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22182 Federal Register / Vol. 89, No.

62 / Friday, March 29, 2024 / Notices

§ 1627.4(b)’s notice requirement for the subgrant agreement through GrantEase change request to the Office of
Basic Field Grant program. Only current by the date requested. Information and Regulatory Affairs
or prospective recipients of LSC Basic As required by 45 CFR 1627.4(b)(3), (OIRA), or at any time a collection of
Field Grants may apply for approval to LSC will inform applicants of its information is submitted to OIRA for
subgrant these funds. decision to disapprove or approve an approval of either a revision or
Applications for approval to make application for a 2024 mid-year subgrant extension under the Paperwork
subgrants of 2024 mid-year and calendar no later than the subgrant’s proposed Reduction Act of 1995 (PRA), as soon as
year 2025 Basic Field Grant funds will effective date. As required by 45 CFR possible, but not later than March 28,
be available on or around April 15, 1627.4(b)(1)(ii), LSC will inform 2029.
2024. An applicant must apply to make applicants of its decision to disapprove
or approve a 2025 calendar-year ADDRESSES: Please send correspondence
a mid-year subgrant of LSC Basic Field
subgrant no later than the date LSC about OMB’s decisions to: Dr. Karin
Grant funds through GrantEase at least
informs applicants of LSC’s 2025 Basic Orvis, U.S. Chief Statistician, Office of
45 days before the subgrant’s proposed
Field Grant funding decisions. Information and Regulatory Affairs,
effective date. 45 CFR 1627.4(b)(2). An
Office of Management and Budget, 725
applicant must apply to make calendar (Authority: 42 U.S.C. 2996g(e)) 17th St. NW, Washington, DC 20506,
year subgrants of 2025 Basic Field Grant
Dated: March 26, 2024. email address: Statistical_Directives@
funds through GrantEase in conjunction
Stefanie Davis, omb.eop.gov.
with its application(s) for 2025 Basic
Field Grant funding. 45 CFR Deputy General Counsel, Legal Services Electronic Availability: This Federal
1627.4(b)(1). The deadline for 2025 Corporation. Register Notice can be found along with
Basic Field Grant funding application [FR Doc. 2024–06711 Filed 3–28–24; 8:45 am] supplemental materials, including the
submissions is June 3, 2024. BILLING CODE 7050–01–P final report of the Working Group and
All applicants must provide answers its six annexes, on the Federal Register:
to the application questions in https://www.federalregister.gov/, by
GrantEase and upload the following OFFICE OF MANAGEMENT AND searching for ‘‘OMB–2023–0001’’.
documents: BUDGET Additional background materials,
including previous OMB standards and
• A draft subgrant agreement (with
Revisions to OMB’s Statistical Policy guidance related to the collection of race
the required terms provided in LSC’s
Directive No. 15: Standards for and ethnicity can be found at https://
Subgrant Agreement Template); and
Maintaining, Collecting, and www.statspolicy.gov under ‘‘Policies’’
• A subgrant budget (using LSC’s
Presenting Federal Data on Race and and on the Working Group’s website:
Subgrant Budget Template).
Ethnicity https://www.spd15revision.gov.
Applicants seeking to subgrant to a
new subrecipient that is not a current AGENCY: Office of Information and FOR FURTHER INFORMATION CONTACT: Bob
LSC grantee, or to renew a subgrant with Regulatory Affairs, Office of Sivinski, Statistical and Science Policy,
an organization that is not a current LSC Management and Budget, Executive Office of Information and Regulatory
grantee in a year in which the applicant Office of the President. Affairs, Office of Management and
is required to submit a full funding Budget, 725 17th St. NW, Washington,
ACTION: Notice of decision.
application, must also upload: DC 20506; email address: Statistical_
• The subrecipient’s accounting SUMMARY: By this Notice, the Office of Directives@omb.eop.gov, phone number
manual; Management and Budget (OMB) is (202) 395–1205.
• The subrecipient’s most recent announcing revisions to Statistical SUPPLEMENTARY INFORMATION:
audited financial statements; Policy Directive No. 15: Standards for
A. Background
• The subrecipient’s current cost Maintaining, Collecting, and Presenting
allocation policy (if not in the Federal Data on Race and Ethnicity Overview of this Notice. Based on the
accounting manual); and (SPD 15). The revised SPD 15 is recommendations of the Federal
• The recipient’s 45 CFR part 1627 presented at the end of this Notice; it Interagency Technical Working Group
policy (required under 45 CFR 1627.7). replaces and supersedes OMB’s 1997 on Race and Ethnicity Standards
A list of subgrant application Revisions to the Standards for the (Working Group), SPD 15 is revised to:
questions, the Subgrant Agreement Classification of Federal Data on Race collect data using a single combined
Template, and the Subgrant Budget and Ethnicity. OMB is taking this action race and ethnicity question, allowing
Template are available on LSC’s website to meet its responsibilities to develop multiple responses; add Middle Eastern
at http://www.lsc.gov/grants-grantee- and oversee the implementation of or North African (MENA) as a minimum
resources/grantee-guidance/how-apply- Government-wide principles, policies, reporting category, separate and distinct
subgrant. standards, and guidelines concerning from the White category; require the
LSC encourages applicants to use the development, presentation, and collection of more detail beyond the
LSC’s Subgrant Agreement Template as dissemination of statistical information. minimum race and ethnicity reporting
a model subgrant agreement. If the These revisions to SPD 15 are intended categories, unless an agency requests
applicant does not use LSC’s Template, to result in more accurate and useful and receives an exemption from OMB’s
the proposed agreement must include, race and ethnicity data across the Office of Information and Regulatory
at a minimum, the substance of the Federal government. Affairs because the potential benefit of
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provisions of the Template. DATES: The provisions of these the detailed data would not justify the
Once submitted, LSC will evaluate the standards are effective March 28, 2024 additional burden to the agency and the
application and provide applicants with for all new record keeping or reporting public or the additional risk to privacy
instructions on any needed requirements that include racial or or confidentiality; update terminology
modifications to the submitted ethnic information. All existing record in SPD 15; and require agency Action
documents or Draft Agreement provided keeping or reporting requirements Plans on Race and Ethnicity Data and
with the application. The applicant should be made consistent with these timely compliance with this revision to
must then upload a final and signed standards through a non-substantive SPD 15.

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Federal Register / Vol. 89, No. 62 / Friday, March 29, 2024 / Notices 22183

The Supplementary Information in laws.5 Since 1977, SPD 15 has been the United States, including increasing
this Notice provides background revised one time, resulting in an update racial and ethnic diversity, a growing
information on SPD 15 (Section A); a in 1997. number of people who identify as more
summary of the review process that The Goals of SPD 15. The goals of than one race or ethnicity, and changing
began in the summer of 2022 (Section SPD 15 remain unchanged: to ensure the immigration and migration patterns.
B); a synopsis of the major revisions to comparability of race and ethnicity Recognizing the critical need for
SPD 15, including discussion of the across Federal datasets and to maximize revisions to SPD 15, OMB announced a
initial proposals of the Working Group, the quality of these data by ensuring the formal review in June 2022 with the
public input on the standards including format, language, and procedures for goal of updating SPD 15 to better reflect
responses to a January 2023 Federal collecting the data are consistent.6 To the diversity of the Nation.10 The
Register Notice (FRN) 1 that presented achieve these goals, SPD 15 provides a process to review and revise SPD 15
the initial proposals, the final minimum set of categories that all included four major phases: (1) OMB
recommendations from the Working Federal agencies must use when established the Working Group; (2) the
Group to OMB, and OMB’s decisions on collecting information on race and Working Group developed initial
revisions to SPD 15 (Section C); and ethnicity, regardless of the collection proposals and sought public input; (3)
areas for future research (Section D). mechanism, as well as additional the Working Group developed final
OMB’s Statistical Policy Directives. To guidance on the collection, compilation, recommendations for revising SPD 15;
operate efficiently and effectively, the and dissemination of these data. and (4) OMB deliberated and developed
Nation relies on the flow of objective, Defining race and ethnicity. For the revisions presented in this Notice.
credible statistics to support the purposes of SPD 15, the race and Establishing the Federal Interagency
decisions of individuals, households, ethnicity categories set forth are Technical Working Group on Race and
governments, businesses, and other sociopolitical constructs and are not an Ethnicity Standards. Consistent with
organizations. As part of its role as attempt to define race and ethnicity OMB’s established processes, the
coordinator of the Federal statistical biologically or genetically. Working Group was composed of
system under the Paperwork Reduction Rescissions. Finally, this Notice
Federal staff with subject matter
Act of 1995, OMB, through the Chief rescinds the following OMB guidance:
expertise in the collection and use of
Statistician of the United States, must OMB Bulletin No. 00–02—Guidance on
Federal race and ethnicity data. The 13
ensure the efficiency and effectiveness Aggregation and Allocation of Data on
OMB-recognized principal statistical
of the system as well as the integrity, Race for Use in Civil Rights Monitoring
agencies,11 the 24 agencies enumerated
objectivity, impartiality, utility, and and Enforcement (2000); 7 Provisional
Guidance on the Implementation of the by the Chief Financial Officers Act (CFO
confidentiality of information collected Act),12 and the U.S. Equal Employment
for statistical purposes.2 This includes 1997 Standards for Federal Data on
Race and Ethnicity (2000); 8 and Opportunity Commission (EEOC) were
developing and overseeing the invited to nominate representatives to
implementation of Government-wide Flexibilities and Best Practices for
Implementing the Office of the Working Group through their
principles, policies, standards, and Federal Statistical Officials.13 Of the
guidelines concerning the development, Managements and Budget’s 1997
Standards for Maintaining, Collecting, invitees, 12 principal statistical
presentation, and dissemination of agencies, 22 Chief Financial Officers Act
statistical information.3 OMB maintains and Presenting Federal Data on Race
and Ethnicity (2022).9 agencies, and the EEOC all provided
a set of statistical policy directives to staff to participate in the Working
implement these requirements, and B. Comprehensive Review Process for Group. The Working Group was chaired
periodically reviews these directives to SPD 15 and co-chaired by career staff members
ensure they continue to meet their Since the 1997 revision to SPD 15, from OMB and the U.S. Census Bureau,
intended purpose. These reviews are there have been large societal, political, respectively.
based on input from subject matter economic, and demographic shifts in OMB tasked the Working Group with
experts and relevant program staff developing a set of recommendations for
across government, evidence generated 5 62 FR 58782 (Oct. 20, 1997), available at https:// improving the quality and usefulness of
by research and testing, and input from www.govinfo.gov/content/pkg/FR-1997-10-30/pdf/ Federal race and ethnicity data with a
the public. 97-28653.pdf. focus on developing recommendations
History of SPD 15. OMB initially 6 See, e.g., id.; U.S. Dep’t of Com., Statistical
on topics including, but not limited to:
developed SPD 15 in 1977 in Policy Handbook 37–38 (May 1978), available at
https://www2.census.gov/about/ombraceethnicity • whether the minimum reporting
cooperation with other Federal agencies itwg/1978-statistical-policy-handbook.pdf. categories should be changed and how
to provide consistent data on race and 7 OMB, Exec. Office of the President, OMB
to best address detailed race and
ethnicity throughout the Federal Bulletin No. 00–02—Guidance on Aggregation and
ethnicity groups in SPD 15;
Government, including the decennial Allocation of Data on Race for Use in Civil Rights
Monitoring and Enforcement (Mar. 9, 2000), • whether updates should be made to
census, household surveys, and Federal available at https://www.whitehouse.gov/wp- the question format, terminology, and
administrative forms.4 Initial content/uploads/2017/11/bulletins_b00-02.pdf. wording of the questions, as well as the
development of these data standards 8 OMB, Exec. Office of the President, Provisional

