Letters
Carbon Tariff Coalition Letter
Dear Members of Congress:As the Senate Environment and Public Works Committee is reportedly going to mark-up the PROVE IT Act (S. 1863) this week, the…
Letters
NTU Coalition Letter on Important Needed Tax Reforms
Dear Majority Leader Schumer, Speaker Johnson, Minority Leader McConnell and Minority Leader Jeffries, On behalf of the undersigned organizations who represent the interests of taxpayers,…
Comment
FCC: Safeguarding and Securing the Open Internet, Notice of Proposed Rulemaking, 88 Fed. Reg. 76048
The Competitive Enterprise Institute (“CEI”) respectfully submits these comments in response to the Notice of Proposed Rulemaking (“NPRM”) adopted on October 19, 2023, in the…
Comment
Comments to EPA SNPR for Power Plant Rule
Dear Mr. Fellner: I appreciate this opportunity to provide comments on the supplemental notice of proposed rulemaking for the proposed rule “New Source Performance Standards…
Comment
CEI Comments on Safeguarding and Securing the Open Internet
The Competitive Enterprise Institute (“CEI”) respectfully submits these comments in response to the Notice of Proposed Rulemaking (“NPRM”) adopted on October 19, 2023, in the…
Legal Brief
Reason Et Al. Netchoice Amicus Brief
INTRODUCTION AND INTEREST OF AMICI CURIAE Social media companies, large or small, offer privately owned and mediated spaces for people to associate and exchange ideas…
Comment
OMB Proposed Memorandum on Advancing Governance, Innovation, and Risk Management for Agency Use of Artificial Intelligence.
December 5, 2023 Docket ID: OMB–2023–0020 Proposed Memorandum for the Heads of Executive Departments and Agencies: Advancing Governance, Innovation, and Risk Management for Agency Use…
Comment
Comments on Proposed Memorandum for the Heads of Executive Departments and Agencies: Advancing Governance, Innovation, and Risk Management for Agency Use of Artificial Intelligence
To Shalanda D. Young, Director of the Office of Management and Budget: The Competitive Enterprise Institute (CEI) is a non-profit public interest organization committed to…
Comment
Comments RE: Docket No. FDA–2023–N–2177 for “Medical Devices; Laboratory Developed Tests
I am an attorney with the Competitive Enterprise Institute. The Competitive Enterprise Institute is a non-profit research and advocacy organization that focuses on regulatory policy.
Comment
Comment to FAST-41 Steering Council on reducing scope of mining industry
John G. CossaGeneral CounselFederal Permitting Improvement Steering Council1800 M St. NW, Suite 6006Washington, DC 20036 Submitted via Regulations.gov November 22, 2023 RE: Permitting Council Docket…
Letters
CEI Joins Letter on Joint Employer CRA
Dear Member of Congress, Small business needs protection. As you are aware, the National Labor Relations Board (NLRB) issued their final rule “Standard for Determining…
Testimony
Testimony before the Senate HELP Committee, November 14, 2023
Chairman Sanders, Dr. Cassidy, ladies and gentlemen of the committee, thank you for the opportunity to speak today. My name is Sean Higgins and I…
Comment
Comment on notice of proposed rulemaking: Defining and Delimiting the Exemptions for Executive, Administrative, Professional, Outside Sales, and Computer Employees
Dear Ms. DeBisschop: I am an attorney with the Competitive Enterprise Institute. I was a senior policy advisor in Department of Labor’s Wage and Hour…
Testimony
Ben Lieberman Testimony: Hearing on “Burdensome Regulations: Examining the Effects ofDepartment of Energy Regulations on America’s Job Creators.”
