Comment on FR Doc # 2026-09165

R RaderSupportIndividual
Summary: The commenter supports the proposed rule to remove the requirement for FFLs to distribute paper Youth Handgun Safety Act notices. They argue that the ATF lacks the regulatory authority to impose such requirements and that the rule correctly removes an unauthorized administrative addition.
I support this proposed rule. ATF's regulatory authority must be limited to what Congress has actually authorized, and the GCA does not require FFLs to distribute paper Youth Handgun Safety Act notices with every handgun sale. There is no constitutional basis for ATF adding PSA distribution requirements, and therefore I support ATF removing requirements it lacked authority to impose in the first place. The YHSA's substantive provisions remain in effect. This rule correctly removes an unauthorized administrative add-on. I urge ATF to finalize it. RIN 1140-AA87.

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