stemmed in large part from new Federal Guidance on the Implementation of the 1997
10 Karin Orvis, Reviewing and Revising Standards
responsibilities to enforce civil rights Standards for Data on Race and Ethnicity (Dec. 15,
2000), available at https://www.esd.whs.mil/ for Maintaining, Collecting, and Presenting Federal
Portals/54/Documents/DD/info_collect/files_public/ Data on Race and Ethnicity, The White House (June
1 88 FR 5375 (Jan. 27, 2023), available at https:// 15, 2022), available at https://www.whitehouse.gov/
Race%20%20Ethnicity%20Guidance.pdf?ver=2018-
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www.federalregister.gov/documents/2023/01/27/ 11-01-094407-913. omb/briefing-room/2022/06/15/reviewing-and-


2023-01635/initial-proposals-for-updating-ombs- 9 Flexibilities and Best Practices for Implementing revising-standards-for-maintaining-collecting-and-
race-and-ethnicity-statistical-standards. the Office of Management and Budget’s 1997 presenting-federal-data-on-race-and-ethnicity/.
2 44 U.S.C. 3504(e)(1). 11 A list of the 13 principal statistical agencies is
Standards for Maintaining, Collecting, and
3 44 U.S.C. 3504(e)(3).
Presenting Federal Data on Race and Ethnicity available at https://statspolicy.gov.
4 U.S. Dep’t of Com., Statistical Policy Handbook 12 A list of the 24 Chief Financial Officers Act
(Statistical Policy Directive No. 15) (Jul. 2022),
37–38 (May 1978), available at https:// available at https://www.whitehouse.gov/wp- Agencies is available at https://www.cfo.gov/about-
www2.census.gov/about/ombraceethnicityitwg/ content/uploads/2022/07/Flexibilities-and-Best- the-council/.
1978-statistical-policy-handbook.pdf. Practices-Under-SPD-15.pdf. 13 5 U.S.C. 314.

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22184 Federal Register / Vol. 89, No. 62 / Friday, March 29, 2024 / Notices

instructions for respondents and The NCT specifically tested the impact 20,000 comments to the FRN,18 the
associated guidance; and and effectiveness of using a combined Working Group scheduled 94 separate
• whether guidance for the collection question, adding a MENA category, and 30-minute listening sessions, and about
and reporting of these data can be making various revisions to question 3,350 people joined the virtual town
improved, including in instances when wording and terminology. The NCT halls where over 200 people spoke to
self-identification is not possible. included a nationally representative share their perspectives on SPD 15.
The Working Group adopted a set of sample of 1.2 million housing units The input from the experts on the
principles to govern their work (e.g., across the United States, including Working Group, the strong existing
category changes should be based on Puerto Rico. Importantly, it also research base, and the robust
sound research; all racial and ethnic included a re-interview of participation of the public, all helped
categories should adhere to public law; approximately 75,000 cases, designed to shape the activities of the Working
operational feasibility should also be Group, their final recommendations to
generate better understanding of how
considered) consistent with processes OMB, and OMB’s final decisions.
respondents interpret the questions and
used by the working groups for the
prefer to identify. In addition to pre- C. Revisions to SPD 15
original 1977 SPD 15 and the 1997
revision.14 existing research conducted over the
The revised standards presented in
Developing Initial Proposals. The last decade, several agencies the Notice adopt several revisions
Working Group developed initial represented on the Working Group intended to improve the quality and
proposals for revising SPD 15 by collaborated to conduct supplementary usefulness of Federal race and ethnicity
examining existing evidence and qualitative and quantitative research. data. This section explains the revisions
building on the work of a previous This additional research helped inform by: describing the initial proposals of
interagency working group that and improve the Working Group’s final the Working Group, summarizing public
reviewed SPD 15 from 2014 to 2018. recommendations to OMB. input, describing the final
The existing evidence included several In recognition of the importance of recommendations of the Working Group
large-scale, rigorous studies conducted public participation in the revision of (and how they differed, if at all, from
by the Census Bureau. SPD 15, obtaining input and feedback the initial proposals), and presenting
The initial set of proposals developed from the public played a key role in the and explaining OMB’s decisions.
by the Working Group included development of the final
collecting race and ethnicity together 1. Collect Race and Ethnicity
recommendations. The Working Group Information Using One Combined
with a single question; adding a MENA and OMB used a variety of approaches
response category, separate from the Question
to raise awareness and encourage input.
White category; requiring the collection Outreach efforts included White House Working Group’s Initial Proposals.
of more detailed data beyond the The Working Group initially proposed
blog posts and social media posts, the
minimum categories as a default; and that SPD 15 move from two separate
creation of a dedicated website for the
updating SPD 15’s terminology, questions to a single combined race and
review process (https://www.spd15
definitions, and question wording. The ethnicity question as the required
revision.gov), interviews with news
Working Group also developed a set of design for self-reported race and
outlets, participation in professional
questions regarding various aspects of ethnicity information collections. Refer
conferences and workshops, and direct
the proposals, implementation issues, to Section C, Part 1 of the January 2023
and additional topics for public outreach to stakeholders using contact
FRN 19 for additional information about
feedback. OMB published these lists maintained by the agencies
this initial proposal from the Working
preliminary proposals and questions in participating on the Working Group. In
Group.
a January 2023 FRN 15 that provided the September 2022, the Working Group
Summary of Public Input. Many
public an opportunity to submit began conducting bi-monthly listening
comments stated the current two
comments from January 27 to April 27, sessions with members of the public, questions structure is confusing to
2023. which allowed organizations, advocacy respondents, especially respondents
Developing Final Recommendations. groups, academics, and the general who identify as Hispanic or Latino and
To meet the goal of producing accurate public to share their perspectives and do not identify with the 1997 SPD 15
and useful race and ethnicity data recommendations regarding SPD 15.17 race categories. Some commenters
across the Federal Government, it is In March 2023, the Chief Statistician of expressed that the current format with
important to base SPD 15 on a solid the United States, joined by the chair two separate questions creates an
portfolio of evidence that includes and co-chair of the Working Group, impediment to the collection of accurate
rigorous testing, input from the public hosted a series of three virtual public race data on the Hispanic or Latino
on how individuals prefer to identify, town hall meetings. OMB also held a population. A common theme was the
and input from data providers and Tribal consultation with Tribal leaders proposed change would improve the
users. and members to discuss the proposed collection of race data for the Hispanic
In developing their initial and final revisions. As a result of these efforts, or Latino population by reducing the
recommendations, the Working Group members of the public submitted over number of responses that leave the race
relied heavily on research conducted by question blank or are classified as
Federal agencies over the last decade, Report: A New Design for the 21st Century (Feb. 28, ‘‘Some Other Race’’ when that option is
especially the U.S. Census Bureau’s 2017), available at https://www.census.gov/
programs-surveys/decennial-census/decade/2020/
available.20 Some commenters, while
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2015 National Content Test (NCT).16 planning-management/plan/final-analysis/2015nct-


18 Initial Proposals for Updating OMB’s Race and
race-ethnicity-analysis.html.
14 Refer to the Working Group’s final report on for 17 Karin Orvis, OMB Launches New Public Ethnicity Data Standards Docket, Regulations.gov,
additional details, available on the Federal Listening Sessions on Federal Race and Ethnicity available at https://www.regulations.gov/docket/
Register, https://www.federalregister.gov/, by Standards Revision, The White House (Aug. 30, OMB-2023-0001/comments (last visited Feb. 15,
searching for ‘‘OMB–2023–0001’’. 2022), available at https://www.whitehouse.gov/ 2024).
15 88 FR 5375. 19 88 FR 5379.
omb/briefing-room/2022/08/30/omb-launches-new-
16 Kelly Mathews et al., U.S. Census Bureau, 2015 public-listening-sessions-on-federal-race-and- 20 Under the 1997 standards, data collections by

National Content Test Race and Ethnicity Analysis ethnicity-standards-revision/. Federal agencies may not include a Some Other