Chair Williams, ranking member Velazquez, and members of this committee, thank you for the opportunity to testify today. My name is Ben Lieberman and I…
Comment
Comment on WHD NPRM on executive, administrative, and professional exemption
Amy DeBisschop Division of Regulations, Legislation, and Interpretation Wage and Hour Division, U.S. Department of Labor 200 Constitution Ave. NW, Room S–3502, Washington, D.C. 20210…
Letters
Coalition Letter to End IRA Prescription Drug Price Controls
October 31, 2023 Dear Members of Congress, When the Inflation Reduction Act was passed and signed into law a year ago, the legislation granted the…
Testimony
Regulatory streamlining in Pennsylvania would boost opportunities for state residents
Introduction Good morning, members of the Senate Majority Policy Committee. My name is James Broughel and I am a senior fellow at the Competitive Enterprise…
Legal Brief
Brief of Amicus Curiae : SEC v. Jarkesy
In Securities and Exchange Commission v. Jarkesy, CEI attorneys argued that the SEC’s practices could not be reconciled with a proper understanding of the Seventh…
Comment
CEI comments on NHTSA’s proposed Corporate Average Fuel Economy Standards
Thank you for the opportunity to comment on the National Highway Traffic Safety Administration’s (NHTSA’s) proposed corporate average fuel economy (CAFE) standards for passenger cars…
Comment
Conflicts of Interest Associated with the Use of Predictive Data Analytics by Broker-Dealers and Investment Advisers
October 10, 2023 Docket ID: Release Nos. 34-97990, IA-6353, File No. S7-12-23 To the Honorable Gary Gensler, Chair of the Securities and Exchange Commission, and…
Comment
CEI Comments on National Environmental Policy Act Implementing Regulations Revisions Phase 2
To Brenda Mallory, Chair of the Council on Environmental Quality: The Competitive Enterprise Institute (CEI) is a non-profit public interest organization committed to advancing the…
Comment
CEI Comments on Proposed NEPA Implementing Regulations
Thank you for the opportunity to comment on Phase 2 of the Council on Environmental Quality’s (CEQ’s) proposed revision of its National Environmental Policy Act…
Comment
Comments on the Department of Energy’s Proposed Energy Conservation Standards for Residential Water Heaters
I. INTRODUCTION The undersigned free market and consumer organizations have a longstanding interest in bringing to light the deleterious consequences of federal regulations, which are…
Comment
Comments of the Competitive Enterprise Institute
September 26, 2023 RE: Premerger Notification; Reporting and Waiting Period Requirements Docket ID No.: FTC-2023-0040-0001 On behalf of the Competitive Enterprise Institute (CEI), we respectfully…
Comment
CEI’s James Broughel Comments on Proposed Guidance for Assessing Changes in Environmental and Ecosystem Services in Benefit-Cost Analysis
September 18, 2023 Docket ID: OMB–2022–0016 Request for Comments on Proposed Guidance for Assessing Changes in Environmental and Ecosystem Services in Benefit-Cost Analysis Comments Prepared…
Comment
CEI Comments on FTC-DOJ Merger Guidelines
September 15, 2023 RE: FTC-DOJ Merger Guidelines Matter No.: P859910 The authors of this submission first want to thank the Federal Trade Commission (FTC) and…
Testimony
CEI’s Marlo Lewis testifies before Natural Resources subcommittee on examining systemic government overreach at CEQ
Testimony of Marlo Lewis, Jr.Senior Fellow in Energy and Environmental Policy Competitive Enterprise Institute (CEI)on“Examining Systemic Government Overreach at CEQ” before Natural Resources…
Testimony
CEI’s Ben Lieberman testifies before Energy and Commerce Committee on DOE efficiency standards for home appliances
Committee on Energy and Commerce Subcommittee on Energy, Climate, and Grid Security U.S. House of Representatives 2123 Rayburn House Office Building…
Testimony
The Disproportionate Burden of Federal Regulation on Small Businesses
Submission to the U.S. Senate Committee on Small Business & Entrepreneurship Hearing on “One Size Does Not Fit All: Understanding the Importance of Rightsizing Regulations…
Letters
Dismantling the Inflation Reduction Act green Subsidies Coalition Letter
August 16, 2023Dear Members of Congress:On the first anniversary of enactment of the so-called Inflation Reduction Act (IRA), the undersigned organizations strongly urge you to…
Comment
CEI Comments on the EPA’s CO2 Powerplant Emission Performance Standards
