Thank you very much.
Ms. Poter, thank you very much for being here and for sharing your expertise.
My question is similar to the one I already asked about the existing code of practice. We already have the Products Containing Mercury Regulations, of course, which took shape in November 2015, and now the code of practice will be finalized in 2016.
Would this strategy not be somewhat redundant? What more could it add to what is already in place?