We're heading down the street of having specific definitions for express consent and implied consent, and trying to create a model for implied consent under the existing business relationship and the existing non-business relationship and the other factors we've set out here, partly because it was suggested to us by our colleagues internationally, where they've been running into some problems in their proceedings.
When it comes time to serve notice of violation, the hearings become more about whether consent can be reasonably or unreasonably inferred. Most of the focus is on whether it was reasonable or not. It was suggested to us by them that we should be able to focus on this. I think we've done a fairly good job of putting up a clear mandate on what you can do for express consent and applied consent. They fall under these specific rules. We've allowed ourselves a small gateway, where we think there might be a mistake in this framework, to add circumstances and regulations.