Thank you for the opportunity to comment on the Environmental Protection Agency’s (EPA’s) proposed greenhouse gas (GHG) emission standards and guidelines for new and existing…
Legal Brief
Brief of Amicus Curiae : Loper Bright Enterprises v. Raimondo
Comment
Procedures for Previously Exempt State and Local Government Employee Complaints of Employment Discrimination under Section 304 of the Government Employee Rights Act of 1991, RIN 3046-AB09
Submitted via Regulations.gov RE: Procedures for Previously Exempt State and Local Government Employee Complaints of Employment Discrimination under Section 304 of the Government Employee Rights…
Comment
Comment on Energy Conservation Standards for Dishwashers
I. SUMMARY The proposed rule would tighten the energy and water efficiency standards for residential dishwashers, despite the fact that the standards currently in effect…
Letters
Letter of Support on the Small Business Regulatory Reduction Act and the POST IT Act
Letters
CEI Co-Leads Coalition Letter on Railroad Safety Act
Dear Members of Congress: The undersigned individuals write to express concerns with the Railway Safety Act (S. 576). Safety advancement in any mode of…
Letters
Letter of Support on H.R. 890 and H.R. 3230
Comment
Energy Conservation Program: Energy Conservation Standards for Dishwashers; Notice of proposed rulemaking and request for comment
Action Notice of proposed rulemaking and request for comment. Summary The Energy Policy and Conservation Act, as amended (“EPCA”), prescribes energy conservation standards for various…
Comment
Marlo Lewis CEI Comments on EPA’s Greenhouse Gas Motor Vehicle Standards
Thank you for the opportunity to comment on the Environmental Protection Agency’s (EPA’s) proposed greenhouse gas (GHG) emission standards for model years (MYs) 2027-2032 passenger…
Comment
Comment Extension Request, OMB-2022-0014
Dear Administrator Revesz:The Competitive Enterprise Institute (CEI) respectfully requests that the Office of Information and Regulatory Affairs (OIRA) extend the comment period by at least…
Letters
CEI Joins Coalition Letter in Opposition of S. 1838 and H.R. 3881 Credit Card Competition Act (CCCA)
Dear Members of Congress: We, the undersigned organizations and individuals, oppose the inaccurately named Credit Card Competition Act of 2023 (S. 1838 and H.R.
Letters
CEI Joins Coalition Opposing the Protecting the Right to Organize (PRO) Act
Dear Chairman Sanders; Ranking Member Cassidy; and Members of the Senate Committee on Health, Education, Labor and Pensions – On behalf of the millions of…
Comment
CEI Comments on Proposed OMB Circular No. A-4
RE: Request for Comments on Proposed OMB Circular No. A-4, “Regulatory Analysis”, 88 FR 20915 (Apr. 7, 2023), Docket OMB-2022-0014 Dear Mr. Revesz, I am…
Comment
OMB’s Problematic Circular A-4 Rewrite
OUTLINE Discard the pro-regulatory bias of the federal government Restore regulatory streamlining prior to Circular A-4 rewrite Restore the $100 million threshold for regulation…
Comment
CEI Comments on Proposed Circular A-4, Regulatory Analysis
Dear Administrator Revesz: I appreciate this opportunity to provide comments on the proposed Circular A-4, “Regulatory Analysis.”1 The focus of my comments is on the…
Comment
CEI Comments on OMB’s Revision of Circular A-4 Regulatory Accounting Guidelines
Thank you for the opportunity to submit comments on the Office of Management and Budget’s (OMB’s) Draft for Public Review of its proposed update of…
Letters
CEI Joins Coalition Letter Supporting Efforts to Stop Tobacco Prohibitions in Ag Approps Bill
Chairwoman Granger and Ranking Member DeLauro, The undersigned organizations representing millions of consumers and taxpayers support Sections 768 and 769 of the Fiscal Year 2024…
Comment
Comments to the Office of Management and Budget on the proposed draft update to Circular A-4: Regulatory Analysis
The Competitive Enterprise Institute (CEI) is a non-profit public interest organization committed to advancing the principles of free markets and limited government. CEI has a…
Legal Brief
Moore v. United States Reply Brief
No. 22-800 In The Supreme Court of the United States CHARLES G. MOORE and KATHLEEN F. MOORE, Petitioners, v. United States of America, Respondent. On…
Comment
CEI Comments on Docket ID No. EPA–HQ–OAR–2018–0794
Dear Ms. Benish: I appreciate this opportunity to submit comments on the proposed Mercury and Air Toxics Standards (MATS) for power plants. Attached please find…