Seyfarth Synopsis: This is the fourth installment in a series of recommendations to the Biden Administration on immigration reform previously published by the Cato Institute in "Deregulating Legal Immigration: A Blueprint for Agency Action." Read the first , second , and third installments here. A total of five installments will be published. Please stay tuned for the final update. Prohibit Regulatory Actions on USCIS Forms
USCIS should amend its regulations to stop automatically incorporating all form instruction changes into its regulations, bypassing notice and public comment procedures.
USCIS requires employers and applicants for immigration benefits to use forms that […]