Maybe a couple of points.
On recall, as Paul said, there has to be violation of a regulation. You could also use the interim order provisions to put in a regulation, if it was something that we just discovered was problematic, and then use recall powers on that.
To be clear, there are regulations dealing with products. There are quite a number in something called the Prohibition of Certain Toxic Substances Regulations. This has a schedule, and that regulation has the authority and is regulating, as Ms. Cooper suggested, when a substance is allowed--and certain products are not--or to what level it's allowed.
Then the point I'll underscore is that CEPA allows labelling requirements.
I mentioned at another meeting of this committee, that part of the issue is that CEPA has tended to deal more with industrial chemicals. Friday's announcement indicates it will start to deal with products, and so there are other authorities for materials in use, for labelling, and for recall under CEPA.