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CEI Feedback on Clarifying Laws Around Cryptocurrency and Blockchain Technologies
Competitive Enterprise Institute 1310 L Street NW, 7th Floor Washington, DC 20005 U.S. Senate Committee on Banking, Housing, and Urban Affairs 534 Dirksen Senate Office…
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CEI Comments on Revised 2023 and Later Model Year Light-Duty Vehicle Greenhouse Gas Emissions Standards Proposed Rule
Environmental Protection Agency, Revised 2023 and Later Model Year Light-Duty Vehicle Greenhouse Gas Emissions Standards, Proposed Rule, 83 FR 43726 (August 10, 2021) Docket ID:…
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CEI’s Devin Watkins Comments on DOE’s Dishwasher Rulemaking
Hello, my name is Devin Watkins from the Competitive Enterprise Institute. It was CEI’s petition for rulemaking that caused the Department of Energy to create…
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Comments to DOE Regarding Water Use Limits For Showers
Docket Number EERE-2021-BT-STD-0016; Energy Conservation Program: Definition of Showerhead; Notice of Proposed Rulemaking And Public Meeting 86 FR 38,594 (July 22, 2021) Comments Submitted by…
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Comments to the CMA in re: Facebook/GIPHY merger
Submitted to the Inquiry via [email protected], 1 September 2021 Thank you for the opportunity to submit comments in the matter of the Competition and…
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Comments to EPA Regarding the American Innovation and Manufacturing (AIM) Act
Docket No. EPA-HQ-OAR-2021-0044; Phasedown of Hydrofluorocarbons: Establishing the Allowance Allocation and Trading Program Under the American Innovation and Manufacturing Act; Proposed Rule 86 FR 27,150…
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CEI Comments on SAFE 1 Rule – Docket ID No. EPA-HQ-OAR-2021-0257
Thank you for the opportunity to submit comments on the Environmental Protection Agency’s (EPA) reconsideration[1] of Part One of the Trump administration’s Safer Affordable…
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Comments On OMB Technical Support Document on Social Cost of Carbon
View Full Document as PDF Office of Management and Budget Notice of Availability and Request for Comment on “Technical Support Document: Social Cost…
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Public Input on Climate Change Disclosures: Questions for Consideration
View Full Document as PDF Dear Commissioner Lee, Please find below comments from the Competitive Enterprise Institute (CEI) in response to selected questions…
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Marlo Lewis Comment to the SEC on Climate Risk Disclosure
View Full Document as PDF Comments of the Competitive Enterprise Institute, Caesar Rodney Institute, Committee for a Constructive Tomorrow (CFACT), Energy and Environment…
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Docket No. NHTSA-2021-0030 Marlo Lewis CEI free market groups 6-11-2021
View Full Document as PDF Comments of the Competitive Enterprise Institute, American Energy Alliance, Americans for Tax Reform, Freedom Works, Caesar Rodney Institute,…
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CEI Comments to Federal Energy Regulatory Commission Regarding Creation of the Office of Public Participation
View Full Document as PDF Re: Docket Number AD21-9-000: Federal Energy Regulatory Commission, Creation of the Office of Public Participation Comments of the…
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CEI Comments on Federal Energy Regulatory Commission Consideration of Greenhouse Gases in Natural Gas Facility Permitting
View Full Document as PDF Thank you for the opportunity to comment on the Federal Energy Regulatory Commission’s Notice of Inquiry (NOI) on…
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Competitive Enterprise Institute Letter In Opposition To Withdrawal of Independent Contractor Status Final Rule
View Full Document as PDF On behalf of the Competitive Enterprise Institute (CEI), I respectfully submit the following comments in response to the…
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Comments to Financial Crimes Enforcement Network on Regulation of Cryptocurrency Wallets
View Full Document as PDF Comments of the Competitive Enterprise Institute To the Financial Crimes Enforcement Network In the matter of…
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CEI Comment on NASDAQ Board Diversity Proposal
View Full Document as PDF Comment of Richard MorrisonResearch Fellow, Competitive Enterprise Institute[1]To the Securities and Exchange Commission In the…
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CEI Comments on OCC Proposed Rule on “Fair Access to Financial Services”
View Full Document as PDF Dear Ms. Boyes: On behalf of the Competitive Enterprise Institute (CEI), I submit this comment letter in opposition…
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CEI Comments on FERC Proposed Wholesale Carbon Pricing Policy
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CEI Comments to DOE on Proposed Change to Shower Regulations
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Comment on Employee Benefits Security Administration Proposed Rule “Fiduciary Duties Regarding Proxy Voting and Shareholder Rights”
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CEI Comments on Federal Housing Finance Agency’s Proposed Regulatory Capital Framework
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CEI Comments on BCA Rule
