The short answer to your question with regard to documentation is that this provision in paragraph (b) of proposed subsection 5.6(1) would not be sufficient in regard to documentation. What we would do there by regulation is simply indicate for which regional fisheries management organizations Canada would be interested in implementing or looking at the conservation and management measures.
It would be clearer, especially for importers, if the documentation requirements could be more clearly indicated in regulation, and currently that enabling provision does not exist in the bill.