Well, it was a day too late to count as a birthday present, but I’ll take it!
Nearly thirteen years after I first posted this section on overcriminalization and strict liability to Tumblr, the Trump administration (believe it or not) issued an executive order finally doing a tiny little bit about the problem.
Maybe. I hope. We’ll see.
Ideally, we’d make it so unelected officials could never criminalize anything—that the imposition of criminal penalties is such a serious matter that it must be approved by the People of the United States through their elected representatives in Congress. In fact, if it were up to me, I’d say such provisions would have to originate in the House of Representatives, because that is the most directly accountable body. (It’s what the Constitution requires for taxation, for the same reason, and I think we can all agree that taking people’s lives, liberty, and reputation is far more severe than taking mere money.) But here, even baby steps are a huge deal!
I wonder if anybody working for the administration read my comic when they were in law school?

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Here is a complete list of mainstream news outlets that reported on this in the weeks that followed:
[No news outlets reported on this in the weeks that followed.]
Here is the timeline of actions required by the order:
| Deadline | Who | What |
| Immediately | All agencies |
Henceforth, ALL notices of proposed rulemaking (NPRMs) and final rules, which may have criminal penalties, should include a statement to that effect, drafted in consultation with the DOJ. They also have to identify the statute that authorizes them to criminalize something. |
| Immediately | All agencies |
ALL proposed and final rules which may have criminal penalties should explicitly state a mens rea requirement for EACH element of the offense. Strict liability is disfavored. Any strict liability mens rea shall be treated as a “significant regulatory action” and submitted for review by the Office of Information and Regulatory Affairs. Must cite to the relevant provisions of the statute authorizing the criminalization. |
| June 23, 2025 | Head of each agency, in consultation with the Attorney General |
Publish guidance in the Federal Register describing the agency’s plan to address criminal regulatory offenses. The guidance should make it clear that, when deciding whether to refer a matter to the DOJ, the agency should consider such factors as:
In other words, it can’t be criminal just because the agency doesn’t want it to happen. And criminal charges can’t come as a surprise to people who wouldn’t have known they were doing anything criminal. |
| May 9, 2026 | Head of each agency, in consultation with the Attorney General |
Provide to OMB, and publish it on the agency website, a report containing:
Any criminal enforcement of offenses not identified in this report is strongly discouraged. |
| June 8, 2026 | Head of each agency, in consultation with the Attorney General |
Within 30 days after the report due May 9, 2026, must submit a report to OMB assessing whether the applicable mens rea standards for all those offenses are appropriate. Must also include a plan for changing the mens rea standards, and adopting a default mens rea. Must also justify every regulatory offense where they propose to deviate from the default mens rea. |
| Yearly after | Head of each agency | Periodically, but at least once a year, must update the report that was due May 9, 2026. |
Here are links to the guidance reports that each agency had to publish by June 23, 2025:
[As of July 4, 2025, only 26 of the 441 federal agencies and sub-agencies which can publish to the Federal Register (234 if you don’t count sub-agencies) have published guidance. I’ll update this list periodically, and also provide summaries of what their guidance entails.]
Department of Agriculture (June 9, 2025)
Department of Justice (June 16, 2025)
Railroad Retirement Board (June 18, 2025)
Department of Homeland Security (June 18, 2025)
Federal Maritime Commission (June 20, 2025)
Comptroller of the Currency (June 20, 2025)
Securities and Exchange Commission (June 20, 2025)
Federal Energy Regulatory Commission (June 20, 2025)
Surface Transportation Board (June 20, 2025)
Nuclear Regulatory Commission (June 23, 2025)
National Transportation Safety Board (June 23, 2025)
Federal Communications Commission (June 23, 2025)
General Services Administration (June 23, 2025)
Department of Energy (June 24, 2025)
Department of Health and Human Services (June 24, 2025)
Department of Labor (June 25, 2025)
Federal Deposit Insurance Corporation (June 25, 2025)
Department of the Interior (June 25, 2025)
Federal Financial Institutions Examination Council (June 26, 2025)
Department of Transportation (June 26, 2025)
Department of Commerce (June 27, 2025)
Consumer Financial Protection Bureau (June 27, 2025)
Office of Foreign Assets Control (July 1, 2025)
National Aeronautics and Space Administration (July 1, 2025)
National Credit Union Administration (July 2, 2025)
Department of the Treasury (July 3, 2025)
I’ll update this if/when more happens. Keep your fingers crossed!