This is a question, then, for Mr. Cardamone.
Back to the question about the transfer pricing, I think a suggestion you made was that on a country-by-country basis we should compel multinational corporations to produce information. Presumably under Canadian law if we were to do that, we would require in our tax act a number of things that must be reported.
But is that enough? Is that just more information that's put on a shelf somewhere, or do you think there should be basic rules in the tax code to address abuses?