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Federal Register / Vol. 89, No. 62 / Friday, March 29, 2024 / Notices 22185

generally in support of a combined and race. . . . Results from the 2020 ethnicity question. Because respondents
question, suggested removing the words Census showed that 43.5 percent of may perceive categories like Hispanic or
‘‘race’’ and ‘‘ethnicity’’ from the those who self-identified as Hispanic or Latino or MENA as either a race or
question stem and emphasizing that Latino either did not report a race or ethnicity, the revised SPD 15 requires
respondents should select all categories were classified as ‘Some Other Race’ agencies to treat the categories equally
that apply to them. (SOR) alone (over 23 million people).’’ and report them as ‘‘race and/or
Some comments were opposed to, and This increasing non-response and ethnicity’’ categories.
expressed concerns about, this initial reporting of SOR was one of the primary OMB’s decision on this
proposal. A notable concern was that indicators to OMB that SPD 15 was no recommendation reflects the strong
the new format would lead to the longer providing options that align with evidence that a combined question
potential loss of data about Afro-Latino how respondents prefer to identify. The format results in higher quality and
respondents. Some commenters viewed NCT described in Section B, along with more useful data, and provides a format
a combined race and ethnicity question other Census Bureau research that is clearer and more concise for
as conflating two distinct concepts and conducted in preparation for the 2020 respondents while still allowing them to
implying that Hispanic or Latino is a Census,22 found that a combined select as many race and/or ethnicity
‘‘race.’’ Commenters viewed that a question reduced confusion and options that correspond to how they
combined question would result in a improved data quality, including identify. OMB recognizes that
large percentage of Afro-Latinos only drastically reducing the selection of additional research, testing, and
identifying as Hispanic or Latino, SOR by Hispanic or Latino respondents. stakeholder engagement is needed to
thereby contributing to an undercount In response to concerns from the Afro- understand how to best encourage the
of the Afro-Latino population. Overall, Latino community about the potential selection of multiple race and/or
the majority of comments on the subject impact of a combined question on ethnicity categories for people who
expressed support for using a single population estimates, the Working identify as Afro-Latino, and is
combined question and allowing Group evaluated several sources of prioritizing that research as discussed
multiple responses.21 evidence to inform their further in Section D. Finally, we note
Working Group’s Final recommendations. The NCT compared here that the revised SPD 15 adopts the
Recommendations. The final Afro-Latino population estimates when Working Group’s recommendation to
recommendation to OMB, consistent using a combined question versus a modify the question instructions to
with the initial proposal, was to separate questions format and did not better signal to respondents that they
combine the current separate questions find a significant difference between the should select all of the categories that
on Hispanic or Latino ethnicity and race approaches. In fact, Afro-Latino reflect their identity.
into a single combined race and population estimates were slightly
ethnicity question that allows 2. Add Middle Eastern or North African
higher when using a combined question
respondents to select one or multiple as a New Minimum Category
with detailed checkboxes and write-in
categories, and require the use of this fields. Additionally, the Working Group Working Group’s Initial Proposals.
single-question format for both self- conducted cognitive interviews with The Working Group initially proposed
response and proxy response (for Afro-Latino participants to explore how that Middle Eastern or North African be
example, when one member of a they identify and how they interpret added to SPD 15 as a new minimum
household responds on behalf of other questions about race and ethnicity. reporting category distinct from all other
members). The final recommendation About half of interview participants reporting categories, and that the
further specifies that a single selection selected only the Hispanic or Latino definition of the current White reporting
would be considered a complete response category when shown a category be edited to remove MENA
response (e.g., Hispanic or Latino combined question, despite selecting from its definition. Refer to Section C,
respondents are not required to select an both Hispanic or Latino and Black or Part 2 of the January 2023 FRN 24 for
additional category), although African American response categories additional information about this initial
respondents will be encouraged to during recruitment. These cognitive proposal from the Working Group.
provide multiple responses when interviews contributed to the Working Summary of Public Input. Nearly all
appropriate. Group’s recommendation for future comments addressing the MENA
The Working Group’s final report research on collecting data for Afro- category supported the proposal.
states that ‘‘[s]ince 1980, responses to descendent populations.23 Commenters expressed that the current
the decennial census in each subsequent OMB Decisions. OMB accepts the classification of MENA respondents as
decade have shown increasing non- recommendation to combine the White does not reflect the reality of
response to the race question, separate questions on race and ethnicity many who are MENA. A few
confusion, and concern from the public into a single combined race and commenters were opposed, either
about separate questions on ethnicity stating some individuals from the
22 Elizabeth Compton et al., U.S. Census Bureau, MENA region of the world do consider
Race (SOR) response category unless required by 2010 Census Race and Hispanic Origin Alternative themselves to be White or that race and
statute. Since 2005, the decennial census and Questionnaire Experiment (Feb. 28, 2013), available
American Community Survey (ACS) are required by at https://www.census.gov/programs-surveys/
ethnicity data should not be collected
law to include a SOR category, thereby adding a decennial-census/decade/2010/program- by the Federal Government.
sixth minimum race category for these collections. management/cpex/2010-cpex-211.html; Jacquelyn Many commenters also provided
The decennial census and ACS are the only Harth, U.S. Census Bureau, 2016 American feedback about which groups should be
Community Survey Content Test: Race and
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information collections with a statutory considered MENA or have a checkbox


requirement for the use of a SOR category. See Hispanic Origin (Sept. 19, 2017), available at
Science, State, Justice, Commerce, and Related https://www.census.gov/library/working-papers/ under the MENA category, commenting
Agencies Appropriations Act, 2006, Public Law 2017/acs/2017_Harth_01.html. that it was important for groups such as
109–108, tit. II, 119 Stat. 2290, 2308–09 (2005). 23 Refer to the Working Group’s final report and
Armenians, Somalis, and Sudanese to
21 A comprehensive review of public input on its Annexes 1 and 2 to learn more about the be part of any MENA category. Overall,
this initial proposal can be found in the Working Working Group’s research and analysis that
Group’s Annex 4, available on the Federal Register, ultimately led to this recommendation, available on the vast majority of comments expressed
https://www.federalregister.gov/, by searching for the Federal Register, https://www.federal
‘‘OMB–2023–0001’’. register.gov/, by searching for ‘‘OMB–2023–0001’’. 24 88 FR 5379.

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22186 Federal Register / Vol. 89, No. 62 / Friday, March 29, 2024 / Notices

support for adding a MENA minimum needed on these groups to monitor their demographic data of the United States
category, separate and distinct from preferred identification. become available. Some urged that
White.25 Federal agencies should be allowed to
Working Group’s Final 3. Require the Collection of Detailed
adapt the detailed categories based on
Recommendations. The Working Race and Ethnicity Categories as a
their data collection needs and contexts,
Group’s final recommendation was not Default
while others urged strict requirements
changed from the initial proposal: ‘‘Add Working Group’s Initial Proposals. for all agencies out of concern that any
MENA as a new minimum reporting The Working Group initially proposed flexibility could be misused.
category distinct from all other reporting requiring data collection of specific A few commenters were opposed,
categories. Revise the definition for the detailed data beyond the minimum expressing concerns with the burden on
White category to remove references to categories, unless an agency determines Federal agencies, the risks to data
MENA, and classify and tabulate MENA the potential benefit of the detailed data privacy and disclosure for small
responses under the new MENA would not justify the additional burden population groups, and burden on
category.’’ 26 to the agency and the public or the respondents. Overall, the majority of
OMB Decisions. OMB accepts the additional risk to privacy or comments expressed support for
recommendation to create a new confidentiality and the agency requests requiring the collection of more detail
minimum reporting category for MENA and receives an exemption from OIRA. beyond the minimum categories as a
separate and distinct from the White In those cases, agencies must at least use default, but allowing agencies to
category, and to revise the White SPD 15’s minimum categories. In any determine what additional data to
category definition accordingly. circumstance, agencies are encouraged collect in order to best meet program
MENA groups and members of the to collect and provide more granular and stakeholder needs.31
public generally have long voiced the data than the minimum categories. Working Group’s Final
need for a separate MENA minimum The specific detailed checkboxes Recommendations. The final
category. The 1997 revision to SPD 15 shown in the January 2023 FRN recommendation of the Working Group
also identified MENA as a topic for represent the six largest population differed from the initial proposal in the
further research because there was a groups in the United States within each January 2023 FRN, reflecting input from
lack of public consensus on how to minimum category, based on responses Federal agencies concerned about the
define the category (e.g., shared to the 2010 Census. The exception to lack of flexibility. The Working Group’s
language, geography) at the time.27 this rule is the six checkboxes shown for final recommendation was to require the
Since then, Federal agencies have the MENA category, which represent the collection of data on race and ethnicity
conducted research and stakeholder two largest Arab nationalities in the with greater detail beyond the minimum
outreach showing broad public support United States from the Middle East reporting categories as a default, but to
for the use of the term ‘‘Middle Eastern (Lebanese and Syrian), the two largest allow agencies flexibility to determine
or North African,’’ and that MENA Arab nationalities in the United States what additional data to collect to best
respondents understand the use of the from North Africa (Egyptian and meet program and stakeholder needs,
category and select it when available.28 Moroccan), and the two largest non- provided the detailed data aggregate
Described further in Part 3 below and Arab nationalities in the United States into the minimum reporting categories,
consistent with the existing minimum from the MENA region (Iranian and and subject to OIRA approval. In cases
categories, the detailed checkboxes and Israeli). Refer to Section C, Part 3 of the where agencies determine the additional
definition examples for the MENA January 2023 FRN 30 for additional burden would outweigh the potential
category were selected to represent the information about this initial proposal benefits of collecting detailed data,
largest population groups in the United from the Working Group. Federal agencies may seek approval
States as reported by the 2020 Census. Summary of Public Input. Comments from OIRA to use the minimum
Although several commenters expressed supporting this proposal cited the reporting categories. In any
interest in explicitly including diverse experiences of groups within circumstance, SPD 15 should encourage
Armenian, Somali, or Sudanese, the each minimum reporting category. In to collect and provide more granular
2015 NCT found that most respondents particular, a number of health data than the minimum reporting
who identify as Armenian, Somali, and organizations expressed the importance categories.32
Sudanese did not select MENA when it of having data available for detailed OMB Decisions. OMB accepts the
was offered.29 Additional research is groups to measure differences in recommendation to require the
healthcare outcomes. There were also collection of more detailed data as a
25 A comprehensive review of public input on
comments advocating for flexibility in default. However, the intent of SPD 15
this initial proposal can be found in the Working SPD 15 to allow for changes in the to produce consistent and comparable
Group’s Annex 4, available on the Federal Register,
https://www.federalregister.gov/, by searching for specific detailed categories used as new data is best served by providing a
‘‘OMB–2023–0001’’. common framework for the collection of
26 Refer to the Working Group’s final report and White category 90.8% of the time and Some Other detailed data, rather than allowing each
its Annex 1 to learn more about the Working Race 9.6% of the time, Somali respondents chose agency to determine what additional
Group’s research and analysis that ultimately led to the Black or African American category 96.2% of
this recommendation, available on the Federal the time, and Sudanese respondents chose the
detail to collect. Therefore, agencies are
Register, https://www.federalregister.gov/, by Black or African American category 98.4% of the required to collect the detailed
searching for ‘‘OMB–2023–0001’’. time.
27 62 FR 58787. In NCT test panels that did include a MENA 31 A comprehensive review of public input on

