Sure. I think our transparency is addressed to everybody who has a potential interest in our regulations. That includes regulatees, other sectors that might have an interest in the area, environmental organizations, and academic experts. In our pre-regulatory development we try hard to make sure all interested parties are aware of the initiatives we're bringing forward.
I think that, in terms of some of the challenges that we have experienced to date in implementing the one-for-one rule, some of them are around administrative costs. We go out and consult, in advance of Canada Gazette, on administrative costs. Sometimes it's hard to bring that to a fine point, because our regulation has not yet been developed. So, in a sense, the exact substance of the regulatory requirement is not known. Sometimes our regulatees find it difficult to engage with us, because they don't yet know exactly what they're going to be required to do. Sometimes small businesses have their own pressures, and they don't necessarily have the time to engage with us in advance of the regulation being put forward in Canada Gazette part I.
Those are just some of the practical issues that we deal with. They're not showstoppers, but they're things that we deal with as we implement one-for-one.