Perhaps I'll just outline a few areas and then pass it to various colleagues who can speak to the specific parts.
Obviously I would say part 1 relates to non-resident trusts and foreign investment entities. Parts 2 and 3 relate to foreign affiliates, and certainly we've already talked about that. Part 5 does have measures that relate to international taxation. I guess the one that springs most readily to mind is the measure related to foreign tax credit generators, which is a budget 2010 measure designed to prevent taxpayers from entering into plans to artificially generate foreign tax credits in a way we feel is inappropriate, by way of taking advantage of differences in law between various jurisdictions.
I'll pass it first to my colleague Grant Nash, who might speak briefly about part 1.