the health of the US economy—impacting our jobs, our competitiveness, and a host of other societal concerns (including the vitality of the middle class). 10 Regulatory Recommendations for the Trump Admin are some of the Institute for Liberty’s recommendations on the issue, and we offer them with one important caveat: There are no silver bullets when it comes to reducing regulatory costs! Regulatory costs have grown steadily since 1970 (though those costs have accelerated since 2007), and while many focus on so-called “major rules” (costing the economy $100 million or more annually), the bulk of regulatory burdens come from the cumulative effect of much-smaller mandates. Evidence shows that by even making modest changes in regulatory costs, massive economic gains can be had. But regardless of whether these changes are minor or major, regulatory reform must be an essential element of the incoming administration’s economic policies if they want to jump-start the economy and put Americans back to work.
These recommendations cover a wide range of tools that the incoming administration can utilize to have a fundamental impact on the regulatory state.