I would like to relate what you've just said back to what we were talking about earlier. You said we can't deal with these things in isolation, nor should we continue to deal with only one chemical at a time in isolation from the real world exposure to the experience.
One of the benefits in the amendments to the Pest Control Products Act that can't be directly transferred to CEPA, but can be worked with--and we'd be happy to work on draft amendments, and in fact, guarantee we will send draft amendments to suggest for you.... One of the important changes in the Pest Control Products Act is to look at groups of substances with common mechanisms of toxicity and to aggregate exposure. That's one of the better changes that should be adapted into CEPA, to begin looking at real world exposures to multiple chemicals. We don't have the science to look at those that don't necessarily have common mechanisms, but it's a start and it's a matter of modernizing the risk assessment process under CEPA in a way we've already done with pesticides.