Letters
Coalition Letter on DCA Perimeter Rule
Dear Chairwoman Cantwell and Ranking Member Cruz: We write to inform you that we support expanding the number of flights permitted in and out of…
Comment
Comment on FTC Unfair or Deceptive Fees
Dear Commissioners, On behalf of the Competitive Enterprise Institute, I respectfully submit the following comments in response to the Federal Trade Commission’s proposed rulemaking concerning…
Comment
CEI comments on SEC’s proposed adoption of NYSE listing standards for “Natural Asset Companies”
TO: Securities and Exchange Commission FROM: Stone Allen Washington; Research Fellow at the Competitive Enterprise Institute RE: No. SR-NYSE-2023-09 To the Honorable Gary Gensler,…
Letters
Coalition Letter on American Consumer Institute – Risk Transfer
Chief Counsel’s Office Attention: Comment Processing, Office of the Comptroller of the Currency 400 7th Street SW, Suite 3E–218 Washington, DC 20219 Ann E. Misback…
Comment
CEI Comments on SEC Proposed Rule Change to Amend the NYSE Listed Company Manual
January 17, 2024 Docket ID: Release Nos. 34-99225, File No. SR-NYSE-2023-09 Self-Regulatory Organizations; New York Stock Exchange LLC; Order Instituting Proceedings to Determine Whether…
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…