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This proposed rule is a 100+ page proposed regulation that does several things simultaneously, and the DEI rollback is one of many disturbing aspects. The public comment page is here, scroll down for a template you can modify and copy/paste as desired. Summary This regulation essentially rewrites the government-wide framework for managing federal financial assistance including grants, cooperative agreements, and related forms of federal funding. What it does structurally The rule consolidates power for grantmaking under OMB instead of the federal agencies related to the grant function. Since 2013, the OMB rules governing federal grants (called "Uniform Guidance") were exactly that — guidance. Agencies had flexibility in how they implemented them. This rule converts guidance into binding OMB regulation. That means OMB, a White House office controlled by the president, now has direct regulatory authority over every federal grant across every agency. Future amendments to grant rules would go through OMB alone, not through individual agencies. One office, controlled by political appointees, governing all federal financial assistance. The most dangerous provision is the "pre-issuance review" — every discretionary grant must now be reviewed by senior political appointees before it can be awarded. Peer review by scientific experts becomes purely "advisory." A political appointee can overrule the scientists and deny funding for any reason that doesn't align with "the President's policy priorities." That means research on climate change, environmental health, public health disparities, gun violence, reproductive health — anything that contradicts the administration's political agenda — can be defunded not through Congress but through a political appointee's veto at the grant review stage. The research never happens. The data never gets collected. The knowledge never exists. The DEI and gender ideology provisions: The rule explicitly prohibits federal funds from being used for anything the administration defines as DEI activities, "gender ideology," or what it calls "child sex mutilation", their term for gender-affirming care for minors. Gender-affirming healthcare is funded through multiple federal channels — NIH research grants studying gender dysphoria treatment, Medicaid covering transition-related care, HRSA community health centers providing services. This rule gives the administration a mechanism to defund all of it simultaneously across every agency without needing to pass a law or win a court case. Just deny the grants at the pre-issuance review stage. For trans people who depend on federally funded healthcare for hormones, mental health services, and medical care, this could mean clinics lose funding and close. Providers stop offering services. Research into best practices stops. The infrastructure of care disappears not through a ban but through the quieter mechanism of defunding. The rule also prohibits grants to organizations that promote "gender ideology", a term deliberately left vague enough to encompass virtually any organization that acknowledges trans people exist. Homeless shelters that house trans people according to their gender identity. Domestic violence organizations that serve trans women. Mental health providers who offer gender-affirming therapy. All of these receive federal grants. All of them could lose funding. The broader issue: The rule also allows agencies to terminate existing grants mid-stream if funding "no longer aligns with program goals, agency priorities, or the national interest." That language is broad enough to cancel virtually any grant for any political reason. Combined with the pre-issuance political review, it creates a system where new grants require political approval and existing grants can be terminated at political will. Active grants — research in progress, clinical trials, public health programs — can be killed without cause. The scientists running them have already spent years and millions on the work. It all stops because a political appointee decides it doesn't serve the president's priorities. Notably this proposed rule also prohibits grants supporting disparate impact theory, voter registration campaigns, and issue advocacy. Comment Template Below is a template you can modify and copy/paste sections you want to highlight in your comment. (Link to public comment page is here) While the stated objectives of transparency, accountability, and oversight are laudable, the proposed rule as written would achieve the opposite — concentrating grant-making authority in political appointees, undermining scientific independence, threatening the lives of vulnerable populations, and fundamentally altering the relationship between federal agencies and the communities they serve. Additional summaries of the proposed regulations that go into greater depth and breadth:
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Blog focused on concrete actions we can take towards protecting life, justice and human rights.
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Amanda Ianthe Greene, Research, Policy and Systems Analyst, Archives
June 2026
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