Blog
CEI Submits Comments on Biden Administration Proposal to Repeal Trump Auto Rule Enforcing Preemption of California Motor Vehicle CO2 Regulations
On Friday, June 11, the Competitive Enterprise Institute (CEI), joined by eight other free market organizations, submitted comments on the National Highway Traffic…
Comment
Marlo Lewis Comment to the SEC on Climate Risk Disclosure
View Full Document as PDF Comments of the Competitive Enterprise Institute, Caesar Rodney Institute, Committee for a Constructive Tomorrow (CFACT), Energy…
Comment
Docket No. NHTSA-2021-0030 Marlo Lewis CEI free market groups 6-11-2021
View Full Document as PDF Comments of the Competitive Enterprise Institute, American Energy Alliance, Americans for Tax Reform, Freedom Works, Caesar…
Blog
NHTSA Proposes to Repeal Preemption of California’s GHG Vehicle Regulations
The comment period opens today for the National Highway Traffic Safety Administration’s (NHTSA) notice of proposed rulemaking (NPRM) to repeal portions of the…
Blog
CEI Submits Comments on Federal Energy Regulatory Commission Consideration of Greenhouse Gases in Natural Gas Facility Permitting
CEI submitted comments yesterday addressing seven questions posed by the Federal Energy Regulatory Commission (FERC) on how the Commission should consider environmental…
Comment
CEI Comments on Federal Energy Regulatory Commission Consideration of Greenhouse Gases in Natural Gas Facility Permitting
View Full Document as PDF Thank you for the opportunity to comment on the Federal Energy Regulatory Commission’s Notice of Inquiry…