Comment
CEI comments advising DOT to rescind Biden administration SAFE 1 Repeal Rule
Dear Mr. Cohen, On behalf of the Competitive Enterprise Institute (CEI), I respectfully submit these comments responsive to the Department of Transportation’s request for information…
Comment
CEI’s Comments to the Department of Transportation on Ensuring Lawful Regulation
Dear Mr. Cohen: The Department of Transportation’s above-captioned request for information seeks “public comment on how best to ensure lawful regulation and to achieve meaningful…
Comment
Competitive Enterprise Institute Letter in Support of DOT Request to Reduce Regulatory Burden
On behalf of the Competitive Enterprise Institute (CEI), I respectfully submit the following comments in response to the Department of Transportation’s (DOT) request for information,…
Comment
CEI Comments on Waters of the United States (WOTUS)
Dear Ms. Jensen and Mr. Boyd: I appreciate this opportunity to provide comments on the notice “Implementation of the Definition of Waters of the United…
Comment
Comment on Interim Final Rule, Removal of National Environmental Policy Act Implementing Regulations
Dear Council on Environmental Quality: I appreciate the opportunity to comment on the Council on Environmental Quality’s (CEQ) interim final rule removing its National Environmental…
Comment
CEI’s comment on NEPA removal regulations
Re: Docket No. CEQ–2025–0002, RIN 0331-AA10 Removal of National Environmental Policy Act Implementing Regulations, 90 Fed. Reg. 10,610 (Feb. 25, 2025). Dear Ms. Healy:…