To Whom It May Concern: The U.S. Chamber of Commerce (the “Chamber”) welcomes this opportunity to comment on the Federal Aviation Administration’s (“FAA”) and Transportation Security Administration’s (“TSA”) notice of proposed rulemaking (“NPRM”) on Normalizing Unmanned Aircraft Systems Beyond Visual Line of Sight Operations (“BVLOS Rule” or “Proposed Rule”).[1] The Chamber applauds FAA and TSA for proposing to normalize Unmanned Aircraft Systems (“UAS”) Beyo...