category, Armenian respondents chose the White


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28 Stephanie Wilson & Sheba K. Dunston, Nat’l this initial proposal can be found in the Working
Ctr. for Health Stat., Ctrs. for Disease Control & category 79.0% of the time, the MENA category Group’s Annex 4, available on the Federal Register,
Prevention, Cognitive Interview Evaluation of the 12.6% of the time, and Some Other Race 9.3% of https://www.federalregister.gov/, by searching for
Revised Race Question, with Special Emphasis on the time; Somali respondents chose the Black or ‘‘OMB–2023–0001’’.
the Newly Proposed Middle Eastern/North African African American category 94.2% of the time, Some 32 Refer to the Working Group’s final report and
Response Option (2017), available at https:// Other Race 4.8% of the time, and the MENA its Annex 1 to learn more about the Working
wwwn.cdc.gov/qbank/report/Willson_2017_NCHS_ category 0.0% of the time; Sudanese respondents Group’s research and analysis that ultimately led to
MENA.pdf; Kelly Mathews, supra note 16. chose the Black or African American category this recommendation, available on the Federal
29 In NCT test panels that did not include a 87.2% of the time and MENA 8.0% of the time. Register, https://www.federalregister.gov/, by
MENA category, Armenian respondents chose the 30 88 FR 5380. searching for‘‘OMB–2023–0001’’.

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categories described in this Notice as a minimum category definition for statistical descriptions or when legal
default. These detailed categories were Hispanic or Latino; (2) changing the requirements call for use of the terms.
selected to represent the largest AIAN minimum category description to: (b) Use ‘‘race and/or ethnicity’’ in the
population groups within the minimum ‘‘The category ‘American Indian or question stem.
categories, according to the results of Alaska Native’ includes all individuals (c) Use instructions that emphasize
the 2020 Census. Selecting the largest who identify with any of the original reporting multiple categories is allowed
groups by United States population peoples of North, Central, and South (and encouraged), regardless of whether
prioritizes the utility of the data by America;’’ (3) discontinuing the use of minimum or detailed reporting
maximizing the sample sizes. Small the terms ‘‘majority’’ and ‘‘minority;’’ (4) categories are collected. Explicit
sample sizes are often the primary using ‘‘race’’ and ‘‘ethnicity’’ as part of instructions that the respondent can
barrier to publication of data for specific the question stem, e.g., ‘‘What is < your/ select all that apply AND provide
groups; small samples decrease name’s > race or ethnicity?;’’ and (5) detailed reporting is helpful. For
precision, make it harder to identify updating the current instructions of example:
differences between groups, and ‘‘Mark one or more’’ and ‘‘Select one or i. In a self-administered instrument
increase privacy risk. more’’ to ‘‘Mark all that apply’’ and collecting the minimum reporting
OMB recognizes racial and ethnic ‘‘Select all that apply.’’ Refer to Section categories: ‘‘Select all that apply. Note,
identities and terminology are C, Part 4 of the January 2023 FRN 33 for you may report more than one group.’’
continuously changing and SPD 15 additional information about this initial ii. In a self-administered instrument
needs to balance the need for proposal from the Working Group. collecting detailed categories: ‘‘Select all
consistency with the ability to adapt to Summary of Public Input. Comments that apply and enter additional details
change and meet specific program generally demonstrated support for in the spaces below. Note, you may
needs. An agency may submit a request these proposals. The removal of the report more than one group.’’
to OIRA for an exemption to the phrase ‘‘who maintain tribal affiliation (d) Use ‘‘Multiracial and/or
requirement to collect more detailed or community attachment’’ was Multiethnic’’ in tabulations to represent
data beyond the minimum categories if supported by several key organizations people who identify with multiple
the agency determines that the potential including the National Congress of minimum reporting categories.
benefit of the detailed data would not American Indians. Some commenters (e) Provide balance for definitions and
justify the additional burden to the called for greater clarity in which use six example groups to illustrate the
agency and the public or the additional geographic areas would be referenced in breadth and diversity of the category. In
risk to privacy or confidentiality. the Asian definition. Comments from addition, make the following updates to
Agencies may also submit a request to organizations that work with Central the race and ethnicity definitions:
OIRA for a variance to the detailed Asian populations in the United States i. Remove the phrase ‘‘who maintains
categories if they determine that explicitly requested ‘‘Central Asia’’ be tribal affiliation or community
collecting different detailed data included in the Asian definition. A attachment’’ in the AIAN definition.
categories than the ones listed in SPD 15 number of public comments supported ii. Change ‘‘(including Central
provides more useful or accurate data the replacement of the term ‘‘Far East’’ America)’’ to having ‘‘Central America’’
for the collection’s specific context and in the Asian definition and the removal listed co-equally with North and South
intended uses. Any variances in of the term ‘‘Other’’ from the Native America in the AIAN definition.
detailed data collection must be able to Hawaiian and Other Pacific Islander iii. Replace ‘‘Far East’’ with ‘‘Central
be aggregated up to the required definition. Among those who submitted or East Asia’’ and ‘‘Indian
minimum categories. OIRA will review comments about SPD 15 terminology, Subcontinent’’ with ‘‘South Asia’’ in the
agency requests for exceptions and the majority agreed with the proposal to Asian definition.
variances, and they will only be remove ‘‘Negro’’ from the Black or iv. Remove ‘‘Negro’’ from the Black or
approved if they contain sufficient African American definition; however, African American definition.
justification. Finally, due to the some comments asked to retain the v. Correct ‘‘Cuban’’ being listed twice
extensive testing done in the context of term, citing its long history on in the Hispanic or Latino definition.
the American Community Survey, government records such as birth vi. Remove ‘‘. . . regardless of race.
agencies may collect the detailed certificates and prior decennial census The term ‘Spanish origin’ can be used
categories used on the most recent records.34 in addition to ‘Hispanic or Latino’ ’’
version of that survey, should they Working Group’s Final from the Hispanic or Latino definition.
differ from the detailed categories listed Recommendations. The Working Group vii. Remove ‘‘Other’’ from the ‘‘Native
in SPD 15, without further justification. refined their initial proposals based on Hawaiian and Other Pacific Islander’’
public comment and delivered the category title.
4. Updates to Terminology in SPD 15 following recommendations to OMB to OMB Decisions. OMB accepts the
Working Group’s Initial Proposals. update terminology in SPD 15.35 Working Group’s final
The Working Group initially proposed (a) Remove ‘‘majority’’ and recommendations for revising the
SPD 15 remove certain terms or phrases ‘‘minority’’ terminology, except when terminology in SPD 15, including the
in the minimum category definitions: statistically accurate and used for recommendations for revisions to the
‘‘Negro’’ from the Black or African question stem and minimum category
American definition; ‘‘Far East’’ from 33 88 FR 5382. definitions, with the following two
the Asian definition, replacing with 34 A comprehensive review of public input on exceptions. First, in regards to
this initial proposal can be found in the Working
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‘‘East Asian;’’ ‘‘Other’’ from Native recommendation (c) above, OMB does
Group’s Annex 4, available on the Federal Register,
Hawaiian and Other Pacific Islander; https://www.federalregister.gov/, by searching for not include the phrase ‘‘Note, you may
and ‘‘who maintain tribal affiliation or ‘‘OMB–2023–0001’’. report more than one group’’ in the
community attachment’’ from the 35 Refer also to the Working Group’s final report required question instructions.
American Indian or Alaska Native and its Annex 1 to learn more about the Working Additional testing conducted after the
Group’s research and analysis that ultimately led to
(AIAN) definition. these recommendations, available on the Federal
Working Group delivered their final
The FRN also proposed: (1) correcting Register, https://www.federalregister.gov/, by recommendations found that including
‘‘Cuban’’ from being listed twice in the searching for ‘‘OMB–2023–0001’’. this phrase had the opposite of the

