Certainly negative publicity, the impact with customers, and all of these things are incentives to compliance. I'd also point out that the commissioner does have other powers, as I mentioned in the submission. The commissioner, to make an important point, can go to the Federal Court. However, to change the order-making powers or the fining powers that the commissioner has, you have to create a different structure, and that will destroy, really, the collaborative, engaged approach that has existed for the past decade and a half and that has proven to be very valuable.
David, I don't know if you have anything perhaps to add on what would—