You've suggested that you would exercise discretion. Should that discretion be the OPC's? Or should there be, in any recommendation we make or any legislation that's drafted, some guidance to say that in the first instance it ought to be recommendations, that it ought to be guidelines put forward to business, and that if they further break those recommendations or fail to follow them, fines and further orders could follow?
On February 1st, 2018. See this statement in context.