ICLE Response to the AI Accountability Policy Request for Comment
I. Introduction: How Do You Solve a Problem Like ‘AI’? On behalf of the International Center for Law & Economics (ICLE), we thank the National . . .
I. Introduction: How Do You Solve a Problem Like ‘AI’? On behalf of the International Center for Law & Economics (ICLE), we thank the National . . .
I. Introduction On behalf of the International Center for Law & Economics (ICLE), we thank the Federal Communications Commission (FCC or the Commission) for the . . .
Introduction and Executive Summary We appreciate the opportunity to comment on the Commission’s Notice of Proposed Rulemaking regarding non-compete clauses, Matter No. P201200 (“NPRM”).[1] The . . .
As alumni of the Federal Trade Commission, we are providing these comments in response to the agency’s proposed Non-Compete Clause Rule. As we explained in . . .
Comment on Mastercard Incorporated; Matter No. 201 0011 Commissioners, I am an expert on the law & economics of payment cards and have written extensively . . .
Executive Summary The Federal Trade Commission (“FTC”) has issued an Advanced Notice of Proposed Rulemaking (“ANPR”) on “Commercial Surveillance and Data Security,”[1] initiating a proceeding . . .
We thank the U.S. Treasury Department for the opportunity to participate in this Request for Comment on “Ensuring Responsible Development of Digital Assets.” Docket No. TREAS-DO-2022-0018 Submitted: November 3, 2022
A preview of the response ICLE is preparing to the FTC's 95-question advance notice of rulemaking on "commercial surveillance and data security."
ICLE’s reply comments on the Further Notice of Proposed Rulemaking (FNPRM) in the Matter of Accelerating Wireline Broadband Deployment by Removing Barriers to Infrastructure Investment.