2022 AAF Legislative Comments

11/21/2022 
We provide the Agency with further input and suggested changes to discrete proposed regulatory provisions to help ensure implementing regulations are consistent with the law and protect consumers while remaining workable for the business community.
11/17/2022 
We are concerned that state efforts to pass privacy laws will only add to the increasingly complex privacy landscape for both consumers and businesses throughout the country.
10/19/2022 
An analysis of the draft regulations is necessary to appropriately weigh the significant economic impacts the regulations would have on businesses operating in Colorado, as well as the overall state economy.
10/14/2022 
An analysis of the draft regulations is necessary to appropriately weigh the significant economic impacts the regulations would have on businesses operating in Colorado, as well as the overall state economy.
9/26/2022 
Request for Extension of Time to File Comments, Federal Trade Commission; Advance Notice of Proposed Rulemaking for Trade Regulation Rule on Commercial Surveillance and Data Security
9/9/2022 
We write to respectfully request you veto AB 2273, the California Age-Appropriate Design Code Act.
9/8/2022 
As to the content of the ANPR, we are disappointed that there is no mention of the many benefits that come with the responsible use of data and data-driven advertising.
8/5/2022 
Joint Ad Trade Letter: Informal Pre-Rulemaking Comment on Colorado Privacy Act Regulations
7/26/2022 
The Senate should focus on protecting kids and teens through preemptive and comprehensive privacy legislation.
7/19/2022 
The proposed substitute amendment to the American Data Privacy and Protection Act would choke the U.S. economy under unreasonable and unnecessary burdens by creating unworkable standards that are harmful to consumers and businesses.