U.S. CHAMBER OF COMMERCE

Letters & Testimony

Letters & Testimony

Letters
The U.S. Chamber of Commerce (“the Chamber”) appreciates the opportunity to comment on the Council of Environmental Quality’s (“CEQ”) advance notice of proposed rulemaking (“ANPR”)1 as CEQ considers revising its regulations concerning the National Environmental Policy Act (“NEPA”).  
Letters

The U.S. Chamber of Commerce submits these comments regarding the Agency for Toxic Substances and Disease Registry’s (“ATSDR” or “Agency”) 2018 draft toxicological profile (“Draft Profile”) for perfluoroalkyls (“PFAS”).1  A number of Chamber members have produced PFAS in the past and ATSDR’s Draft Profile would adversely affect them.  It is imperative that Federal agencies base their policies and actions regarding PFAS on the best available science and weight of the scientific evidence... 

Letters

The U.S. Chamber of Commerce has long advocated for increased transparency and openness in the regulatory process at the U.S. Environmental Protection Agency.  The EPA has historically misinformed and misled the public by using inconsistent and opaque analytical and communication methods regarding costs and benefits. The Agency has not been transparent in how they have used those findings to inform its regulatory policy... 

Letters

The U.S. Chamber of Commerce submits these comments in support of the U.S. Environmental protection Agency’s (“EPA”) and U.S. Army Corps of Engineers’ (“the Corps;” collectively, “the Agencies”) supplemental proposal to rescind the 2015 definition of “Waters of the United States” (“2015 Rule”) and recodify the preexisting regulations and applicable guidance...

Letters
Dear Leader McConnell and Minority Leader Schumer: 
 
Our organizations, which represent nearly every sector of the U.S. economy, urge the Senate to pass H.R. 3359, the Cybersecurity and Infrastructure Security Agency Act of 2017. This legislation would deepen America’s increasingly maturing public-private efforts to safeguard cyberspace.