U.S. Chamber files coalition amicus brief urging Supreme Court to hold that if a defendant’s conduct was consistent with an objectively reasonable interpretation of an ambiguous provision, the defendant cannot be liable for treble damages and penalties under the False Claims Act unless authoritative guidance warned the defendant away from that interpretation.
U.S. Chamber files amicus brief urging Supreme Court to grant review and hold that realization is a threshold requirement for the definition of income under the Sixteenth Amendment.
U.S. Supreme Court grants cert to decide whether uninjured “tester” plaintiffs have Article III standing to sue under the Americans with Disabilities Act. The U.S. Chamber filed a coalition amicus brief urging the Court to grant cert.
U.S. Supreme Court grants cert to decide whether uninjured “tester” plaintiffs have Article III standing to sue under the Americans with Disabilities Act. The U.S. Chamber filed a coalition amicus brief urging the Court to grant cert.
U.S. Chamber files amicus brief urging Supreme Court to hold that a Minnesota law allowing the State to seize real property to satisfy a tax debt and retain the surplus, even where the value of the property seized far exceeds the size of the applicable debt violates the Takings and the Excessive Fines Clauses of the Constitution.
U.S. Chamber files amicus brief urging Supreme Court to grant review and hold that parties challenging a federal officer’s unconstitutional protection from removal deserve an injunction against such insulation from executive oversight without any proof that it altered agency action.
Supreme Court holds that the Bank Secrecy Act’s $10,000 maximum penalty for the nonwillful failure to file a compliant report accrues on a per-report, not a per-account, basis. The U.S. Chamber filed an amicus brief supporting this outcome.
Supreme Court holds that the Bank Secrecy Act’s $10,000 maximum penalty for the nonwillful failure to file a compliant report accrues on a per-report, not a per-account, basis. The U.S. Chamber filed an amicus brief supporting this outcome.
Supreme Court holds that the Bank Secrecy Act’s $10,000 maximum penalty for the nonwillful failure to file a compliant report accrues on a per-report, not a per-account, basis. The U.S. Chamber filed an amicus brief supporting this outcome.
Supreme Court holds that the Bank Secrecy Act’s $10,000 maximum penalty for the nonwillful failure to file a compliant report accrues on a per-report, not a per-account, basis. The U.S. Chamber filed an amicus brief supporting this outcome.
Supreme Court holds that a high-earning employee is not compensated on a “salary basis” for purposes of the FLSA’s overtime pay exemption when his paycheck is based solely on a daily rate. The U.S. Chamber filed an amicus brief opposing this outcome.
Supreme Court holds that a high-earning employee is not compensated on a “salary basis” for purposes of the FLSA’s overtime pay exemption when his paycheck is based solely on a daily rate. The U.S. Chamber filed an amicus brief opposing this outcome.
Supreme Court denies cert. petition on whether Maine laws regulating the contents of consumer reports are preempted by the federal Fair Credit Reporting Act. The U.S. Chamber filed a coalition amicus brief opposing this outcome.
Supreme Court denies cert. petition on whether Maine laws regulating the contents of consumer reports are preempted by the federal Fair Credit Reporting Act. The U.S. Chamber filed a coalition amicus brief opposing this outcome.
Supreme Court denies cert. petition regarding the need for fair notice under state UDAP statutes. The U.S. Chamber filed an amicus brief opposing this outcome.
Supreme Court denies cert. petition regarding the need for fair notice under state UDAP statutes. The U.S. Chamber filed an amicus brief opposing this outcome.
U.S. Chamber files coalition amicus brief urging Supreme Court to reverse Ninth Circuit and hold that plaintiffs alleging a Section 11 claim under the Securities Act of 1933 must be able to “trace” their securities to the registration statement on which they base their claim.
U.S. Chamber files coalition amicus brief urging Supreme Court to reverse Ninth Circuit and hold that plaintiffs alleging a Section 11 claim under the Securities Act of 1933 must be able to “trace” their securities to the registration statement on which they base their claim.
U.S. Chamber files coalition amicus brief urging Supreme Court to reverse Ninth Circuit and hold that plaintiffs alleging a Section 11 claim under the Securities Act of 1933 must be able to “trace” their securities to the registration statement on which they base their claim.