Blog
FTC’s Strategic Plan needs better strategy, more plans for Hart-Scott-Rodino
[Author’s correction: This blog post and comment incorrectly stated that the Federal Trade Commission’s Draft Strategic Plan for FY 2026-2030 failed to comply with the…
Comment
CEI Comments on the FTC’s Draft Strategic Plan for FY 2026–2030: Supporting Balanced Enforcement, Evidence-Based Policymaking, and Regulatory Predictability
[Author’s correction: This comment incorrectly stated that the Federal Trade Commission’s Draft Strategic Plan for FY 2026-2030 failed to comply with the Foundations for Evidence-Based…
Blog
HSR hibernation: Will the FTC PNO see its shadow during government shutdown?
It’s time for DC to find a real groundhog that can assist in determining if the government will shut down to replace the taxidermied…
Comment
CEI comments on the Justice Department and National Economic Council’s Request for Information Regarding State Laws with Extraterritorial Economic Impacts OLP182; Docket No. DOJ-OLP-2025-0169
Blog
Messy merger math and the congressional fix
The Department of Justice’s Antitrust Division has offered a glimpse into premerger enforcement activities over the past six months. In February 2025, the new Hart-Scott-Rodino…
Comment
CEI Comments on Proposed Social Media Rulemaking
On behalf of the Competitive Enterprise Institute (CEI), I appreciate the opportunity to comment on the social media rules proposed by the Attorney General’s Office:…