We have a compliance promotion program within the department that works very well in tandem with the enforcement officers. This is the prevention side of the equation, where that education part with the regulatees is happening. That is where you want to prevent an environmental incident from happening.
We do have tools to work with the regulatees. We have directives. There are some tickets and some AMPs. There are smaller enforcement abilities that we can put in place that trigger the compliance of the regulatee, rather than going into a full-fledged investigation.
We do have tools to be able to do the prevention side of it within the department.