at a tipping point where we not only need to continue to build on the defensive capability, but we have got to broaden our capabilities
In my opinion, this Managed Inclusion program is a reckless practice to take people who have not been through the proper vetting...
Let us not punish market participants who played no role in the financial crisis.
How is NNSA holding the people and organizations responsible for this incident accountable?
Please update us on the status of the Waste Isolation Pilot Plant in New Mexico subsequent to the events early last year that caused a radia...
Many of the Mies/Augustine recommendations align with similar efforts this committee has undertaken in the past: reducing transactional over...
What happens to NNSA's programs if you are hit with sequestration in FY16?
Fortunately, in September of last year, the Commission finalized a rule change that recognized Congressional concern.
Unfortunately, the CFTC's first shot at the 'special entity' rule contained onerous restrictions on ordinary risk management activities.
The CFTC must not arbitrarily change the swap dealer registration de minimis level without a formal rulemaking process.
If not corrected, the regulation of these transactions will have the effect of increasing companies' costs of doing business.