Allowing the self-regulatory program to continue to develop, I think, would be a very good start. Then I would suggest regular interaction, whether that's strictly the Office of the Privacy Commissioner or whether this committee also gets involved, or both, but I think a regular check-in—I don't want to say a report card—might be a good way for this committee to continue to have oversight on the development of the self-regulatory program.
These things tend not to happen overnight. I have some experience with that in the United States, but I think that—