The interest deductibility is not a tax treaty issue. It is a domestic taxation issue, so it's not something that one coordinates.
To use up more than your seven minutes, I can ask Mr. Ernewein to go through all the measures that other jurisdictions are taking with the same ultimate end of restricting, either through thin cap or through taxation of repatriation, to end up with a very similar situation internationally—certainly all of our major competitors.
I want to make one point, though, if I may on the trust acquisition element. I'm looking at the acquisition premiums paid for those trusts that have been acquired or that have agreed offers. With only two exceptions, they are all at substantial premiums to the October 31 trading date, the undisturbed trust trading date. So it's not a trust tax change that has resulted in this.