Thank you very much.
My next question is for Mr. Rosenbloom.
Let's continue with transfer prices. You spoke a lot about this. I think your judgment was very clear in that respect. But I would like to go a little bit further with this topic.
Among other things, you mentioned the case of the Internal Revenue Service against Altera. You judge this type of practice very severely. We aren't talking about legality per se, but how could we qualify this, given that these are, in effect, legal proceedings? Could we talk about tax avoidance or tax evasion? Is it more a question of behaviour?