Thank you for the opportunity to comment on the Environmental Protection Agency’s proposed benefit-cost analysis (BCA) rule.[1] Codifying best practices for BCA, as…
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Comment on Employee Benefits Security Administration Proposed Rule “Financial Factors in Selecting Plan Investments”
The Department of Labor’s move to safeguard the retirement future of beneficiaries of pension funds governed by the Employee Retirement Income Security Act of 1974…
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CEI Comments on EPA’s Proposed Review of the National Ambient Air Quality Standards for Particulate Matter
Thank you for the opportunity to comment on EPA’s review of the national ambient air quality standards (NAAQS) for particulate matter (PM). EPA proposes to…
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CEI Comments on NERA Petition Concerning Unlawful Wholesale Sales
The Competitive Enterprise Institute (CEI) is a public policy and analysis organization committed to advancing the principles of free markets and limited government. We are…
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CEI Comments on EPA Transparency Rule
The Competitive Enterprise Institute (CEI) strongly supports EPA’s effort to increase transparency in scientific research underlying agency rules and research. CEI detailed in a 2018…
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CEI Comments on EPA’s Supplemental Notice of Proposed Rulemaking : EPA Transparency Rule
Thank you for the opportunity to comment on the Environmental Protection Agency’s (EPA) Supplemental notice of proposed rulemaking (SNPR)[1] on its proposal…
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CEI Comments on SEC Proposed Rules to Restrict Investor Access to Certain Funds
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CEI Comments to OST on ACPA NPRM
On behalf of the Competitive Enterprise Institute (“CEI”), I respectfully submit these comments in response to the Office of the Secretary of Transportation’s (“OST”) Notice…
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Prepared Statement of Dr. Benjamin Zycher and Dr. Patrick J. Michaels on S. 2754, “American Innovation and Manufacturing Act of 2019”
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Comments of the Competitive Enterprise Institute on S. 2754, the American Innovation and Manufacturing Act of 2019 Senate Committee on Environment and Public Works April 6, 2020
The Competitive Enterprise Institute is a public policy and analysis organization committing to advancing the principles of free markets and limited government. We have raised…
Comment
CEI Comments on Proposed Updated NEPA Procedural Regulations
Thank you for the opportunity to comment on the Council on Environmental Quality’s (CEQ) proposed update of National Environmental Policy Act (NEPA) procedural regulations.
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CEI Comments on 5.9 to FCC
On behalf of the Competitive Enterprise Institute (“CEI”), we respectfully submit these comments in response to the Federal Communications Commission’s (“Commission”) Notice…
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Questions for the Record
The Honorable John Shimkus (R-IL) Is it true that the replacements for HFCs are more expensive than their counterparts? If so, what impact will this…
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CEI Comments on Intermediate Bodies Rule
Dear Director Rosenfield, On behalf of the Competitive Enterprise Institute, I respectfully submit the following comments. Founded in 1984, the Competitive Enterprise Institute is a…
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Michelle Minton Testimony on Flavored Tobacco Products
Thank you for giving the public an opportunity to provide input as you consider this proposal. I sincerely hope you listen to the testimony you’ll…
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Testimony of Ben Lieberman Before House Subcommittee on Environment and Climate Change
Chairman Tonko, Ranking Member Shimkus, and Members of this subcommittee, thank you for this invitation to speak today at this hearing on H.R. 5544, the…
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Comments on Proposed Rule Securing the Information and Communications Technology and Services Supply Chain
On behalf of the Competitive Enterprise Institute (“CEI”), we are pleased to provide the following comments on the Department of Commerce’s proposed regulation concerning the…
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Supplemental Testimony: “Trump’s Wrong Turn on Clean Cars”
Thank you, again, Chairman Rouda and Ranking Member Comer, for inviting me to testify at the Subcommittee’s October 29, 2019 hearing titled “Trump’s Wrong Turn…
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CEI Comments on Energy Conservation Standards for General Service Incandescent Lamps
The undersigned free market organizations have a longstanding interest in bringing to light the deleterious consequences of regulations, which are often neglected by federal agencies…
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Trump’s Wrong Turn on Clean Cars
Chairman Rouda, Ranking Member Comer, and Members of the House Government Oversight Subcommittee on Environment, thank you for inviting me to speak today at this…
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CEI Comments on FMCSA HOS NPRM
On behalf of the Competitive Enterprise Institute (“CEI”), I respectfully submit these comments in response to the Federal Motor Carrier Safety Administration’s (“FMCSA”) Notice of…