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22188 Federal Register / Vol. 89, No. 62 / Friday, March 29, 2024 / Notices

intended effect and resulted in a additional information about the inherently biased. Some comments
sizeable decrease in the number of Working Group’s request for public requested training, guidance, or
respondents selecting multiple input. technical assistance for how and when
responses. Encouraging multiple Summary of Public Input. OMB to use these methods and how to
responses whenever appropriate is received fewer public comments on the analyze resulting data. Some noted
critical to measuring the completeness implementation issues than on the observational data collection is not
and complexity of racial and ethnic previous initial proposals. Public input necessarily of lesser value in some
identity. The revised standards require on these issues included statements on circumstances than self-identification,
the use of the following question the following topics: 37 but instead measures a different concept
instructions: ‘‘What is your race and/or • The importance of establishing a and provides answers to a different set
ethnicity? Select all that apply and enter specific time Federal agencies would of questions that may be of interest (e.g.,
additional details in the spaces below.’’ need to come into compliance with the discrimination resulting from perceived
Section D of this notice, which revised SPD 15, and generally race). Overall, the majority of public
identifies OMB’s priority areas for supporting the inclusion of an comments on the subject leaned toward
future research, includes the following implementation timeline in the revised prohibiting the collection of race and
research topic: how to encourage SPD 15; ethnicity by proxy.
respondents to select multiple race and/ • Concerns about data consistency Working Group’s Final
or ethnicity categories when appropriate when data are collected using the 1997 Recommendations. Based on public
by enhancing question design and revision versus the current revision, input and further discussions with
inclusive language. whether across different data sets or Federal agencies, the Working Group
Second, in regards to within the same data set when data are developed five final recommendations
recommendation (e) above, to align collected over time; related to implementation.39 The first
better with the other category • The need for tools to support set includes two recommendations on
definitions, as well as the previous bridging, or combining data collected planning and timing, and the second set
definition, the revised SPD 15 adopts under different versions of SPD 15; includes three recommendations on
the following definition for the Hispanic • Support for requiring agencies to how to improve collection and reporting
or Latino category: ‘‘Hispanic or Latino. transparently describe how data were practices for race and ethnicity data.
Includes individuals of Mexican, Puerto collected or generated and how Recommendations on implementation
Rican, Salvadoran, Cuban, Dominican, nonresponse or other missing data were and timing.
Guatemalan, and other Central or South assigned or allocated when data were (a) Require an Action Plan on Race
American or Spanish culture or origin.’’ not collected via self-report; and Ethnicity Data within 12 months of
Consistent with the Working Group’s • Questions about tabulation under a the publication of a revised SPD 15.
recommendations, the revised category revised SPD 15, including: Encourage Federal agencies to use these
definitions list six example groups Æ Will those of Hispanic or Latino action plans to make a unified plan to
reflecting the largest population groups origin continue to be treated differently comply with SPD 15, identify potential
in the United States according to the in civil rights reporting? 38 risks, and inform stakeholders of these
2020 Census. Æ How will multiple race and plans. OMB should encourage agencies
These revisions will bring the ethnicity responses be tabulated? to share this information publicly.
terminology in SPD 15 more up to date, Æ What will be the best practices and Statistical agencies may still create their
will more clearly explain that flexibilities for tabulating detailed data? own action plan alongside the unified
respondents should select more than • Concern about individuals that department plan to provide more detail
one category when appropriate, and select multiple response categories on various data collection efforts and
greatly increase the consistency and being grouped into one ‘‘multiple race dissemination plans.
clarity of the minimum category or ethnicity’’ category, resulting in (b) Existing Federal agency-conducted
definitions. respondents with very different racial or -sponsored data collection efforts that
and ethnic identities being placed into include data on race and ethnicity shall
5. Implementation Guidance
the same category and in less be made consistent with the revised
Working Group’s Initial Proposals. information being released about the SPD 15 within four years of its
The Working Group requested public population’s diversity; publication. New Federal data
input on how to best implement • The importance of guidance on collections that include data on race and
revisions to SPD 15. It listed several flexibility and best practices on how to ethnicity will adhere to the revised SPD
related issues including dates agencies tabulate detailed categories based on the 15 immediately.
must meet as they incorporate revisions; population or sample size; and Recommendations for improving the
statistical methods to connect data • The limitations of proxy or collection and reporting practices for
produced from previous and revised observational data and the importance race and ethnicity data.
collection formats; approaches for of clearly acknowledging those (c) When the collection of race and
collecting race and ethnicity limitations. Several expressed how ethnicity is done through visual
information by proxy when self- these forms of data collection are observation, require the use of the
identification is not possible; minimum reporting categories but do
approaches for reporting data for 37 A comprehensive review of public input on not require the collection of detailed
respondents who select more than one this initial proposal can be found in the Working race and ethnicity. Respondent self-
Group’s Annex 4, available on the Federal Register,
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race or ethnicity; obtaining OIRA https://www.federalregister.gov/, by searching for


identification should be facilitated to
approval under the PRA to revise ‘‘OMB–2023–0001’’. the greatest extent possible.
existing collections; and best practices 38 Currently most civil rights reporting in practice

for communicating SPD 15 revisions to (not by SPD 15 guidance) is tabulated such that 39 Refer to the Working Group’s final report and

stakeholders. Refer to Section C, Part 5 Hispanic or Latino responses supersede any race its Annex 3 to learn more about the Working
response. Hispanic or Latino responses are Group’s research and analysis that ultimately led to
of the January 2023 FRN 36 for tabulated separately and race is only tabulated and these recommendations, available on the Federal
reported for non-Hispanic or Latino respondents. Register, https://www.federalregister.gov/, by
36 88 FR 5383. Office of Management and Budget, supra note 8. searching for ‘‘OMB–2023–0001’’.

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(d) When data are not self-reported, but all programs are required to bring from the Working Group and OMB’s
encourage agencies to transparently their collections into compliance within decisions.
describe how the data were collected or the five-year implementation period.
Order of Minimum Categories
generated, and how nonresponse or OIRA will use the PRA review process
other missing data were assigned or to ensure that agencies adopt these Summary of Public Input. The 1997
allocated. Federal agencies and revisions in a timely manner. revision of SPD 15 does not dictate the
researchers should make it a practice to order in which the minimum categories
(c) OMB accepts without modification
identify when data collections of race are displayed. Agencies generally order
this recommendation to exempt data
and ethnicity are intentionally designed alphabetically or by population size;
collected through visual observation however, both approaches have received
to collect proxy responses, observational from requirements to collect detailed
data, or employ a combination of self- criticism. The Working Group asked
data. The revised SPD 15 further what order, alphabetical or by
identification, visual observation, and specifies that wherever possible, race
other collection methods. population size, is preferred and why;
and ethnicity data should be collected or what alternative approach would be
(e) With respect to tabulation, require
through self-report. recommended. The comments
that the seven minimum race and
ethnicity reporting categories be treated (d) OMB accepts this recommendation addressing this subject agreed on
co-equally, by not using different to encourage agencies to transparently ordering alphabetically, as this seemed
tabulation approaches or rules for describe race and ethnicity data with the easiest way to order the categories
different categories in the same table. the following modifications: For and would be the least likely to be
Additionally, require that tabulation statistical survey reporting, agencies are perceived as motivated by non-
procedures used by Federal agencies required, rather than encouraged, to statistical preferences.41
result in the production of as much transparently describe whether race and Working Group’s Final
information on race and ethnicity as ethnicity data are self-reported or Recommendation. The Working Group
possible, including data on people collected by proxy, along with any did not make a recommendation on this
reporting more than one race and/or imputation or coding procedures. With topic, citing insufficient research.
ethnicity. However, Federal agencies respect to other agency products, Members of the Working Group raised
shall not present data on detailed agencies are strongly encouraged to concerns that alphabetical ordering
categories and specific Multiracial and/ provide this information whenever could lead to measurement error if
or Multiethnic populations if doing so possible. OIRA will continue to review respondents scanning the question
would compromise data quality or agency PRA requests to ensure that race quickly see the term ‘‘American’’ in the
respondent privacy. and ethnicity data are collected by self- AIAN category and mistakenly select
OMB Decisions. report whenever possible. that category to indicate American
(a) OMB accepts this recommendation identity, even if they do not identify as
(e) OMB accepts this recommendation
to require an Action Plan on Race and American Indian or Alaska Native.
to require agencies to treat the race and
Ethnicity Data with the following OMB Decision. OMB concurs with the
ethnicity categories co-equally with the Working Group’s determination that
modifications: Based on input from
following clarifications: With respect to there is not sufficient evidence at this
Federal agencies, each agency’s Action
collection, the seven minimum race and time to justify requiring a specific
Plan on Race and Ethnicity Data is
ethnicity categories shall be treated co- ordering for presentation, and SPD 15
required within 18 months of
equally, except if a program or will continue to provide agencies
publication of this Notice, rather than
collection effort focuses on a specific flexibility on how to order the response
the recommended 12 months. This will
racial or ethnic group, as approved by categories on information collections so
provide more time for agencies to
OIRA. Collection forms may not that future research can inform the
coordinate across programs and engage
indicate to respondents that they should optimal approach to ordering response
stakeholders and data providers to
interpret some categories as ethnicities options. Note that all examples in this
submit a more specific Action Plan to
OMB. Agencies do not need to wait for and others as races, or otherwise revision to SPD 15 will be shown with
their Action Plans to be complete to indicate conceptual differences among alphabetically-ordered minimum
start implementing the revisions the minimum categories. Similarly, with response categories.
wherever possible. To improve respect to tabulation and presentation,
the seven minimum race and ethnicity Terms for Minimum Categories
transparency, agencies must make their
Action Plans publicly available upon categories shall also be treated co- Summary of Public Input. The FRN
submission to OMB. equally, which means that when asked for suggestions for different terms
(b) OMB accepts this recommendation tabulating and presenting data, agencies for any of the current minimum race
to create a deadline for implementation may not use different tabulation and ethnicity categories. There were no
with the following modification: Based approaches or rules for different prominent themes for such specific
on input from Federal agencies, the categories within the same table. Again, changes. Input from the public included
deadline for compliance with this an exception may be granted, if a requests to add Caribbean and Sub-
revised SPD 15 is five years after the program or collection effort focuses on Saharan African minimum response
publication of this Notice, rather than a specific racial or ethnic group, as categories, separate from African
the recommended four years. Most approved by OIRA. American; retire the use of the term
programs will be able to, and should, 6. Additional Topics ‘‘African American;’’ broaden the AIAN
category title to signal inclusion of all
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implement revisions sooner than the


five-year deadline for compliance. Section C, Part 5 of the January 2023 indigenous people of the Americas;
Certain programs that involve FRN 40 posed several additional remove ‘‘color’’ words in category titles
interconnected data across multiple questions for the public. This section
agencies or offices, or that rely on data presents public input on these topics, as 41 A comprehensive review of public input on

well as any associated recommendations this question can be found in the Working Group’s
collected and provided by non-Federal Annex 4, available on the Federal Register, https://
entities, may take longer to implement www.federalregister.gov/, by searching for ‘‘OMB–
than programs like statistical surveys, 40 88 FR 5383. 2023–0001’’.

