- Comment from the 鶹ý Trade Commission on Artificial Intelligence and Copyright ( )
- FTC Staff Comment to the Board of Governors of the 鶹ý Reserve System, in Docket No. R-1748, RIN 7100-AG15, Debit Card Interchange Fees and Routing ( )
- FTC Staff Letter to Department of Health and Human Services Concerning the 21st Century Cures Act: Interoperability, Information Blocking and the ONC Health IT Certification Program Rule ( )
- Comment of the Staff of the 鶹ý Trade Commission’s Bureau of Consumer Protection: Preliminary Draft for the NIST Privacy Framework ( )
- Comment of the Staff of the Bureau of Consumer Protection, the Bureau of Competition, and the Bureau of Economics of the 鶹ý Trade Commission Before the 鶹ý Communications Commission: In the Matter of Restoring Internet Freedom ( )
- FTC Comment to the National Telecommunications & Information Administration on “Communicating IoT Device Security Update Capability to Improve Transparency for Consumers” ( )
- FTC Staff Comment to the National Telecommunications and Information Administration Regarding the Safety Working Groups “Coordinated Vulnerability Disclosure ‘Early Stage’ Template” ( )
- Comment of Jessica L. Rich, Director, Bureau of Consumer Protection, to the National Highway Traffic Safety Administration Supporting the Inclusion of Consumer Privacy and Cybersecurity Guidance in the Document “鶹ý Automated Vehicles Policy” ( )
- FTC Staff Comment to the NTIA: The Benefits, Challenges, and Potential Roles for the Government in Fostering the Advancement of the Internet of Things ( )
- FTC Staff Comment to the 鶹ý Communications Commission: In the Matter of Protecting the Privacy of Customers of Broadband and Other Telecommunications Services ( )
- Comment Filed by Jessica Rich on Privacy 鶹ý Implications of FCC’s Proposed Set-Top Box Rulemaking ( )
- Comment Filed by Jessica Rich, Discussing Voluntary Code of Conduct for Utilities and Third Parties Providing Consumer Energy Use Services ( )