PublicationsInsights on Current Policy Issues

  • January 11, 2018

    By Frank Vlossak

    Since taking office, President Trump and his Administration have worked toward regulatory reform that includes the review, revision, and repeal of existing regulations, with a focus on rules promulgated by the Obama Administration. Congress has played a key role in this effort, through the use of the Congressional Review Act to repeal rules finalized in the waning months of the prior Administration, as well as one rule issued by the Consumer Financial Protection Bureau (CFPB) in 2017.

    President Trump signed a series of executive orders in the early months of his presidency that are propelling the deregulatory efforts of federal agencies. These executive orders: set a cap limiting regulations in Fiscal Year 2017 to zero net cost; provide agencies with a framework for limiting new regulations and identifying existing rules to repeal or revise; direct review and revision or repeal of the “Waters of the United States” rule issued by the Obama Administration; and require review and reform of energy and climate-related regulations.

     

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  • October 10, 2017

    By Frank Vlossak

    On October 10, Environmental Protection Agency (EPA) Administrator Scott Pruitt signed a Notice of Proposed Rulemaking (NPRM) titled “Repeal of Carbon Pollution Emission Guidelines for Existing Stationary Sources: Electric Generating Units”. The NPRM would rescind the Obama Administration’s Clean Power Plan (CPP), a rule that would reduce greenhouse gas (GHG) emissions from existing power generation sector sources, namely coal and natural gas power plants.

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  • May 16, 2017

    By Frank Vlossak

    On May 8, 2017, the Office of Management and Budget (OMB) issued a memorandum titled “Guidance for Section 2 of Executive Order 13783, titled ‘Promoting Energy Independence and Economic Growth’”. E.O. 13783 directs federal agencies to review, and potentially suspend, revise or repeal, existing regulations that “burden domestic energy production.”

     

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Principal

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T: 202-659-8201
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Eric Stewart is a Partner with the Washington DC firm of Williams & Jensen, PLLC. Mr. Stewart represents clients before the Administration, Congress and select foreign governments on a range of international and domestic policy matters. Mr. Stewart also serves as President of the following six business groups:

  • American-Central European Business Association
  • American-Lithuanian Business Council
  • American-Romanian Business Council
  • U.S. – Hungary Business Council
  • U.S. – Poland Business Council
  • U.S. – Turkmenistan Business Council

Professional Background

Prior to joining Williams & Jensen, Mr. Stewart served as the U.S. Deputy Assistant Secretary for Europe/Eurasia at the Department of Commerce and as a Senior Advisor to the U.S. Chamber of Commerce.

In 2006, Mr. Stewart was awarded the Officer's Cross of the Order of Merit of the Republic of Hungary by the President of Hungary for his outstanding contributions to fostering Hungarian-American economic relations.  In 2012, Mr. Stewart was awarded the Knights Cross of the Order of Merit by the President of the Republic of Poland for Mr. Stewart’s formation of the US-Poland Business Council.  He is also a member of the Atlantic Council.

Mr. Stewart, who holds a bachelor's degree from Ohio University, also served three years on the University's National Alumni Board of Directors as well as received the Ohio University 2002 Outstanding Recent Graduate Award.

Mr. Stewart is often called upon by Members of Congress and the Administration for his views on bilateral and regional economic relations with foreign countries.

Education

  • Ohio University, B.A.

Not licensed to practice law.

PublicationsInsights on Current Policy Issues

  • January 11, 2018

    By Frank Vlossak

    Since taking office, President Trump and his Administration have worked toward regulatory reform that includes the review, revision, and repeal of existing regulations, with a focus on rules promulgated by the Obama Administration. Congress has played a key role in this effort, through the use of the Congressional Review Act to repeal rules finalized in the waning months of the prior Administration, as well as one rule issued by the Consumer Financial Protection Bureau (CFPB) in 2017.

    President Trump signed a series of executive orders in the early months of his presidency that are propelling the deregulatory efforts of federal agencies. These executive orders: set a cap limiting regulations in Fiscal Year 2017 to zero net cost; provide agencies with a framework for limiting new regulations and identifying existing rules to repeal or revise; direct review and revision or repeal of the “Waters of the United States” rule issued by the Obama Administration; and require review and reform of energy and climate-related regulations.

     

    Read...

    Read More
  • October 10, 2017

    By Frank Vlossak

    On October 10, Environmental Protection Agency (EPA) Administrator Scott Pruitt signed a Notice of Proposed Rulemaking (NPRM) titled “Repeal of Carbon Pollution Emission Guidelines for Existing Stationary Sources: Electric Generating Units”. The NPRM would rescind the Obama Administration’s Clean Power Plan (CPP), a rule that would reduce greenhouse gas (GHG) emissions from existing power generation sector sources, namely coal and natural gas power plants.

    Read...

    Read More
  • May 16, 2017

    By Frank Vlossak

    On May 8, 2017, the Office of Management and Budget (OMB) issued a memorandum titled “Guidance for Section 2 of Executive Order 13783, titled ‘Promoting Energy Independence and Economic Growth’”. E.O. 13783 directs federal agencies to review, and potentially suspend, revise or repeal, existing regulations that “burden domestic energy production.”

     

    Read...

    Read More

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