I just want to say that it's hard to predict, as my colleagues have said, how those obligations will also translate through the adequacy. It's not likely to be a direct cut-and-paste, so it probably will be easier to make a case for adequacy if we have elements addressing key new developments there, but that are also aligned with Canadian laws. Again, not to sound like a broken record, I think that enforcement will be potentially challenging in this particular process because that is one area where we are out of step with other data protection commissioners around the world, and where the EU has made substantive improvements recently.
On March 23rd, 2017. See this statement in context.