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PA Bulletin, Doc. No. 99-1108

NOTICES

INDEPENDENT REGULATORY REVIEW COMMISSION

Notice of Comments Issued

[29 Pa.B. 3682]

   Section 5(g) of the Regulatory Review Act (71 P. S. § 745.5(g)) provides that the designated standing committees may issue comments within 20 days of the close of the public comment period, and the Independent Regulatory Review Commission (Commission) may issue comments within 10 days of the close of the committee comment period. The Commission comments are based upon the criteria contained in section 5a(h) and (i) of the Regulatory Review Act (75 P. S. § 745.5a(h) and (i)).

   The Commission has issued comments on the following proposed regulations. The agency must consider these comments in preparing the final-form regulations. The final-form regulations must be submitted by the dates indicated.

Final-Form
Submission
Reg No.Agency/TitleIssued Deadline
16A-636State Board of Psy-   chology Application    Fees6/24/99 5/24/01
(29 Pa. B. 2145 (April 24, 1999))

State Board of Psychology Regulation No. 16A-636

Application Fees

June 24, 1999

   We have reviewed this proposed regulation from the State Board of Psychology (Board) and submit for consideration the following objections and recommendations. Section 5.1(h) and (i) of the Regulatory Review Act (71 P. S. § 745.5a(h) and (i)) specify the criteria the Commission must employ to determine whether a regulation is in the public interest. In applying these criteria, our Comments address issues that relate to fiscal impact and clarity. We recommend that these Comments be carefully considered as you prepare the final-form regulations.

1.  Section 41.12. Fees--Fiscal Impact and Clarity.

Administrative overhead costs

   In the proposed regulation's fee report forms, there are significant differences in the costs covered by different fees except for ''administrative overhead'' costs. The overhead costs for three of the proposed fee revisions are identical; and the overhead costs for the remaining two fee revisions are also identical. According to staff at the Department of State and its Bureau of Professional and Occupational Affairs (BPOA), the allocated share of overhead cost for each fee category is calculated by dividing total overhead costs by the number of active licensees. This methodology for overhead cost allocation is not unreasonable and has been consistently applied. On the other hand, the staff cost allocations are based on estimates of the actual time BPOA staff spends performing the tasks related to each fee.

   For overhead cost allocations, there appears to be no relationship to the services covered by the fees or frequency of fee payments. Therefore, there is no indication that the fees will recover actual or projected overhead costs. In addition, the allocated costs are based on past expenditures rather than estimates or projections of future expenditures. Hence, there is no certainty that the fees' ''projected revenues will meet or exceed projected expenditures'' under section 3.3(a) of the Professional Psychologists Practice Act (63 P. S. § 1203.3(a)).

   We question the use of a constant overhead cost allocation that appears to be unrelated to the actual costs of activities covered by different fees. Even though this process was used to determine other fees, why should BPOA maintain this approach? The Board and BPOA should specifically identify the overhead costs, or portion of the total overhead, to be recouped by these fees, and review their methodology for allocating these overhead costs. Is it the Board's goal to allocate all overhead costs by category to each fee? If so, we do not believe the current allocation formula gives the desired result.

Similarity in tasks

   The Board's staff time and administrative costs for the verification of license or registration as outlined in the fee report form are 0.08/hour and $1.62, respectively. The staff time and administrative costs for the certification of scores, license or registration outlined in the fee report form are 0.75/hour and $15.23, respectively. Yet the descriptions of the administrative functions the Board staff performs for both are identical. The Board should explain the cost and time differentials when it submits its final-form rulemaking.

JOHN R. MCGINLEY, Jr.,   
Chairperson

[Pa.B. Doc. No. 99-1108. Filed for public inspection July 9, 1999, 9:00 a.m.]



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