Dear Ms. Field, Mr. Tenaglia, Mr. Koses, and Ms. Jackson:
The U.S. Chamber of Commerce appreciates the opportunity to comment on the Federal Acquisition Regulatory Council’s proposal (“Proposed Rule”) to require significant and major contractors to make climate-related disclosures and to require major contractors to set targets to reduce greenhouse gas (“GHG”) emissions. Under the proposal, satisfying these requirements would be a condition of eligibility for federal government contracts.