I'd like to think we have a great suite of tools. Certainly I know my colleagues at the Privacy Commissioner's office would say that having administrative monetary penalties is very useful. I know they're looking for it themselves. We have a broad range of tools to effectively ensure compliance now and, for enforcement purposes, in the future. The tools that the CRTC has been afforded are very useful. It's a broad range. It allows us lots of flexibility depending on the type of case, the magnitude of the case, or the nefarious activities involved.