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CEI comments on Regulatory Reform on Artificial Intelligence
RE: Request for Information: Regulatory Reform on Artificial Intelligence Docket No.: OSTP-TECH-2025-0067 The Competitive Enterprise Institute (CEI) appreciates the opportunity to comment on the Office…
Comment
Comments urging withdrawal of Chopra CFPB open banking mandate
Dear Acting Director Vought: On behalf of the Competitive Enterprise Institute, I appreciate the opportunity to submit comments on RIN 3170-AB39, CFPB’s reconsideration of issues…
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CEI Comments on the FTC’s Draft Strategic Plan for FY 2026–2030: Supporting Balanced Enforcement, Evidence-Based Policymaking, and Regulatory Predictability
[Author’s correction: This comment incorrectly stated that the Federal Trade Commission’s Draft Strategic Plan for FY 2026-2030 failed to comply with the Foundations for Evidence-Based…
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CEI Comments on Section 232 National Security Investigation of Imports of Personal Protective Equipment, Medical Consumables, and Medical Equipment, Including Devices
Comments of the Competitive Enterprise Institute Dear Deputy Assistant Secretary Khersonsky, The Competitive Enterprise Institute (CEI) submits these comments in opposition to the use of…
Comment
CEI comments on the Justice Department and National Economic Council’s Request for Information Regarding State Laws with Extraterritorial Economic Impacts OLP182; Docket No. DOJ-OLP-2025-0169
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CEI Comments on EPA Proposed Rule “Reconsideration of 2009 Endangerment Finding and Greenhouse Gas Vehicle Standards”
Dear Mr. Stout: On behalf of the Competitive Enterprise Institute (CEI), we appreciate this opportunity to provide comments on the Environmental Protection Agency’s (EPA) proposed…