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(i.e., Black and White) and replace with when collecting and coding responses, noted that additional stakeholder
regional terms; create South Asian and what term best describes this population engagement is also needed.45
Southeast Asian minimum response group (e.g., is the preferred term OMB Decision. OMB concurs with
categories; and add categories related to ‘American Descendants of Slavery,’ this recommendation and the Working
contextualized Hispanic or Latino ‘American Freedmen,’ or something Group’s determination that further
heritage, such as Mestizo, Afro-Latino, else)? How should this group be research is needed. Individuals and civil
or Trigueño.42 A comprehensive review defined? Should it be collected as a rights groups disagreed on whether or
of public input on this question can be detailed group within the ‘Black or how to implement this potential
found in the Working Group’s Annex 4. African American’ minimum category, revision. We note that the revised SPD
Working Group’s Final or through a separate question or other 15 does not prohibit agencies from
Recommendation. The Working Group approach?’’ asking additional questions related to
recommends preserving the existing The majority of the public input on race, ethnicity, ancestry, or other related
minimum category titles in SPD 15, but this subject expressed support for concepts, including descent from
also recommends future research, adding a category or question to identify persons who were enslaved in the
stakeholder engagement, and descendants of persons enslaved in the United States. We also note that the
consultation on legal requirements to United States. There was support for revised SPD 15 maintains the long-
explore whether the names of minimum terms including: Foundational Black standing position that the race and/or
categories should be revised and, if so, American, American Descendant of ethnicity categories are not to be used as
how.43 Slavery, American Freedman or determinants of eligibility for
OMB Decision. OMB concurs with Freedman, Black American, African- participation in any Federal program.
these recommendations and will American, and Negro or American
maintain existing category titles. Negro; however, there was disagreement Additional Comments Not Covered
Continuity in the category titles about which term is preferred. Above
supports more consistent and Commenters described the importance Finally, the Working Group and OMB
comparable data over time. Therefore, of collecting these data and the value for welcomed other comments and
the only changes to the minimum data users and policymakers, pointed to suggestions on any other ways SPD 15
category titles will be the addition of the existing research that shows differences could be revised to produce more
MENA category and the removal of in outcome measures, like income and accurate and useful data.
‘‘Other’’ from the ‘‘Native Hawaiian and wealth, and stated that descendants of Some comments suggested adding a
Other Pacific Islander’’ category title. persons who were enslaved in the box for people to choose not to identify.
With regard to concerns with the AIAN United States are ethnically distinct OMB maintains the current practice of
category title, OMB recognizes the need from African immigrants. not allowing agencies to provide a
for further research and reiterates the Other commenters, including civil specific response option for ‘‘prefer not
importance of ensuring that major rights groups, opposed the collection of to respond,’’ in order to maximize the
revisions to the question format, such as these data. Commenters expressed quality, usefulness, and consistency of
substantially changing a category title, concern about the difficulty of verifying Federal race and ethnicity data. We note
are based on rigorous research and that identification is accurate, the that with very few exceptions, provision
public input to avoid inadvertently usefulness or necessity of the data, the of race and ethnicity information is
affecting population estimates, creating exclusion of other groups of historically voluntary for respondents.
breaks in series, or confusing enslaved people, and the creation of Other commenters asked OMB to
respondents. OMB also notes that SPD confusion that could make the Black or revise the category definitions to
African American community harder to
15 is not intended to measure Tribal include an exhaustive list of
count. Related, there was also concern
enrollment or the status of Tribes. The nationalities and their associations with
about potential harm to the full and
revisions to the category definition are the minimum categories for use in
accurate count of the Black or African
intended to improve estimates of the coding write-in responses. Aligned with
American population, particularly Black
AIAN population in Federal statistics, the Working Group’s recommendations
or African American immigrants. The
and are not intended to in any way on category definitions, OMB’s revisions
comments noted the lack of in-depth
diminish or otherwise affect the do not establish an exhaustive coding
research and engagement with the
political relationship between the list that associates all possible
diverse Black or African American
sovereign Tribes and the Federal nationalities with one or more of the
community on terminology, definition,
Government. minimum race and ethnicity categories.
and data collection and coding protocol,
as well as implications on the counts of While the minimum category
Collecting Data Related to Descent From
other Black or African American definitions and detailed categories in
Persons Who Were Enslaved in the
diasporic populations.44 this revision to SPD 15 rely heavily on
United States
Working Group’s Final the concept of nationality, OMB
Summary of Public Input. The FRN recognizes that nationality is one of
Recommendation. The Working Group
asked, ‘‘How can Federal surveys or several components that contribute to
did not recommend disaggregation of
forms collect data related to descent racial and ethnic identity. The standards
the Black or African American category
from enslaved peoples originally from in SPD 15 are intended to facilitate
by descent from persons who were
the African continent? For example, enslaved in the United States. They individual identity to the greatest extent
possible while still enabling the creation
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42 A comprehensive review of public input on


identified the disaggregation of Black or
African American population groups as of consistent and comparable data. OMB
this question can be found in the Working Group’s
Annex 4, available on the Federal Register, https:// a priority area for future research and specifies in this revision to SPD 15 that
www.federalregister.gov/, by searching for ‘‘OMB– when coding write-in data, agencies
2023–0001’’. 44 A comprehensive review of public input on
43 Refer to the Working Group’s final report and 45 Refer to the Working Group’s final report and
this question can be found in the Working Group’s
its Annexes 1 and 5 to learn more, available on the Annex 4, available on the Federal Register, https:// its Annex 1 to learn more, available on the Federal
Federal Register, https://www.federalregister.gov/, www.federalregister.gov/, by searching for ‘‘OMB– Register, https://www.federalregister.gov/, by
by searching for ‘‘OMB–2023–0001’’. 2023–0001’’. searching for ‘‘OMB–2023–0001’’.

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must adopt practices that maximize inclusive language, for example by purposes. The categories in these
comparability between data collected on researching methods for ensuring standards are understood to be socio-
forms and surveys with and without complete and accurate estimates of political constructs and are not an
write-in fields to ensure the people who identify as Afro-Latino. attempt to define race and ethnicity
comparability of race and ethnicity data 3. How to collect high quality and biologically or genetically. They are not
across Federal datasets. useful data related to descent from to be used as determinants of eligibility
Some commenters expressed that SPD persons who were enslaved in the for participation in any Federal
15 is not revised often enough to stay United States, including research on program. The standards do not require
current with shifts in demography and terminology, question design, data any agency or program to collect race
identity. In response, OMB commits to quality, and willingness to provide and ethnicity data; rather they provide
undertaking regular reviews of SPD 15 these data. a common language for uniformity and
as described in Section D of this notice. 4. The optimal order of presentation comparability in the collection and use
Some commenters requested the for minimum categories, including of race and ethnicity data by Federal
addition of new minimum categories, research on rates of data entry error, agencies.
such as a Mediterranean or Italian burden, and respondent preference. The standards have seven minimum
category, distinct from the White 5. Collecting race and ethnicity categories for data on race and ethnicity:
category. Other commenters also consistently across different languages American Indian or Alaska Native,
requested the addition of specific and translations of the question. Asian, Black or African American,
checkboxes for a variety of nationalities 6. Evaluating the detailed checkboxes Hispanic or Latino, Middle Eastern or
not covered in the initial proposals. as demographics shift over time for their North African, Native Hawaiian or
OMB’s revisions to SPD 15 add only ability to generate useful, high-quality Pacific Islander, and White.
one new minimum category, Middle data.
7. How respondents interpret each of 1. Categories and Definitions
Eastern or North African, the addition of
which is supported by many years of the SPD 15 categories and definitions, The minimum categories for data on
research, testing, and stakeholder and the combined race and/or ethnicity race and ethnicity for Federal statistics,
engagement. OMB will continue to question in general, along with potential program administrative reporting, and
monitor SPD 15 for its effectiveness, and modifications to minimum category civil rights compliance reporting are
regular reviews will include names. defined as follows:
consideration of potential new 8. How to better align the AIAN American Indian or Alaska Native.
minimum categories. category title with its definition while Individuals with origins in any of the
Some commenters requested preserving data quality, for example by original peoples of North, Central, and
increasing the maximum characters in exploring the use of a more inclusive South America, including, for example,
the American Indian or Alaska Native title such as ‘‘Indigenous peoples of the Navajo Nation, Blackfeet Tribe of the
write-in field. OMB chose not specify in Americas.’’ Blackfeet Indian Reservation of
SPD 15 the length of the write-in fields It is expected that the list of important Montana, Native Village of Barrow
or how these data are collected in order research topics to examine before the Inupiat Traditional Government, Nome
to allow agencies the flexibility to next review will grow as agencies begin Eskimo Community, Aztec, and Maya.
continue the use of paper forms when implementing these new standards over Asian. Individuals with origins in any
necessary and to adopt new data the coming years. OMB commits to of the original peoples of Central or East
collection practices that may minimize establishing an Interagency Committee Asia, Southeast Asia, or South Asia,
burden, such as using drop-down on Race and Ethnicity Statistical including, for example, Chinese, Asian
menus. When collecting write-in data, Standards, to be convened by the Chief Indian, Filipino, Vietnamese, Korean,
agencies should seek to minimize Statistician of the United States, that and Japanese.
will maintain and carry out a Black or African American.
burden to respondents and provide as
Government-wide research agenda and Individuals with origins in any of the
much space as feasible to support
undertake regular reviews of SPD 15. Black racial groups of Africa, including,
complete and accurate responses.46
These reviews will take place on a 10- for example, African American,
D. Topics for Future Research year cycle and will include opportunity Jamaican, Haitian, Nigerian, Ethiopian,
The Working Group and OMB for public input. The review will result and Somali.
in a recommendation to the Chief Hispanic or Latino. Includes
identified several areas that require
Statistician of the United States as to individuals of Mexican, Puerto Rican,
further research before the next review
whether or not OMB should undertake Salvadoran, Cuban, Dominican,
of SPD 15.
a revision of SPD 15. Notwithstanding Guatemalan, and other Central or South
1. What data processing procedures,
this regular review cycle, OMB may American or Spanish culture or origin.
such as coding, editing, and imputation Middle Eastern or North African.
practices, maximize the comparability decide at any time to initiate a review
Individuals with origins in any of the
of data collected across the Federal of SPD 15.
original peoples of the Middle East or
Government when using different Richard L. Revesz, North Africa, including, for example,
combined question formats, for example Lebanese, Iranian, Egyptian, Syrian,
Administrator, Office of Information and
between collections with and without Regulatory Affairs. Iraqi, and Israeli.
write-in fields. Native Hawaiian or Pacific Islander.
2. How to encourage respondents to Standards for Maintaining, Collecting,
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Individuals with origins in any of the


select multiple race and/or ethnicity and Presenting Federal Data on Race original peoples of Hawaii, Guam,
categories when appropriate by and Ethnicity Samoa, or other Pacific Islands,
enhancing question design and This Statistical Policy Directive including, for example, Native
46 A comprehensive review of public input can be
provides the standards for maintaining, Hawaiian, Samoan, Chamorro, Tongan,
found in the Working Group’s Annex 4, available
collecting, and presenting race and Fijian, and Marshallese.
on the Federal Register, https://www.federal ethnicity data for all Federal White. Individuals with origins in any
register.gov/, by searching for ‘‘OMB–2023–0001’’. information collection and reporting of the original peoples of Europe,

