EIG’s comment letter in response to the FTC’s proposed rulemaking on non-compete agreements underscores the anti-competitive and harmful effects of noncompete agreements; highlights the necessity of a comprehensive, nondiscriminatory final ruling to achieve the goals of the proposal; and outlines core principles to guide rulemaking.
EIG’s comment letter in response to the FTC’s proposed rulemaking on non-compete agreements underscores the anti-competitive and harmful effects of noncompete agreements; highlights the necessity of a comprehensive, nondiscriminatory final ruling to achieve the goals of the proposal; and outlines core principles to guide rulemaking.
Economic Dynamism | Non-Compete Reform| Public Policy
Related Posts
The Impact of Opportunity Zones on Housing Supply
Heartland Visas: A Policy Primer
Opportunity Zones are helping to solve America’s housing crisis