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CEI Leads Coalition to Comment in Support of EPA’s Proposed Rule Updating Regulations on Water Quality Certification
We write in support of the U.S. Environmental Protection Agency’s proposed rule, Updating Regulations on Water Quality Certification, 88 Fed. Reg. 44080, (August 22, 2019)…
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Testimony of Myron Ebell at the House Western Caucus Roundtable on the Endangered Species Act
Chairman Gosar and Members of the House Western Caucus, thank you for inviting me to speak today at this roundtable discussion on reforming and improving…
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CEI Comments Before the Bureau of Consumer Financial Protection on Proposed Rule on Debt Collection Practices
Thanks to the Bureau of Consumer Financial Protection’s extension of its deadline to comment on the proposed rule on debt collection practices, we take this…
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Marc Scribner Testimony before the Subcommittee on Highways and Transit of the U.S. House Committee on Transportation and Infrastructure
Chair Norton, Ranking Member Davis, and Members of the Subcommittee, thank you for giving me the opportunity to testify before you today. My name is…
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CEI Comments on NHTSA ADS-DV ANPRM
On behalf of the Competitive Enterprise Institute (“CEI”), I respectfully submit these comments in response to the National Highway Traffic Safety Administration’s (“NHTSA”) Advance Notice…
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CEI Leads Comment Letter on Council of Environmental Quality’s Draft National Environmental Policy Act Guidance on Consideration of Greenhouse Gases
Thank you for the opportunity to comment on the Draft National Environmental Policy Act Guidance on Consideration of Greenhouse Gas Emissions (Draft NEPA Guidance).
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CEI Comments on CFPB Proposed Rule on Debt Collection Practice
On behalf of the Competitive Enterprise Institute (“CEI"), we are pleased to provide the following comment letter on the Bureau of Consumer Financial Protection’s (“Bureau”…
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CEI Comments on DOL Labor Organization Annual Financial Reports for Trusts in Which a Labor Organization Is Interested
On behalf of the Competitive Enterprise Institute (CEI), I respectfully submit the following comments in response to the Department of Labor (DOL) Office of Labor-Management…
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CEI Correction Request under Information Quality Act Regarding HHS Scientific Assessment of Medical Marijuana
The Competitive Enterprise Institute (CEI) submits this request for correction of this agency’s 2015 scientific evaluation of medical marijuana. We submit this under the Information…
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CEI Comments to DOL on Overtime Rule
On behalf of the Competitive Enterprise Institute (CEI), we are pleased to submit the following comments on the Department of Labor’s (DOL) proposed rule on…
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CEI Letter for the Record to Consumer Protection and Commerce Subcommittee of the House Committee on Energy and Commerce on Auto Safety Hearing
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CEI Comments on CFPB Payday Loan Rule
View Full Document as PDF Introduction On behalf of the Competitive Enterprise Institute (“CEI”), I am pleased to provide the following comment…
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CEI Leads Coalition Letter to CFPB Regarding Proposed Rule on Payday, Vehicle Title, and Certain High-Cost Installment Loans
Dear Director Kraninger, The undersigned organizations write in strong support of the Bureau of Consumer Financial Protection’s decision to rescind portions of the Payday, Vehicle…
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CEI Comments on the Mercury Rule
Thank you for the opportunity to comment on the Environmental Protection Agency’s (EPA) reconsideration of its 2016 Supplemental Finding regarding the agency’s justification for its…
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CEI Joins Pacific Legal Foundation Comments on EPA/Army Corps 2019 Proposed Regulation Defining “Navigable Waters” under the Clean Water Act
Pacific Legal Foundation, Competitive Enterprise Institute, Oregon Cattlemen’s Association, and Washington Cattlemen’s Association are pleased to submit the following comments on the EPA and the…
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CEI Comments to FDA on Modifications to Compliance Policy for Certain Deemed Tobacco Products
Dear Dr. Gottlieb: The Competitive Enterprise Institute (CEI) welcomes the opportunity to offer the following comments on the Food and Drug Administration’s (FDA) proposed modifications…
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CEI Comments to the Surface Transportation Board in Support of AAR Petition
On behalf of the Competitive Enterprise Institute (“CEI”), I respectfully submit these comments to the Surface Transportation Board (“STB”) in support of Association of American…
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CEI Comments on Proposed Rule Decertification of Representatives
On behalf of the undersigned organizations, I respectfully submit these comments in response to the National Mediation Board’s (NMB) Proposed Rule on the Decertification of…
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Marc Scribner Testimony Before the Committee on Transportation and Infrastructure U.S. House of Representatives
