I think we would look at it as casting the net as broadly as possible to capture organizations that are general news organizations. With your daily publications, notwithstanding the fact that they will cover industry-specific news, sports, recreation, arts, lifestyle or entertainment, their primary focus is the production of original news content. The “not” paragraph is meant to say that you cannot be focused narrowly on one of these subjects. An arts news publication would likely not qualify; again, this is not prejudging the work of the panel.
As I mentioned earlier, our focus in designing these measures was to cover or to target news organizations—again, your daily news organizations and your community news organizations—and to try to ensure that they would be eligible for these measures, while at the same time trying to place limits on every individual or every publication, be it a trade publication or otherwise, being able to take advantage of the tax assistance. So again, in terms of general interest news, notwithstanding the fact that they have coverage of a variety of different topics, that's what we were looking at. We feel that the vast majority of existing written-news organizations should qualify under what we've set up, but recognizing that perhaps we've not gotten it right, there will be an expert panel put in place that will provide us with advice and guidance as to how these requirements need to be reframed or not.