FINTRAC's role under the order did not change with respect to our mandate and the role we normally do prior to the order and subsequent to it from an intelligence perspective.
From the compliance side, it added crowdfunding platforms and payment service providers and required that they register with FINTRAC as reporting entities, and that preregistration did, in fact, take place.
As I mentioned in my opening remarks, the registration process was not completed during the time the emergency orders were in effect, but, from an intelligence perspective, all reporting received would have to be received based only on money laundering or terrorist financing suspicions by our reporting entities. We did not have any extended powers or enhanced authorities from a financial intelligence perspective at FINTRAC because of the orders.