Thank you very much.
It is a perception that we often hear as well. Let me first assure the committee that there is only one set of rules. Those rules apply to imports the same way they apply to products moving domestically. Indeed, in the context of products that are exported, if there are any additional considerations, those are not CFIA requirements. They may be specific requirements that the importing country has presented, and CFIA has been asked to certify that those additional requirements have been met.
In terms of our oversight—and this may be the basis for that perception—domestic manufacturers and producers see the CFIA in our actions. Of course, when we deal with imports, we deal with them as they reach our borders. The foreign manufacturer doesn't see CFIA as directly. That might contribute to the perception.