The baseline information collected for the environmental impact assessment or environmental impact statement under the EA process that we participated in would be found in the EIA, the document itself, and would be available to both Fisheries, Environment, and all members of the community. I assume it was provided during the panel review process. So the baseline information is one aspect of it.
Any conditions for monitoring would be within the confines of the authorization under subsection 35(2) of the Fisheries Act. We would have the plans that are supposed to be submitted by Hydro-Québec to DFO. They would undertake any follow-up monitoring required to assess the accuracy of the prediction, as well as the effect on any mitigation or compensation measures that we put into the approval process.