What I was really addressing was not the criminal side of the equation. Criminal enforcement doesn't really take place under the CBCA. It could be there, or it is there, but I don't know of any case ever being prosecuted under the CBCA provision.
We're really talking about the civil enforcement of a cause of action. These are the insiders, the opposite party of the insider trade, being able to go after the insiders or whomever is culpable, the tippers, the tippees, etc. This, I think, is also woefully inadequate, and nothing is being done about it. I don't think the securities commissions have done anything about it either.