Comment
CEI comments on NHTSA’s proposed SAFE III Rule to prevent automakers from being forced to produce and sell electric vehicles.
Dear Mr. Bayer, On behalf of the Competitive Enterprise Institute (CEI), thank you for the opportunity to submit comments on the National Highway…
Letters
Protecting Affordability and Innovation: Keep Prescriptive Rail Mandates Out of Surface Transportation Legislation
Dear Chair Graves, Ranking Member Larsen, Chair Cruz, and Ranking Member Cantwell, We are writing to oppose the inclusion of Railway Safety Act…
Letters
CEI Supports Federal Preemption to Address Fragmented State AI Laws and Protect U.S. Competitiveness
Comment
The Case for Expanding Offshore Leasing to Support Affordable and Reliable Energy
On behalf of the Competitive Enterprise Institute, I appreciate this opportunity to provide comments on the 11th National OCS Oil and Gas Leasing Program.
Letters
CEI Leads Coalition Commending Zeldin on His Leadership at the EPA
Dear Administrator Zeldin: The undersigned conservative organizations want to commend you for your leadership in 2025 and look forward to working with you…
Letters
CEI joins ATR in FCC rulemaking re ATSC 3.0 broadcast mandates: Urging a Continued Voluntary, Market-Driven Approach to Next Generation Television
Thank you for the opportunity to provide further comments on proposed “Next Generation” Broadcast Television Standards. We, the undersigned organizations, urge the Federal…