I think that's the ideal. If we had to pick our top three, that's where we would land.
I think it would be helpful if we had a more enhanced ability to compel information from companies, and if we had something in the nature of administrative monetary penalties in the cases of non-compliance. Currently, if a company prices above our ceiling, it's required to lower its price eventually and to pay back excess revenues. The only real stick that we have is if it's a wilful policy of pricing above our ceiling. If the company does it knowingly, we can order that twice the amount of revenue be paid back to the consolidated revenue fund, but I don't think that's much of a deterrent, really. Many other regulatory bodies that have an enforcement function to them have some kind of means at their disposal to incent compliance, and I would say that that's a gap in our regime.