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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…
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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…
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SEC Ignores the Easiest Way to Reduce Climate Policy Risks – Oppose the NetZero Agenda
The Security and Exchange Commission’s (SEC) rationale for its proposed climate risk-disclosure rule does not pass the laugh test. The SEC claims it…
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Time for a Sensible Sense of Congress Resolution on the Paris Agreement
National Journal yesterday confirmed what has become increasingly obvious since October 2021: “Biden’s Climate Goals Are in Peril.” The Democrat-controlled Congress has…
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Climate Police Occupy Wall Street
The Securities and Exchange Commission (SEC) on Monday, March 21, released its proposed rule to require every “registrant” (i.e., publicly-traded company) to provide…
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Further Thoughts on the Supreme Court’s Clean Power Plan Case
I heartily recommend the reply briefs by petitioners West Virginia and Westmoreland Mining Holdings, LLC in the Supreme Court’s Clean Power Plan…