In addition to criticizing the initial RIA for virtually ignoring the intangible and non-monetary benefits associated with accessible courtrooms, these commenters frequently cited the Supreme...
Search Results "Preliminary RIA (Regulatory Impact Analysis)"
-
Attorney areas and witness stands. (Section-by-Section Analysis)
-
Specialized Customer Premises Equipment (Section-by-Section Analysis)
Specialized Customer Premises Equipment (Section-by-Section Analysis) Section 255(d) of the Telecommunications Act requires that whenever it is not readily achievable to make a product...
-
28 CFR Part 36 Nondiscrimination on the Basis of Disability by Public Accommodations and in Commercial Facilities NPRM (2008 Title III NPRM)
and requirements issued by the Architectural and Transportation Barriers Compliance Board" (Access Board); and perform periodic reviews of any rule judged to have a significant economic impact...
-
Sports Toto: A Practical Playbook for Smarter Participation
framework should include: Team form over several recent matches (look for patterns, not streaks alone) Head-to-head history, especially stylistic matchups Injury or suspension impact...
-
Sections 35.108(d)(1)(ii) and 36.105(d)(1)(ii)—Primary Object of ADA Cases
whether entities covered under the ADA have complied with the obligations and to convey that the question of whether an individuals’ impairment is a disability should not demand extensive analysis...
-
Section 36.406(f) Assembly Areas (Section-by-Section Analysis)
Section 36.406(f) Assembly Areas (Section-by-Section Analysis) In the NPRM, the Department proposed Sec. 36.406(f) to supplement the assembly area requirements of the 2004 ADAAG, which...
-
Section 35.151(g) Assembly areas (Section-by-Section Analysis)
Section 35.151(g) Assembly areas (Section-by-Section Analysis) In the NPRM, the Department proposed § 35.151(g) to supplement the assembly area requirements of the 2004 ADAAG, which the...
-
12114(c)(5)(B)
(B) employees comply with the standards established in such regulations of the Nuclear Regulatory Commission, if the employees of the covered entity are employed in an industry subject to...
-
12114(c)(5)(B)
(B) employees comply with the standards established in such regulations of the Nuclear Regulatory Commission, if the employees of the covered entity are employed in an industry subject to...
-
Section 35.160 Communications. (Section-by-Section Analysis)
(Section-by-Section Analysis) Section 35.160 of the 1991 title II regulation requires a public entity to take appropriate steps to ensure that communications with applicants, participants...
-
Costs to Provide Accessible Pedestrian Signals and Pedestrian Pushbuttons (Section-by-Section Analysis)
Costs to Provide Accessible Pedestrian Signals and Pedestrian Pushbuttons (Section-by-Section Analysis) The Volpe Center estimated the additional cost for an accessible pedestrian pushbutton...
-
§35.107 Designation of responsible employee and adoption of grievance procedures (Section-by-Section Analysis)
(Section-by-Section Analysis) Consistent with §35.105, Self-evaluation, the final rule requires that public entities with 50 or more employees designate a responsible employee and adopt...
-
Section 36.306 Personal Devices and Services (Section-By-Section Analysis and Response to Comments)
Section 36.306 Personal Devices and Services (Section-By-Section Analysis and Response to Comments) The final rule includes a new Sec.36.306, entitled "Personal devices and services.'...
-
Section 36.405 Alterations: Historic Preservation (Section-By-Section Analysis and Response to Comments)
Section 36.405 Alterations: Historic Preservation (Section-By-Section Analysis and Response to Comments) Section 36.405 gives effect to the intent of Congress, expressed in section 504...
-
Separate “individual with a disability” and “qualified individual”
of disability discrimination is properly on the critical inquiry of whether a qualified person has been discriminated against on the basis of disability, and not unduly focused on the preliminary...
-
Paragraph (h) Non-interference with hearing technologies (Section-by-Section Analysis)
Paragraph (h) Non-interference with hearing technologies (Section-by-Section Analysis) Comment. Persons with hearing impairments uniformly supported this provision....
-
Capability to Operate Captioning and Audio Description Equipment (Section-by-Section Analysis)
Capability to Operate Captioning and Audio Description Equipment (Section-by-Section Analysis) The Department received a significant number of comments from individuals with disabilities...
-
Section 36.206 Retaliation or Coercion (Section-By-Section Analysis and Response to Comments)
Section 36.206 Retaliation or Coercion (Section-By-Section Analysis and Response to Comments) Section 36.206 implements section 503 of the ADA, which prohibits retaliation against any...
-
SUPPLEMENTARY INFORMATION:
Statutory and Regulatory Background 4. Changes Made to the Proposed Rule 5. Discussion of Scoping and Technical Requirements 6....
-
General Issues
Individual provisions of the rule are discussed in detail under the Section-by-Section Analysis below....
-
Section 36.307 Accessible or Special Goods (Section-By-Section Analysis and Response to Comments)
Section 36.307 Accessible or Special Goods (Section-By-Section Analysis and Response to Comments) Section 36.307 establishes that the rule does not require a public accommodation to alter...
-
Section 9, Accessible Transient Lodging (Section-By-Section Analysis and Response to Comments)
- Section 9, Accessible Transient Lodging (Section-By-Section Analysis and Response to Comments) Section 9 addresses two types of transient lodging: hotels, motels, inns, boarding houses...
-
Personalized Funding Solutions: A Criteria-Based Review of What Actually Holds Up
Regulatory Awareness and Disclosure Standards Personalized funding operates within evolving compliance landscapes. That context matters....
-
Organization of This Rule
The section entitled ‘‘Section-by-Section Analysis and Response to Comments'' in Appendix A provides a detailed discussion of the changes to the title II regulation....