Sure, that would be great.
In terms of alternatives to consent, one option that I noted from the previous commissioner was simplified privacy notices that draw attention to where practices differ from the norm and highlight information that would be most relevant to consumers. Perhaps you've reiterated that as well.
With respect to consumer protection law, sometimes there are provisions between consumers and companies that companies and consumers cannot contract out of because they're in the public interest of consumers.
If there are additional considerations, perhaps you could lay them out for us.