Chairman DeFazio, Ranking Member Graves, and Members of the Committee, thank you for giving me the opportunity to testify before you today. My name is…
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Letter to EPA Administrator Wheeler on Bristol Bay Watershed Assessment
Letter in PDF March 20, 2019 Andrew Wheeler Administrator United States Environmental Protection Agency Washington, D.C. 20460 Re: Request for…
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CEI Comments on EPA’s Review of its Carbon Dioxide (CO2) Performance Standards for New Coal-fired Power Plants
Thank you for the opportunity to comment on the Environmental Protection Agency’s (EPA) review of its carbon dioxide (CO2) performance standards for new coal-fired power…
Comment
CEI and SEPP Comments on EPA’s 2009 Endangerment Finding
The Competitive Enterprise Institute (CEI) and the Science and Environmental Policy Project (SEPP) hereby file these comments in this proceeding in connection with their pending…
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CEI Comments on Volcker Rule Relief
On behalf of the Competitive Enterprise Institute (“CEI"), we are pleased to provide the following comments on the notice of proposed rulemaking to implement amendments…
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Marc Scribner Testimony Before the Committee on Ways and Means U.S. House of Representatives
Chairman Neal, Ranking Member Brady, and Members of the Committee, thank you for giving me the opportunity to testify before you today. My name is…
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Letter for the Record to the Senate Finance Committee on Senate Bill 252
Dear Chair Kelley and distinguished members of the Senate Finance Committee: Thank you for the opportunity to supplement the record of your hearing on Senate…
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Myron Ebell Testimony on the Green New Deal for Congressional Western Caucus Policy Forum
Chairman Gosar and Members of the House Western Caucus, Thank you for inviting me to speak today at this forum on the Green New Deal. …
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CEI Comments to the Bureau of Consumer Financial Protection Proposed Policy on No-Action Letters and Product Sandbox
On behalf of the Competitive Enterprise Institute (“CEI"), we are pleased to provide the following comment letter on the Bureau of Consumer Financial Protection’s (“Bureau,”…
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CEI Comments to OST on Vehicle-to-Everything Communications
View Full Document as PDF Introduction On behalf of the Competitive Enterprise Institute (“CEI”), I respectfully submit these comments in response to…
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CEI Comments to NLRB on Proposed Joint Employer Rulemaking
On behalf of the Competitive Enterprise Institute (CEI), I respectfully submit the following comments in response to the National Labor Relations Board’s (NLRB) Notice of…
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CEI Comments on FHWA on Patented and Proprietary Products
View Full Document as PDF Introduction On behalf of the Competitive Enterprise Institute (“CEI”), I respectfully submit these comments in response to…
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CEI Comments to NHTSA on Adaptive Driving Beam NPRM
On behalf of the Competitive Enterprise Institute (“CEI”), I respectfully submit these comments in response to National Highway Traffic Safety Administration’s (“NHTSA”) Notice of Proposed…
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CEI Comments on Automated Vehicles 3.0 Guidance
View Full Document as PDF Introduction On behalf of the Competitive Enterprise Institute (“CEI”), I respectfully submit these comments in response to…
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CEI Comments on NHTSA AV Pilot Program
On behalf of the Competitive Enterprise Institute (“CEI”), I respectfully submit these comments in response to the National Highway Traffic Safety Administration’s (“NHTSA”) Advance Notice…
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CEI Comments in Response to OST Regarding Impact of Automated Vehicle Technologies on Workforce
On behalf of the Competitive Enterprise Institute (“CEI”), I respectfully submit these comments in response to the Office of the Secretary of Transportation’s (“OST”) Request…
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CEI Comments on EPA ACE Rule
Among the CPP’s multiple legal flaws, one stands out as most bizarre. The CPP purports to establish carbon dioxide (CO2) emission performance guidelines for existing…
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CEI Comments on Joint DOT/EPA Proposed SAFE Vehicles Rule
The Competitive Enterprise Institute hereby submits these comments on the joint DOT/ EPA proposed SAFE Vehicles Rule. We support this proposal, which would (1) reduce…
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Testimony of Michelle Minton on Post-PASPA: An Examination of Sports Betting in America
Chairman Sensenbrenner, Ranking Member Jackson Lee and Members of the Subcommittee, thank you for the opportunity to present comments on behalf of my organization, the…
Comment
CEI Comments on Revision of the Regulations for Listing Species and Designating Critical Habitat
The Endangered Species Act has proven bad for wildlife because it is bad for people. The Act’s legislative language as passed by Congress is largely…
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CEI Comments on ESA Proposed Revisions of the Regulations for Prohibitions to Threatened Wildlife and Plants
