Just to follow up, from the perspective of the Competition Bureau and our guide related to non-food, certainly we support any direction the CFIA takes with respect to food and making the guideline clearer and more informed for consumers. What we would do is take into consideration in our approach and how we administer our guideline any suggestions or direction they're taking. We would make sure that any consequences that may affect our guideline are properly reflected.
To pick up on Mr. Mayers' point, certainly we would carefully monitor their process and provide our support to make sure that any ancillary developments or changes that may relate to the Competition Bureau's non-food guideline are properly reflected and understood.