Yes. We haven't had a problem with this part of the Stockholm Convention. I've seen the language the CCPA has offered to CEPA. It's not clear to me whether it's an accurate transition. They propose that the quantities of the substance would not be under schedule 1—I can't give the exact wording.
We wouldn't be happy with the idea that trace contaminants that come out only in small quantities but could still be harmful, such as dioxins, wouldn't be eligible for schedule 1. Some things are harmful in small amounts, and we still need to deal with those.