Blog
The Many Arbitrary and Capricious Aspects of SEC’s Climate Risk Disclosure Rule
Yesterday (June 16), CEI submitted two comment letters to the Securities and Exchange Commission (SEC) on its proposed rule: “The Enhancement and Standardization of…
Comment
CEI Comments on Proposed SEC Rule: Enhancement and Standardization of Climate-Related Disclosures for Investors
Comments submitted by the Competitive Enterprise Institute et al. June 17, 2022 In the matter of the proposed rule “The Enhancement and Standardization of Climate-Related…
Blog
CEI Comments Explain Why FERC’s Greenhouse Gas Regulatory Policy Cannot Pass a Cost-Benefit Test
Today, the Competitive Enterprise Institute (CEI) filed comments on the Federal Energy Regulatory Commission’s (FERC) proposal to consider climate change impacts in reviews…
Comment
CEI Comments to Federal Energy Regulatory Commission: Docket No. PL21-3-000
Federal Energy Regulatory Commission, Order on Draft Policy Statements, March 24, 2022. Docket No. PL21-3-000 Comments submitted by Marlo Lewis, Patrick Michaels, and Kevin Dayaratna.
News Release
Final NEPA Rule Will Encourage Anti-Development Lawsuits Against Fossil Fuel Projects
The White House today released its final rule updating the National Environmental Policy Act (NEPA), the law governing permitting and environmental review for new federal…
American Energy Alliance
In the Pipeline, Daily Energy News
The American Energy Alliance cites Senior Fellow Marlo Lewis, Jr.’s “SEC Ignores the Easiest Way to Reduce Climate Policy Risks – Oppose the NetZero Agenda”…