Comment on FR Doc # 2026-14086

Sheila PinkstonSupportIndividual
Summary: Sheila Pinkston, a private citizen, supports the inclusion of three new NAICS codes related to foreign labor, international student enrollment, and AI job displacement in the 2027 revision. She argues that these codes are necessary for data transparency and to protect American workers from foreign competition and automation.
Dear ECPC and OMB, As a concerned American citizen who wants to see our country put American Citizen Workers first, I strongly support the three new NAICS codes proposed by OnShoringAmerica. These important proposals (NAICS 561399 – Foreign Labor Placement and Management Services, NAICS 611319 – International Student Enrollment and Compliance Services, and NAICS 518219 – Workforce Automation and AI Substitution Services) were submitted shortly after the February 2025 cutoff. They were formally acknowledged as received but deferred to the 2032 cycle. With the rapid pace of foreign labor competition, international student enrollment pressures, and AI-driven job displacement affecting American Citizen Workers, we cannot afford to wait another five years for better data and transparency. I urge you to reconsider these proposals for inclusion in the 2027 NAICS revision. These targeted codes would finally give us clear visibility into how these forces are impacting American Citizen Workers and students. This is common-sense modernization that supports fair competition and opportunity for American Citizen Workers. The attached "OnShoringAmerica NAICS Redesign" document provides full details and recommendations, including a suggested 2026 pilot program. Thank you for your important work. I stand ready to support these changes that will help restore fairness and opportunity for American Citizen Workers. Sincerely, Sheila Pinkston

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