Bloomin' Blinds
BusinessSupport
Joint employer status factors
Table of contents
The document's own metadata, straight from the source system.
What the public is saying — stance, who's commenting, and the issues they raise.
Breakdown by commenter type.
Weekly arrivals, stacked by stance.
How each type splits across stance.
The docket's canonical issues. Select one to browse its comments.
Position map
Every non-silent position is backed by an excerpt from the comment.
Issues shown
Choose up to five.
| Organization | Joint employer status factors | Contractor pay and benefits | Labor violations and human trafficking |
|---|---|---|---|
Bloomin' Blinds BusinessSupport Kristopher Stuart, CEO of Bloomin' Blinds Franchise Corp., supports the proposed rule but requests further clarification | · | · | |
California Farm Bureau AdvocacySupport The California Farm Bureau supports the proposed rule because it provides a clearer, more straightforward four-factor te | · | · | |
Center for Law and Social Policy AdvocacyOppose The Center for Law and Social Policy (CLASP) opposes the proposed rule, arguing that it improperly narrows the joint emp | · | · | |
East Coast Wings + Grill BusinessSupport East Coast Wings + Grill, a restaurant franchise, supports the proposed rule but requests specific refinements to ensure | · | · | |
First Service Brands BusinessSupport FirstService Brands supports the proposed rule but requests specific clarifications to ensure that reserved contractual | · | · | |
Independent Women AdvocacySupport The Independent Women’s Center for Economic Opportunity supports the proposed rule because it reinstates a clear, consis | · | · | |
Institute for the American Worker AdvocacySupport The Institute for the American Worker (I4AW), a 501(c)(3) nonprofit, supports the Proposed Rule because it provides regu | · | · | |
Justice for Migrant Women AdvocacyOppose Justice for Migrant Women opposes the proposed regulations, arguing that they inaccurately narrow the definition of join | · | · | |
Main Street Foundation Center for Regulatory Analysis and Engagement AdvocacySupport The Main Street Foundation’s Center for Regulatory Analysis and Engagement (CRAE) supports the Department of Labor's eff | · | · | |
McDonald's Hispanic Owner-Operators Association Trade associationSupport The McDonald’s Hispanic Owner-Operators Association (MHOA), representing Hispanic-American small business owners, suppor | · | · | |
National Association of Manufacturers Trade associationSupport The National Association of Manufacturers (NAM) supports the proposed rule, stating that it provides necessary regulator | · | · | |
National Council of Agricultural Employers (NCAE) Trade associationSupport The National Council of Agricultural Employers (NCAE) supports the Department's effort to provide clarity on joint emplo | · | · | |
Open Markets Institute AdvocacyOppose The Open Markets Institute opposes the proposed rule, arguing that it allows large corporations to evade responsibility | · | · | |
Oregon Law Center AdvocacyOppose The Oregon Law Center, a non-profit legal services organization, opposes the proposed rule because it narrows the scope | · | ||
Signatory Wall and Ceiling Contractors Alliance Trade associationOppose The Signatory Wall and Ceiling Contractors Alliance (SWACCA), a national trade association representing construction ind | · | · | |
SMART and SMACNA Trade associationOppose The International Association of Sheet Metal, Air, Rail and Transportation Workers (SMART) and the Sheet Metal and Air C | · | ||
The Sunray Companies BusinessSupport The owners of Sunray Companies, a multi-brand franchise business, support the proposed joint-employer rule because it re | · | · |
4 organization-typed comments could not be identified.
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