407.3 Tactilely Discernible (Section-by-Section Analysis) This section proposes to require that at least one tactilely discernible input control conforming to the requirements of this...
Search Results "Regulatory Impact Analysis"
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407.3 Tactilely Discernible (Section-by-Section Analysis)
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402.1 General (Section-by-Section Analysis)
402.1 General (Section-by-Section Analysis) This section proposes to require ICT with closed functionality to be operable without requiring the user to attach or install assistive technology...
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Section 35.136 Service animals. (Section-by-Section Analysis)
(Section-by-Section Analysis) The 1991 title II regulation states that ‘‘[a] public entity shall make reasonable modifications in policies, practices, or procedures when the modifications...
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Costs to Provide Detectable Warning Surfaces on Curb Ramps (Section-by-Section Analysis)
Costs to Provide Detectable Warning Surfaces on Curb Ramps (Section-by-Section Analysis) Detectable warning surfaces are available in a variety of materials....
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Comments from Individuals Who Are Blind or Have Low Vision (Section-by-Section Analysis)
Comments from Individuals Who Are Blind or Have Low Vision (Section-by-Section Analysis) The National Federation of the Blind was a member of the advisory committee that recommended the...
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Section 36.102 Application (Preamble, Section-by-Section Analysis)
This distinction is drawn in recognition of the fact that a private entity that meets the regulatory definition of public accommodation could also own, lease or lease to, or operate facilities...
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Section 4.1.6, Alterations (Section-By-Section Analysis and Response to Comments)
- Section 4.1.6, Alterations (Section-By-Section Analysis and Response to Comments) An alteration is a change to a building or facility that affects or could affect the usability of or...
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Surfaces (R302.7) (Section-by-Section Analysis)
Surfaces (R302.7) (Section-by-Section Analysis) The proposed technical requirements for surfaces apply to pedestrian access routes, including curb ramps and blended transitions, and accessible...
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"Existing Facility" (Section-by-Section Analysis)
‘‘Existing Facility'' (Section-by-Section Analysis) The 1991 title III regulation provided definitions for ‘‘new construction'' at § 36.401(a) and ‘‘alterations'' at § 36.402(b)....
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"Existing Facility" (Section-by-Section Analysis)
‘‘Existing Facility’’ (Section-by-Section Analysis) The 1991 title II regulation provided definitions for ‘‘new construction’’ at § 35.151(a) and ‘‘alterations’’ at § 35.151(b)....
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Section 1630.2(j)(1)(v) Scientific, Medical, or Statistical Analysis Not Required, But Permissible When Appropriate
Section 1630.2(j)(1)(v) Scientific, Medical, or Statistical Analysis Not Required, But Permissible When Appropriate Section 1630.2(j)(1)(v) states: “The comparison of an individual's...
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Governmental Units Affected (R208 Detectable Warning Surfaces) (Section-by-Section Analysis)
Governmental Units Affected (Section-by-Section Analysis) State and local transportation departments are divided into four groups for the purpose of evaluating the impacts of the requirement...
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Definition of "other power-driven mobility device." (Section-by-Section Analysis)
and other power-driven mobility devices, noting that the Segway® PT should be accommodated in most circumstances because it satisfies the safety and environmental elements of the policy analysis...
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Section 1630.2(j)(1)(iii) Substantial Limitation Should Not Be Primary Object of Attention; Extensive Analysis Not Needed
Section 1630.2(j)(1)(iii) Substantial Limitation Should Not Be Primary Object of Attention; Extensive Analysis Not Needed Section 1630.2(j)(1)(iii) states: “The primary object of attention...
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Section 35.151(b)(3) Alterations to historic facilities (Section-by-Section Analysis)
Section 35.151(b)(3) Alterations to historic facilities (Section-by-Section Analysis) The final rule renumbers the requirements for alterations to historic facilities enumerated in current...
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Durability and Maintenance of Detectable Warning Surfaces (Section-by-Section Analysis)
Durability and Maintenance of Detectable Warning Surfaces (Section-by-Section Analysis) Transportation officials who commented on the 2002 draft guidelines expressed concern about the...
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Section 4.1.1, Application (Section-By-Section Analysis and Response to Comments)
- Section 4.1.1, Application (Section-By-Section Analysis and Response to Comments) Section 4 contains scoping requirements....
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Section 4.1.5, Additions (Section-By-Section Analysis and Response to Comments)
- Section 4.1.5, Additions (Section-By-Section Analysis and Response to Comments) Each addition to an existing building or facility is regarded as an alteration subject to Sec..36.402...
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Section 1194.5 Equivalent facilitation (Preamble, Section-by-Section Analysis)
(Preamble, Section-by-Section Analysis) This section allows the use of designs or technologies as alternatives to those prescribed in this part provided that they result in substantially...
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Section 35.151(d) Scope of coverage (Section-by-Section Analysis)
Section 35.151(d) Scope of coverage (Section-by-Section Analysis) In the NPRM, the Department proposed a new provision, § 35.151(d), to clarify that the requirements established by §...
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§35.133 Maintenance of accessible features (Section-by-Section Analysis)
§35.133 Maintenance of accessible features (Section-by-Section Analysis) Section 35.133 provides that a public entity shall maintain in operable working condition those features of facilities...
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410.8 Video Communication (Section-by-Section Analysis)
410.8 Video Communication (Section-by-Section Analysis) This section proposes that ICT with real-time video functionality must ensure that the quality of the video is sufficient to support...
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Section 35.151(b) Alterations (Section-by-Section Analysis)
Section 35.151(b) Alterations (Section-by-Section Analysis) The 1991 title II regulation does not contain any specific regulatory language comparable to the 1991 title III regulation...
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Compliance date. (Section-by-Section Analysis)
One of these commenters expressed concern that the kinds of bureaucratic organizations subject to the title II regulations lack the internal resources to quickly evaluate the regulatory...