Yes, in fact, we've begun our work on best practices, and we have identified the lack of consistent data as a weakness and something we would like to see changed. I mentioned that law societies are enforcing their rules and they keep pretty good data on the breaches of this obligation for trust accounting or breaches of this provision of the rules of professional conduct. However, they have not been necessarily separating out from that breaches of the rules that, although they also have other purposes, are aligned with or intended to address the same objectives as the federal anti-money laundering and terrorism financing regime. A couple of law societies have begun to do that, and it will be our recommendation that we move to standardized and consistent data collection in this area.
On March 21st, 2018. See this statement in context.