Chevron’s Lack of Statutory Support
“If you had to distill the Chevron doctrine to nine words, I do not think you could do better than: ‘When I am confused, I go with the agency.'”
Chevron Undermines Checks and Balances
It is time to reconsider the extent to which we apply Chevron.
Is it Time to Reconsider Chevron Deference?
The Regulatory Review proudly features the remarks of Ann R. Klee, keynote speaker at the Penn Program on Regulation’s annual dinner.
Are IRS Revenue Rulings Eligible for Chevron Review?
Pending Supreme Court tax case raises key statutory interpretation issue.
Reconciling Brown v. Gardner and Chevron
How to fix a statutory interpretation anomaly arising in veterans’ law cases.