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22192 Federal Register / Vol. 89, No. 62 / Friday, March 29, 2024 / Notices

including, for example, English, Guatemalan, Another group (for additional categories can be aggregated
German, Irish, Italian, Polish, and example, Colombian, Honduran, into the minimum categories. Any other
Scottish. Spaniard, etc.) variation to the detailed categories must
2. Question Format Middle Eastern or North African: be specifically authorized by the Office
Lebanese, Iranian, Egyptian, Syrian, of Management and Budget (OMB)
Combined question: A combined race Iraqi, Israeli, Another group (for through the Paperwork Reduction Act
and ethnicity question is required for example, Moroccan, Yemeni, Kurdish, (PRA) information collection approval
both self-response and proxy data etc.) process. In those cases where the data
collection. Respondents shall be offered Native Hawaiian or Pacific Islander: collection is not subject to the
a single combined race and ethnicity Native Hawaiian, Samoan, Chamorro, information collection approval process,
question that allows them to select one Tongan, Fijian, Marshallese, Another a direct request for a variance shall be
category or multiple categories. A single group (for example, Chuukese, Palauan, made to OMB through the Office of
selection will be considered a complete Tahitian, etc.) Information and Regulatory Affairs
response (e.g., Hispanic or Latino
White: English, German, Irish, Italian, (OIRA).
respondents are not required to select an
Polish, Scottish, Another group (for Question instruction. Respondents
additional category).
example, French, Swedish, Norwegian, shall be offered the option of selecting
Detailed responses: The revised SPD
etc.) one or more racial and ethnic
15 requires the collection of detailed
data on race and ethnicity beyond the Whenever possible, the ‘‘Another designations. The question instructions
minimum categories, unless an agency group’’ detail category checkboxes will vary depending on whether there is
determines that the potential benefit of should be replaced with write-in fields a write-in field or if there are detailed
the detailed data would not justify the that allows respondents to self-identify categories. For questions with detailed
additional burden to the agency and the as shown in Figure 1 below. Providing categories and no write-in fields, the
public or the additional risk to privacy a write-in field is especially critical for question instructions should read:
or confidentiality, and therefore the American Indian or Alaska Native ‘‘What is your race and/or ethnicity?
requests an exemption from OIRA. In category, which does not have required Select all that apply.’’ When write-in
those cases, Federal agencies must at detailed categories under these fields are provided, the instructions
least use the minimum categories and standards. The instructions for the should read: ‘‘What is your race and/or
justify this determination in the write-in boxes should read ‘‘Enter, for ethnicity? Select all that apply and enter
agency’s PRA information collection example,’’ followed by the examples additional details in the spaces below.’’
review package. In cases where the data listed in parentheses above. For the When collecting only the minimum
collection is not subject to the American Indian or Alaska Native
categories, the question instructions
information collection approval process, category, the instructions for the write-
should read ‘‘What is your race and/or
a direct request for a variance shall be in option should read: ‘‘Enter, for
ethnicity? Select all that apply.’’
made to OMB through the Office of example, Navajo Nation, Blackfeet Tribe
Information and Regulatory Affairs of the Blackfeet Indian Reservation of Examples. The following three figures
(OIRA). Respondents must be offered Montana, Native Village of Barrow provide illustrative examples of
the following detailed categories for the Inupiat Traditional Government, Nome question formats that comply with SPD
corresponding minimum categories: Eskimo Community, Aztec, Maya, etc.’’ 15. The standards do not specify the
Asian: Chinese, Asian Indian, Instead of the detailed categories order that responses must be presented,
Filipino, Vietnamese, Korean, and listed above and shown in Figure 1, but agencies typically order the
Japanese, Another group (for example, agencies may use the detailed categories responses alphabetically, as shown, or
Pakistani, Hmong, Afghan, etc.) employed by the U.S. Census Bureau’s by population size. SPD 15 envisions
Black or African American: African most recently fielded American that whenever possible agencies will
American, Jamaican, Haitian, Nigerian, Community Survey. Any disaggregated collect race and ethnicity data with a
Ethiopian, Somali, Another group (for data collected in addition to the detailed question format that includes the
example, Trinidadian and Tobagonian, categories presented here (for example, required minimum categories
Ghanian, Congolese, etc.) a drop-down list for the American disaggregated by the required detailed
Hispanic or Latino: Mexican, Puerto Indian or Alaska Native category) must categories as illustrated in Figure 1.
Rican, Salvadoran, Cuban, Dominican, be organized in such a way that the BILLING CODE 3110–01–P
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Federal Register / Vol. 89, No. 62 / Friday, March 29, 2024 / Notices 22193

Figure 1. Race and Ethnicity Question with Minimum Categories, Multiple Detailed

Checkboxes, and Write-In Response Areas with Example Groups

What is your race and/or ethnicity?


Select all that apply and enter additional details in the spaces below.

□ American Indian or Alaska Native - Enter, for example, Navajo Nation,


Blackfeet Tribe of the Blackfeet Indian Reservation of Montana, Native Village of
Barrow lnupiat Traditional Government, Nome Eskimo Community, Aztec, Maya, etc.

D Asian - Provide details below.


□ Chinese □ Asian Indian □ Filipino
□ Vietnamese □ Korean □ Japanese
Enter, for example, Pakistani, Hmong, Afghan, etc.

D Black or African American - Provide details below.


□ African American □ Jamaican □ Haitian
□ Nigerian □ Ethiopian □ Somali
Enter, for example, Trinidadian and Tobagonian, Ghanaian, Congolese, etc.

D Hispanic or Latino - Provide details below.


□ Mexican □ Puerto Rican □ Salvadoran
□ Cuban □ Dominican □ Guatemalan
Enter, for example, Colombian, Honduran, Spaniard, etc.

D Middle Eastern or North African - Provide details below.


□ Lebanese □ Iranian □ Egyptian
□ Syrian □ Iraqi □ Israeli
Enter, for example, Moroccan, Yemeni, Kurdish, etc.

□ Native Hawaiian or Pacific Islander - Provide details below.


□ Native Hawaiian □ Samoan □ Chamorro
□ Tongan □ Fijian □ Marshallese
Enter, for example, Chuukese, Palauan, Tahitian, etc.

D White - Provide details below.


□ English □ German □ Irish
□ Italian □ Polish □ Scottish
Enter, for example, French, Swedish, Norwegian, etc.
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When an agency receives an OIRA it may use a format that includes only the minimum categories, as shown in
exemption from collecting detailed data, Figures 2 and 3.
EN29MR24.000</GPH>

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22194 Federal Register / Vol. 89, No. 62 / Friday, March 29, 2024 / Notices

Figure 2. Race and Ethnicity Question with Minimum Categories Only and Examples

What is your race and/or ethnicity?


Select all that apply.
□ American Indian or Alaska Native
For example, Navajo Nation, Blackfeet Tribe of the Blackfeet Indian Reservation
of Montana, Native Village of Barrow lnupiat Traditional Government,
Nome Eskimo CommunitY, Aztec, Maya, etc.

□ Asian
For example, Chinese, Asian Indian, Filipino, Vietnamese, Korean, Japanese, etc.

□ Black or African American


For example, African American, Jamaican, Haitian, Nigerian, Ethiopian, Somali, etc.

□ Hispanic or Latino
For example, Mexican, Puerto Rican, Salvadoran, Cuban, Dominican, Guatemalan, etc.

□ Middle Eastern or North African


For example, Lebanese, Iranian, Egyptian, Syrian, Iraqi, Israeli, etc.

□ Native Hawaiian or Pacific Islander


For example, Native Hawaiian, Samoan, Chamorro, Tongan, Fijian, Marsha/Iese, etc.

□ White
For example, English, German, Irish, Italian, Polish, Scottish, etc.

Figure 3. Race and Ethnicity Question with Minimum Categories Only

What is your race and/or ethnicity?


Select all that apply.
□ American Indian or Alaska Native

□ Asian

□ Black or African American

□ Hispanic or Latino

□ Middle Eastern or North African

□ Native Hawaiian or Pacific Islander


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□ White
EN29MR24.002</GPH>

BILLING CODE 3110–01–C


consistency with other datasets may be Agencies should provide these
When using the minimum categories improved by providing the respondent examples when feasible over the
EN29MR24.001</GPH>

only, the quality of the data and with examples as shown in Figure 2. example in Figure 3 without examples.

