I don't know if there is a fair connection between those two terms. I thought there was a question of whether we could estimate the potential recovery of profits from those entities.
We have the ability to capture the amounts claimed under this deduction provision when the money is returned to Canada. You are not required to file a global tax return in Canada. If the entity in Barbados is a separate corporate entity filing in Barbados, then Canada simply asks for information related to some of the activities of that entity, or when profits are recovered.
And I don't know whether we'd have the capacity, on the deduction under section 113, to further say from what country it originated. So our systems may not be able to produce the information, but we could certainly undertake to—