Search for: "State v. Hester" Results 121 - 130 of 130
Sorted by Relevance | Sort by Date
RSS Subscribe: 20 results | 100 results
6 Sep 2023, 9:01 pm by renholding
When it approved the CAT, the Commission stated that plan participants could “recoup their regulatory costs . . . through the collection of fees from their members, as long as such fees are reasonable, equitably allocated, and not unfairly discriminatory. [read post]
27 Jun 2023, 9:01 pm by renholding
Congress has been very clear in the federal securities laws when it intends to preempt state law, such as in the National Securities Markets Improvement Act[44] or the Jumpstart Our Business Startups Act.[45] Indeed, such a broad claim of Commission authority might raise issues under the major questions doctrine discussed in West Virginia v. [read post]
24 Oct 2019, 2:40 pm by Kevin LaCroix
  The Telegram TRO   Dating back to as early as 2014, the SEC began bringing enforcement actions relating to cryptocurrency, and with its October 11, 2019 filing of SEC v. [read post]
17 Sep 2010, 7:47 am
Just click here to see the bills for a specific state. [read post]
3 Nov 2024, 9:05 pm by renholding
Conclusion While America and the world are nervously awaiting the outcome of the presidential elections in the United States, many activist investors are hoping that Trump prevails. [read post]
4 Jul 2024, 9:05 pm by renholding
Let me begin by stating that my views are my own as a Commissioner and not necessarily those of the U.S. [read post]
15 Dec 2007, 3:10 pm
E-mail: yvonne@tdoa.state.tx.us Texas Department on Aging 4900 North Lamar, 4th Floor Austin, TX 78751-2316 Phone: (512)424-6840; (800) 252-9240 (Toll Free) Web: http://www.tdoa.state.tx.us/index.htm AARP Texas 98 San Jacinto Boulevard, Suite 750 Austin, TX 78701 Phone: (512) 480-9797 Fax: (512) 480-9799 Web: http://www.aarp.org/states/tx ADA Regional ADA & IT Technical Assistance Center Disability Law Resource Project 2323 South Shepard Boulevard, Suite 1000 Houston, TX… [read post]
17 Mar 2025, 9:01 pm by renholding
”[5] The Act does not provide a minimum period to receive comments on rule proposals.[6]But, a comment period of at least 60 days has been endorsed by the Administrative Conference of the United States for significant regulatory actions.[7] Further, executive orders issued by multiple past presidents from both political parties have all recognized the importance of a minimum 60-day comment period.[8] During the past four years, a significant number of proposals had comment periods… [read post]