The Endangered Species Act has proven bad for wildlife because it is bad for people. The Act’s legislative language as passed by Congress is largely…
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CEI Comments on the Federal Trade Commission’s Hearings Regarding Competition and Consumer Protection Policy
The Competitive Enterprise Institute (CEI) respectfully submits these comments regarding the Federal Trade Commission’s forthcoming hearings to consider whether evolving business models in the new…
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CEI Comments to the Council on Environmental Quality
These comments are respectfully submitted on behalf of the Competitive Enterprise Institute (CEI). CEI is a non-profit public policy research organization dedicated to advancing individual…
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CEI Comments In Support of EPA Transparency Rule
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CEI Comments In Support of EPA Transparency Rule
https://cei.org/content/epa-transparency-rule-will-bolster-science-and-improve-rulemakingThe Competitive Enterprise Institute supports the proposed Environmental Protection Agency (EPA) rule on “Strengthening Transparency in Regulatory Science,” which will promote transparency of scientific…
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CEI Comments on Labor Union Dues – Skimming of Medicaid Benefits
On behalf of the Competitive Enterprise Institute (CEI), I respectfully submit these comments in response to the Centers for Medicare & Medicaid Services (CMS) Notice…
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Testimony of Ryan Radia: The Need for U.S. Leadership on Digital Trade
Chairman Paulsen, Ranking Member Heinrich, and Members of the Committee, thank you for giving me the opportunity to testify before you today. My name is…
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Testimony of Jessica Melugin on the Supreme Court’s Wayfair Decision for the House Judiciary Committee
Thank you for the opportunity to submit testimony. I am Jessica Melugin, Associate Director of the Center for Technology and Innovation and the Competitive Enterprise…
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CEI Comments on the Regulation of Flavors in Tobacco Products
The Competitive Enterprise Institute (CEI) welcomes the opportunity to offer comments regarding the regulation of flavors in tobacco products.
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CEI Comments on The Federal Energy Regulatory Commission’s Notice of Inquiry Regarding the Certification of New Natural Gas Facilities
This comment letter addresses questions C3, C4, C6, and C7, which concern whether, and if so how, FERC should take into account greenhouse gas (GHG)…
Comment
CEI Comments on the CFPB’s Request for Information Regarding Adopted Regulations and New Rulemaking Authorities
On behalf of the Competitive Enterprise Institute (CEI), we are pleased to provide the following comments on the Bureau of Consumer Financial Protection’s (Bureau or…
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CEI Comments to FDA on Modified Risk Tobacco Product Applications
The Competitive Enterprise Institute (CEI) welcomes the opportunity to offer comments regarding modified risk tobacco product applications (MRTP), particularly in the case of the MRTP…
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Testimony of Myron Ebell on The Enhancing State Management of Federal Lands and Waters Act
View Full Document as PDF Chairman Gosar, Ranking Member Lowenthal, and members of the Committee: Thank you for inviting me to testify today…
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CEI Comments on The Bureau of Consumer Financial Protection’s RIF Regarding Rulemaking Processes
On behalf of the Competitive Enterprise Institute (CEI), we are pleased to provide the following comments on the Bureau of Consumer Financial Protection’s (bureau or…
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Testimony of Trey Kovacs: Union Time on the People’s Dime, a Closer Look at Official Time
CEI labor policy analyst Trey Kovacs testifies before the U.S. House Oversight and Government Reform's Subcommittee on Government Operations on the issue of official time in the federal workforce.
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CEI Comments on Federal Motor Carrier Safety Regulations
On behalf of the Competitive Enterprise Institute (“CEI”), I respectfully submit these comments in response to the Federal Motor Carrier Safety Administration’s (“FMCSA”) Request for…
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CEI Comments on Automation in the Railroad Industry to the Federal Railroad Administration
On behalf of the Competitive Enterprise Institute (“CEI”), I respectfully submit these comments in response to the Federal Railroad Administration’s (“FRA”) Request for Information on…
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CEI Comments on EPA’s Proposed Rule to Repeal the Clean Power Plan
View Full Document as PDF Docket ID No. EPA–HQ–OAR–2017–0355 Thank you for the opportunity to comment on the Environmental…
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Letter to the NLRB Office of Inspector General on Mark Gaston Pearce
View Full Document as PDF Dear Inspector General Berry: The Competitive Enterprise Institute respectfully requests the National Labor Relations Board Office of…
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CEI Petition to Department of Energy on Dishwasher Cycle Times
View Full Document as PDF The Competitive Enterprise Institute (CEI), submits this petition for rulemaking under 5 U.S.C. § 553(e). We request…