We do have effectively a threshold that takes into account the nature and the seriousness of a breach, as well as the ability to contain a breach of any kind very quickly. There are, from time to time, incidents of that nature, and if we become aware of an incident, we move very quickly to contain it, but the threshold for informing the Privacy Commissioner is not a high threshold. We are frequently in touch with the Privacy Commissioner.
With respect to our practices, we take advice from the Privacy Commissioner. In this situation, we have, throughout the circumstance, been in touch with the Office of the Privacy Commissioner and taking advice, whether formally given under their terms of reference or counsel or practical direction. If an incident occurs and it is of a small scale and readily containable, we may not in that case inform the Privacy Commissioner.