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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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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The U.S. Chamber of Commerce (“Chamber”) writes to FDIC Director McKernan to comment on reports of his intention to request the Federal Deposit Insurance Corporation (“FDIC”) vote on a resolution that directs the FDIC’s Division of Risk Management Supervision to develop a plan to “regularly examine large asset managers with a stake of more than 10% in FDIC-regulated banks to ensure they are not improperly influencing bank operations.”
This Hill letter was sent to the Members of the United States Congress, supporting H.J. Res. 127 / S.J. Res. 72, a resolution of disapproval under the Congressional Review Act to nullify the Securities and Exchange Commission’s (SEC) final rule on the Enhancement and Standardization of Climate-related Disclosures for Investors.
The undersigned associations strongly support H.J.Res.120, a resolution of disapproval under the Congressional Review Act to nullify the Financial Stability Oversight Council (FSOC) rule “Guidance on Nonbank Financial Company Determinations.”
The U.S. Chamber of Commerce (“Chamber”) Center for Capital Markets Competitiveness appreciates the opportunity to comment on the Public Company Accounting Oversight Board (“PCAOB” or “Board”) Exposure Draft on Proposals Regarding False or Misleading Statements Concerning PCAOB Registration and Oversight and Constructive Requests to Withdraw from Registration (the “Proposal”).
The CFPB issued a rule that would lower the allowed late fee charge by many credit card issuers, punishing consumers who pay their credit card bills on time.
The U.S. Chamber of Commerce strongly supports H.J.Res.122/S.J. Res.70, a resolution of disapproval under the Congressional Review Act to nullify the Consumer Financial Protection Bureau (CFPB) Final Rule on Credit Card Penalty Fees.
The U.S. Chamber of Commerce supports S. 3541, the “Fair Audits and Inspections for Regulators’ Exam Act,” which would establish an even-handed supervisory process to enhance accountability in bank examinations.
The U.S. Chamber of Commerce urges the Securities and Exchange Commission (SEC) to suspend action on the proposed rule to amend certain substantive bases for exclusion of shareholder proposals under Exchange Act Rule 14a-8 (Proposal) until the effects of the November 2021 Staff Legal Bulletin 14L (SLB 14L) are fully analyzed and the SEC provides an opportunity for further public comment.
The Center for Capital Markets Competitiveness (“CCMC”) believes the Consumer Financial Protection Bureau (“CFPB”) Notice of Proposed Rulemaking for Overdraft Lending: Very Large Financial Institutions (the “Proposed Rule”) should be withdrawn.