The petitions of the day are:


Issue: Whether a federal agency must engage in notice-and-comment rulemaking pursuant to the Administrative Procedure Act before it can significantly alter an interpretive rule that articulates an interpretation of an agency regulation.


Issue: Whether agencies subject to the Administrative Procedure Act are categorically prohibited from revising their interpretative rules unless such revisions are made through notice-and-comment rulemaking.

Posted in Perez v. Mortgage Bankers Association, Nickols v. Mortgage Bankers Association, Cases in the Pipeline

Recommended Citation: Maureen Johnston, Petitions of the day, SCOTUSblog (Jun. 4, 2014, 10:10 PM),