‘‘Town Hall Listening Sessions’’ throughout the United States and heard testimony from more than 60 individuals and representatives of the business/employer industry and the disability advocacy...
Search Results "Advocacy"
Commonly Searched Documents
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VI. Relationship of This Regulation to Revisions to the Equal Employment Opportunity Commission’s ADA Title I Regulation Implementing the ADA Amendments Act of 2008
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Safe harbor for qualified small businesses. (Section-by-Section Analysis)
(Several small business advocacy organizations pointed out an inconsistency between the Department's description of the small business safe harbor in the Section-by-Section Analysis for...
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B. Regulatory Flexibility Act
See SBA Office of Advocacy and U.S. Census Bureau, Statistics of U.S....
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Section 35.161 Telecommunications. (Section-by-Section Analysis)
Other comments from advocacy organizations and individuals urged the Department to require specifications for the operation of such systems that would involve issuing technical requirements...
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B. Scoping Requirements for Units with Communication Features
Some of the disability advocacy organizations and individuals who commented on the proposed rule recommended that 2 percent of the total number of emergency transportable housing units installed...
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Hold and release of accessible guest rooms and third-party reservations. (Section-by-Section Analysis)
At this juncture, the Department seeks comment from individuals, businesses, and advocacy groups as to whether such entities should be required to identify and describe accessible features...
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Communication. (Section-by-Section Analysis)
Several large disability advocacy organizations commented on the 2004 ADAAG section 232.2.2 requirement that at least 2 percent of the general holding cells and housing cells must be equipped...
- The Cord Blood Center
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F. Measures Taken To Limit Impact on Small Entities
In addition to soliciting comments regarding methods to reduce the regulatory impact on small movie theaters, the Department also participated in a roundtable sponsored by the Office of Advocacy...
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"Video Remote Interpreting (VRI) Services'' (Section-by-Section Analysis)
Comments from advocacy organizations and individuals unanimously requested that the Department use the term ‘‘video remote interpreting (VRI),'' instead of VIS, for consistency with Federal...
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7.6. Measures Taken to Limit Impact on Small Entities
In addition to soliciting comments regarding methods to reduce the regulatory impact on small movie theaters, the Department also participated in a roundtable sponsored by the Office of Advocacy...
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Purchase of multiple tickets. (Section-by-Section Analysis)
The Department seeks comments from individuals, business entities, and advocacy organizations on whether the proposed rule will appropriately effectuate the integration and nondiscrimination...
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Purchase of multiple tickets. (Section-by-Section Analysis)
The Department seeks comments from individuals, business entities, and advocacy organizations on whether the proposed rule will appropriately effectuate the integration and nondiscrimination...
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Disability-related Organizations
Voice: 415‑455‑4575, TTY: 415‑455‑0491 Email: ATAinfo@ATAccess.org Web: www.ATAccess.org Independent Living Centers (ILCs) are private, nonprofit corporations that provide advocacy...
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"Video Remote Interpreting" (VRI) Services (Section-by-Section Analysis)
Comments from advocacy organizations and individuals unanimously requested that the Department use the term ‘‘video remote interpreting (VRI),'' instead of VIS, for consistency with Federal...
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Section 36.302(f) Ticketing (Section-by-Section Analysis)
The Department received comments from advocacy groups, assembly area trade associations, public accommodations, and individuals....
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Effective date: Time period. (Section-by-Section Analysis)
In contrast, many disability advocacy groups and individuals argued that the revised regulation should be effective upon final publication, or very soon thereafter. ...
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Legal standard for other power-driven mobility devices. (Section-by-Section Analysis)
Advocacy and nonprofit groups almost universally objected to the use of a general reasonableness standard with regard to the assessment of whether a particular device should be allowed at...
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Legal standard for other power-driven mobility devices. (Section-by-Section Analysis)
Advocacy and nonprofit groups almost universally objected to the use of a general reasonableness standard with regard to the assessment of whether a particular device should be allowed at...
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Section 35.138 Ticketing (Section-by-Section Analysis)
The Department received comments from advocacy groups, assembly area trade associations, public entities, and individuals....
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10. Prescription Drug Container Labels
Shortly after the law was enacted, the Board formed the Working Group on Accessible Prescription Drug Container Labels, an 18-member stakeholder panel comprised of representatives from advocacy...
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Mobile Web Sites, Mobile Apps, and Other Electronic Communication Technology
Several advocacy organizations for individuals with vision impairment were pleased that the Department had acknowledged that primary Web sites represent only a portion of the air travel-related...
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Location of accessible routes to stages. (Section-by-Section Analysis)
Many advocacy groups and individual commenters strongly supported the revised requirement, discussing the acute need for direct access to stages, as such access has an impact on a great...
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Video remote interpreting (VRI). (Section-by-Section Analysis)
Comments from several disability advocacy organizations and individuals discouraged the Department from adding the exchange of written notes to the list of available auxiliary aids in §...