Finance
Free and efficient financial markets are essential to a diverse and growing economy. They allow businesses to succeed and individuals to build financial security. To support that system, we need smart regulation that ensures access to capital and credit, enables companies to go public, incentivizes innovation, and provides choice and access for investors while protecting consumers.
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To protect hometown businesses, more than 100 local chambers of commerce across America urge Biden Administration to scrap the “Basel III Endgame” banking rules.
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Our Work
The U.S. Chamber promotes policies that ensure U.S. capital markets remain the fairest, most efficient, and innovative in the world. We advocate for legislation and regulation that strengthens our capital markets, allowing businesses—from the local flower shop to a multinational manufacturer—to mitigate risks, manage liquidity, access credit, and raise capital.
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Antitrust legislation would weaken U.S. technology companies’ ability to compete in the global marketplace and undermine our national security interests, according to a new report from the U.S Chamber of Commerce.
New antitrust legislative proposals would specifically target leading American companies, while doing little to actually protect consumers.
The Chamber submitted comments to the Department of Justice’s Antitrust Division as to whether and how to revise the 1995 Bank Merger Competitive Review Guidelines.
The Consumer Financial Protection Bureau's (CFPB) recent actions against financial service providers may hurt innovation and consumer choice in the marketplace.
The North American Securities Administrators Association’s (NASAA) Regulation Best Interest (Reg BI) Implementation Committee (Committee) conducted two surveys with the stated purpose of measuring the impact of the U.S. Securities and Exchange Commission’s (SEC) Reg BI and level of compliance with the regulation. While any effort to measure the effect of public policy is laudable, a careful review of the Committee’s research effort uncovered significant deficiencies, including the notable failure to follow eight well-established and critical survey research practices. The flaws in the design and execution of this research mean that its findings and conclusions cannot be relied upon as accurate measures of firm behavior, compliance with Reg BI, the impact of the regulation, or the extent to which the interests of investors are well-served.