Right. The two most recent audits were on CEPA enforcement itself, as well as some of the enforcement that we do under the Fisheries Act with respect to mining in particular. The recommendations from those audits were remarkably similar, that we needed to put in place a strong, risk-based prioritization process, as well as a policy on reinspection, to make sure that when we do undertake enforcement actions, we go back to verify compliance.
Both of those things have been done and implemented. We reserve a certain percentage of our inspections every year for the purpose of reinspection to verify compliance, which is in direct response to audit recommendations in both audits. The risk-based directorate that I run is probably the flagship response to both audits, and it provides the comprehensive, detailed risk assessment process that those audits recommended directly to us.