Strategic Advocacy
The Strategic Advocacy division is comprised of several major policy divisions within the Chamber including theCyber, Space, and National Security Division; Economic Policy Division; Employment Policy Division; and Small Business Policy Division. Environmental Affairs and Sustainability, Health Policy, and Transportation and Infrastructure Policy are also under the umbrella of the Policy Group.
The division works closely with the Chamber's Congressional and Public Affairs and Political Affairs and Federation Relations divisions.
Latest Content
Various factors are relevant to assessing whether companies that manufacture, distribute, sell, or supply (“Suppliers”) ought to be treated as trustworthy sources of supply for technologies that enable the development and operation of critical ICT networks. Suppliers are trustworthy when:
A new DOL regulation replaces the previous regulation with uncertainty, creating bias against independent contractor status.
This Key Vote Alert! letter was sent to the Members of the U.S. House of Representatives, supporting H.J. Res. 98, a resolution of disapproval under the Congressional Review Act to nullify the National Labor Relations Board’s (NLRB) Final Rule on Joint-Employer Status.
This Key Vote Alert! letter was sent to the Members of the U.S. House of Representatives, supporting H.R. 788, the “Stop Settlement Slush Funds Act of 2023.”
Premier event this Thurs., Jan. 11 to spotlight innovation and impacts of the American free enterprise system
The U.S. Chamber of Commerce issued a statement today regarding the new employee and independent contractor classification rule from the Department of Labor.
Startups and small and medium sized businesses are essential to tackling climate solutions, and the U.S. Chamber helped ensure they were part of the conversation at COP28.
The EU and the U.S. have a final political agreement on the EU Cyber Resilience Act and a proposed U.S. Cyber Trust Mark on securing connected devices within the two economies.
The Department of Justice and Federal Trade Commission revised final merger guidelines seek to rewrite decades of antitrust policy by declaring structural presumptions against mergers that increase market concentration and by downplaying the possibility of merger efficiencies.