Section 227.14 (1) of the statutes requires agencies to prepare administrative rules adhering substantially to the form and style used by the legislative reference bureau in preparation of bill drafts and the form and style specified in the manual prepared by the legislative council staff and the legislative reference bureau under s. 227.15 (7). To the greatest extent possible, agencies shall prepare rules in plain language that can be easily understood.
Section 13.92 of the statutes requires bills to omit language that discriminates on the basis of sex, including avoiding the use of any masculine or feminine pronoun or adjective, except where the statute clearly applies to one sex only, in favor of terminology that does not discriminate on the basis of sex.
The Wisconsin Bill Drafting Manual 2019-20 used by the legislative reference bureau in the preparation of bill drafts requires the use of gender-neutral terms and, further, says if a question of style, grammar, or usage is not answered in the Drafting Manual, consult The Chicago Manual of Style.
The Administrative Rules Procedures Manual prepared by the legislative council staff requires the use of sex-neutral terms.
5. Estimate of amount of time that state employees will spend developing the rule and of other resources necessary to develop the rule:
200 hours.
6. List with description of all entities that may be affected by the proposed rule:
This rulemaking is intended to accomplish only terminology changes in existing rules to eliminate outdated language, to replace language that discriminates on the basis of sex or gender with sex-neutral and gender-neutral terminology, and to conform with the usage and style prescribed in drafting guides prepared or adopted under statutes. This rulemaking is intended to leave the scope and subjects of existing rules unchanged, resulting in no substantive effect on any entity.
7. Summary and preliminary comparison with any existing or proposed federal regulation that is intended to address the activities to be regulated by the proposed rule:
The department is unaware of any existing or proposed federal language that would affect terminology used in this state’s administrative code.
8. Anticipated economic impact of implementing the rule (note if the rule is likely to have a significant economic impact on small businesses):
The department anticipates no economic impact as result of updating terminology.
Contact Person:
Alicia Augsburger
Wisconsin Department of Transportation
Office of General Counsel
(608) 266-3353
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Links to Admin. Code and Statutes in this Register are to current versions, which may not be the version that was referred to in the original published document.