The provisions of S.B. 384 would ultimately chill protected speech by mandating the disclosure of donors to organizations that are engaged solely in issue ...
The provisions of H.B. 278 would ultimately chill protected speech by mandating the disclosure of donors to organizations that are engaged solely in issue ...
On October 9, 2014, the Commission issued an Advance Notice of Proposed Rulemaking in Response to McCutcheon v. FEC, 134 S. Ct. 1434 (2014). ...
Just over a year ago, the Internal Revenue Service (IRS) and Department of Treasury published a notice of proposed rulemaking (NPR) for the stated ...
The undersigned advocacy organizations are writing to express concerns about a portion of your investigation into the interactions between the Natural Resources Defense Council ...
CCP would like to comment on some practical and constitutional concerns that we sincerely hope the Task Force will address in their discussion of ...
Nonetheless, as explained in more detail below, there are far too many activities for which the Project fails to provide sufficient clarity to exempt ...
I write on behalf of the Center for Competitive Politics (“CCP”), a nonpartisan § 501(c)(3) organization dedicated to promoting and protecting First Amendment political ...
Dear Commissioners: We are writing this letter as individuals who, in various capacities but over many years, have experience with the interpretation and administration of ...
Mr. Chairman and members of the Committee, thank you for the opportunity to testify on behalf of the Center for Competitive Politics today on ...