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Federal Register / Vol. 89, No. 62 / Friday, March 29, 2024 / Notices 22195

3. Data Collection and Editing Agencies should also maintain and approach. The following is an example
Procedures provide this information for of the tabulation categories for this
With respect to collection, the seven administrative, grant, and compliance- approach:
minimum race and ethnicity categories related data collections whenever • American Indian or Alaska Native
shall be treated co-equally except if a feasible. Agencies should use the alone or in combination
program or collection effort focuses on terminology in this section when • Asian alone or in combination
a specific racial or ethnic group, and describing the method of collection and • Black or African American alone or in
only as approved by OIRA. Collection should make it a practice to describe the combination
forms may not indicate to respondents method of data collection in any reports • Hispanic or Latino alone or in
on data collection design or methods. combination
that they should interpret some
When coding write-in data, imputing • Middle Eastern or North African alone
categories as ethnicities and others as
missing data, or otherwise editing or in combination
races, or otherwise indicate conceptual responses, agencies must adopt
differences among the minimum • Native Hawaiian or Pacific Islander
practices that maximize comparability alone or in combination
categories. between data collected on forms and
The mode of data collection may offer • White alone or in combination
surveys with and without write-in Approach 2. The most frequent
additional options for collecting fields. Doing so will improve the
detailed data. In electronic modes of multiple responses approach reports as
comparability of race and ethnicity data
collection, for example, agencies may many possible race and ethnicity
across Federal datasets. For statistical
use multiple screens to collect detailed combinations as possible. For example,
survey reporting, agencies must
data. The minimum reporting categories an agency could report the seven
maintain records on data processing
may be collected on an initial screen minimum race and ethnicity categories
procedures (such as coding, editing, and
and detailed data for each minimum alone, as well as race and ethnicity
imputation practices), and must make
reporting category the respondent combinations meeting a specific
that information available to data users
selected may be collected on follow up population threshold or combinations of
to allow them to evaluate the utility,
screens, whether through checkboxes, particular interest, or all observed
objectivity, and integrity of the data.
drop down menus, write-in areas, or combinations of multiple race and
Agencies should also maintain and
another method. provide this information for ethnicity groups. The percentages will
If detailed race and ethnicity data are administrative, grant, and compliance sum to 100 percent because the
collected in an interviewer- related data collections whenever response categories are mutually
administered setting, the minimum feasible. exclusive. The following is an example
categories should be asked first, treating of possible tabulation categories for this
each category as a yes/no question, 4. Presentation of Data on Race and approach:
followed by the detailed categories Ethnicity • American Indian or Alaska Native
associated with the selected minimum The tabulation procedures used by alone
categories. Federal agencies must result in the • Asian alone
The method of data collection has production of as much information on • Black or African American alone
implications for the quality and fitness race and/or ethnicity as possible, • Hispanic or Latino alone
for use of the resulting data. Wherever including data on people reporting • Middle Eastern or North African alone
possible, race and/or ethnicity data multiple categories. However, Federal • Native Hawaiian or Pacific Islander
should be collected through self-report, agencies must not release race and alone
where the respondents directly provide ethnicity data if doing so would violate • White alone
their own race and/or ethnicity. In cases agency or Federal policies designed to • American Indian or Alaska Native
where self-report is not possible, data ensure data quality or protect and Hispanic or Latino
may be collected by proxy reporting, respondent privacy or confidentiality. • American Indian or Alaska Native
where a person knowledgeable of When data are presented, Federal and White
another’s race and/or ethnicity responds agencies are encouraged to use one or • Asian and Native Hawaiian or Pacific
on their behalf; by record matching, more of the three approaches below. Islander
where existing records on an individual Approach 1. The alone or in • Asian and White
that contain their race and/or ethnicity combination approach combines all • Black or African American and
are used to supply the information; or individuals belonging to a particular Middle Eastern or North African
by observer identification, where an racial or ethnic group (whether alone or • Black or African American and White
observer uses their best judgement of in combination with another racial or • Hispanic or Latino and Black or
the most appropriate race and/or ethnic group). For example, a African American
ethnicity categories in which to report respondent who reported being both • Hispanic or Latino and White
an individual. White and Black or African American • Middle Eastern or North African and
When data are collected through would fall into both the ‘‘White alone or Asian
visual observation, agencies are not in combination’’ category and the • Middle Eastern or North African and
required to collect detailed categories ‘‘Black or African American alone or in White
and are encouraged to instead use the combination’’ category. This practice • Native Hawaiian or Pacific Islander
minimum categories. For statistical has been in place since the 1997 and Black or African American
• Native Hawaiian or Pacific Islander
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survey reporting, agencies must revision of SPD 15 and is useful if the


maintain records on the mode and goal is capturing all people who might and White
method of data collection, and how face a given life experience (e.g., • All additional Multiracial and/or
nonresponse or other missing data were increased risk of a disease or Multiethnic groups
assigned or allocated, and must make discrimination). Percentages across the Approach 3. The combined
that information available to data users categories sum to greater than 100 Multiracial and/or Multiethnic approach
to allow them to evaluate the utility, percent because the response categories presents data for those reporting one of
objectivity, and integrity of the data. are not mutually exclusive in this the seven race and/or ethnicity

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22196 Federal Register / Vol. 89, No. 62 / Friday, March 29, 2024 / Notices

categories alone, and then combines all b. General Program Administrative and public through their websites at the time
other respondents reporting multiple Grant Reporting of submission to OMB.
race and/or ethnicity categories into an These standards shall be used for all [FR Doc. 2024–06469 Filed 3–28–24; 8:45 am]
aggregated Multiracial and/or Federal administrative reporting or BILLING CODE 3110–01–P
Multiethnic category. This approach record keeping requirements that
will often obscure the specific racial and include data on race and ethnicity.
ethnic diversity of the population (e.g., Agencies that cannot follow these OFFICE OF MANAGEMENT AND
over half of the population who identify standards must request a variance from BUDGET
as American Indian or Alaska Native OIRA. Variances will be considered if
and Native Hawaiian or Pacific Islander Request for Information: Responsible
the agency can demonstrate that it is not
may be assigned to the Multiracial and/ Procurement of Artificial Intelligence in
reasonable for the primary reporter to
or Multiethnic group). Therefore, Government
determine race and ethnicity in terms of
Federal agencies should use this the specified minimum categories, or AGENCY: Office of Management and
approach in conjunction with another that the specific program is directed to Budget.
approach (like Approaches 1 or 2) to only one or a limited number of races ACTION: Request for information:
comply with the requirement to report and ethnicities.
as much information on race and responsible procurement of artificial
ethnicity as possible, including data for c. Civil Rights and Other Compliance intelligence in government.
respondents who reported more than Reporting SUMMARY: This request for information
one race and/or ethnicity category. The These standards must be used by all on the responsible procurement of
percentages in this approach will sum to Federal agencies for civil rights and artificial intelligence is being issued
100 percent because the response other compliance reporting from the concurrently with the release of the
categories are mutually exclusive. The public and private sectors and all levels OMB Memorandum titled Advancing
following illustrates the tabulation of government. Any variation requiring Governance, Innovation, and Risk
categories used for this approach: less detailed data or data which cannot Management for Agency Use of
• American Indian or Alaska Native be aggregated into the minimum Artificial Intelligence (the ‘‘AI M-
alone categories must be specifically approved memo’’). Executive Order 14110, Safe,
• Asian alone by OIRA. Secure, and Trustworthy Development
and Use of Artificial Intelligence,
• Black or African American alone 6. Effective Date
directed OMB within 180 days of the
• Hispanic or Latino alone The provisions of these standards are issuance of the AI M-memo to develop
• Middle Eastern or North African alone effective March 28, 2024 for all new an initial means to ensure that agency
• Native Hawaiian or Pacific Islander record keeping or reporting contracts for the acquisition of AI
alone requirements that include race and systems and services align with the
ethnicity data. All existing record guidance provided in the AI M-memo
• White alone keeping or reporting requirements and advance the other aims identified in
• Multiracial and/or Multiethnic should be made consistent with these the Advancing American AI Act (‘‘AI
With respect to tabulation and standards through a non-substantive Act’’).
presentation, regardless of approach, the change request as soon as possible, or at DATES: Responses to this request for
seven minimum race and ethnicity the time they are submitted for information will be accepted for
categories shall be treated co-equally extension or revision to OIRA under the consideration until April 29, 2024.
except if a program or collection effort PRA, but not later than March 28, 2029.
ADDRESSES: Responses must be
focuses on a specific racial or ethnic Within 18 months of publication of
these standards, the Chief Financial submitted electronically through
group, and as approved by OIRA. When regulations.gov. Mailed paper
tabulating and presenting data, agencies Officers Act Agencies and the U.S.
Equal Employment Opportunity submissions will not be accepted, and
must use a consistent approach across electronic submissions received after
all categories within a single table. If Commission 47 must submit to OMB,
through their agency Statistical Officials the deadline may not be considered.
categories must be combined in order to Instructions: Federal eRulemaking
reach sample size thresholds for and in coordination with their agency’s
Portal: Go to www.regulations.gov to
reporting, those combinations should be Chief Data Officer, Evaluation Officer,48
submit your comments electronically.
labeled with the list of combined Senior Agency Officials for Privacy, and
Information on how to use
categories rather than with ‘‘other.’’ other agency officials as appropriate, an
Regulations.gov, including instructions
Action Plan on Race and Ethnicity Data
5. Use of the Standards for Record for accessing agency documents,
describing how they intend to bring
Keeping and Reporting submitting comments, and viewing the
their agency collections and
docket, is available on the site under
a. Statistical Reporting publications into compliance with these
‘‘FAQ’’ (https://www.regulations.gov/
standards by March 28, 2029. Agencies
faq).
These standards shall be used for all must make these plans available to the Privacy Act Statement: OMB is
Federally sponsored statistical data
issuing this request for information
collections that include data on race and 47 The U.S. Equal Employment Opportunity

Commission does not currently have a Statistical (RFI) pursuant to Executive Order
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ethnicity. Any variation must be


Official and should submit their Action Plan 14110.1 Submission of comments in
specifically authorized by OIRA through through their Chief Data Officer. response to this RFI is voluntary.
the PRA information collection approval 48 These three agency officials make up the Data
Comments may be used to inform sound
process. In those cases where the data Governance Bodies established under OMB M–19–
23, Phase 1 Implementation of the Foundations for decision-making on topics related to
collection is not subject to the
Evidence-Based Policymaking Act of 2018: Learning
information collection clearance Agendas, Personnel, and Planning Guidance (July 1 E.O. 14110, Executive Order on Safe, Secure,
process, a direct request for a variance 10, 2019), available at https://www.whitehouse.gov/ and Trustworthy Development and Use of Artificial
must be made to OIRA. wp-content/uploads/2019/07/m-19-23.pdf. Intelligence.

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