Comment
CEI Comments on Use of Orally Ingestible Unapproved Prescription Drug Products Containing Fluoride in the Pediatric Population
Dear Commissioner Makary, The Competitive Enterprise Institute (CEI) submits these comments in favor of the private use of fluoride supplements for children. CEI is a…
Comment
CEI comments on repealing DOE’s 1605(b) Regulations: Ending the Trojan Horse for Cap-and-Trade
Dear Mr. Taggert: On behalf of the Competitive Enterprise Institute (CEI), I respectfully submit these comments on the Department of Energy’s (DOE’s) proposed rule to…
Comment
CEI comments on CFPB: Rules of Practice for Adjudication Proceedings
Comment
CEI Comments on Reducing Anti-Competitive Regulatory Barriers
RE: Request for Public Comment Regarding Reducing Anti-Competitive Regulatory Barriers Docket No.: FTC-2025-0028 On behalf of the Competitive Enterprise Institute (CEI), we submit comments to…
Comment
CEI Comments to Department of Justice Anticompetitive Regulations Task Force
Dear Anticompetitive Regulations Task Force Members: We appreciate this opportunity to provide comments to the task force regarding anticompetitive laws and regulations. There is often…
Comment
CEI comments on proposed regulation of the Virginia Department of Labor and Industry
Re: Proposed regulation of the Department of Labor and Industry, “Local Government Union Requirements and Employee Protections” Dear Ms. Bernhardt: I appreciate the opportunity to…