Although the Commission’s proposal has many pitfalls and paradoxes, CCP notes some of the ones that stand out the most: The proposed changes would make ...
The Center for Competitive Politics (“CCP”) submits these comments in response to the revisions the Texas Ethics Commission (the “Commission”) made at its August ...
The Center for Competitive Politics (“CCP”) submits these comments in response to your office’s proposed changes to ARM § 44.10.301 et seq., as published ...
Those rules, if adopted, would make a number of unlawful changes to Ariz. Admin. Code R2-20-109(F). The latest version of the proposal appears either ...
CCP commends the Commission for continuing to proceed in the right direction with this rulemaking. The amendments the Commission adopted resolve some of the ...
The Center for Competitive Politics (“CCP”)[1] submits these comments in response to your office’s initial draft of its proposed changes to Montana’s campaign finance ...
The Center for Competitive Politics (“CCP”) submits these comments in response to the Commission’s May 14, 2015 proposed changes to its rules purporting to ...
The Center for Competitive Politics (“CCP”) submits these comments in response to the Texas Ethics Commission’s (the “Commission”) April 16, 2015 proposal to revise ...
The Center for Competitive Politics (“CCP”) submits these comments in response to the Petition for Rulemaking (the “Petition”) filed by Public Citizen on November ...
On behalf of the Center for Competitive Politics, I write to offer comments on the Notice of Proposed Rulemaking, Rules Concerning Campaign and Political ...