Recent Posts

Standing Up an Office of Civil Rights at the FCC Is Premature 

March 5, 2024

Yesterday, TechFreedom filed comments in response to the Federal Communications Commission’s (FCC) Further Notice of Proposed Rulemaking (FNPRM) related to the issue of whether the...


Title II Reclassification Is a Major Question Only Congress Can Decide 

January 18, 2024

Yesterday, TechFreedom filed reply comments in response to the Federal Communications Commission’s (FCC) Notice of Proposed Rulemaking (NPRM), which proposes to claim broad powers over...


The FCC Can’t Morph Itself Into the Federal Space Commission

October 31, 2022

Today, TechFreedom filed comments in response to the Federal Communications Commission (FCC) Notice of Inquiry (NOI) on in-space servicing, assembly, and manufacturing (ISAM) activities that...


Interagency Broadband Agreement Needs a Neutral, “All of Government” Approach

August 16, 2022

Today, TechFreedom filed reply comments in response to the Federal Communications Commission’s (FCC) Public Notice requesting comment on the interagency agreement entered into among the...


FCC Regulatory Fees? Not Without Clear Authority

July 18, 2022

Today, TechFreedom filed reply comments at the Federal Communications Commission (FCC) in response to the Commission’s Notice of Proposed Rulemaking (NRPM) regarding the assessment of...


FCC’s Emergency Broadband Assistance Vital but the FCC and Congress Face Hard Problems

January 25, 2021

WASHINGTON, D.C. —­­ Today TechFreedom filed comments in response to the FCC’s Public Notice seeking public input on its implementation of the $3.2 Emergency Broadband...