There is a pre-filing requirement that's introduced. This rewording will, instead of carving out what section 15 does not apply to in section 11, specifying clearly what section 15 does apply to in section 11—namely, paragraphs 11(a) and 11(b). It will be made clear that investment that qualifies as requiring notification under 11(b) must notify under that provision even if there's a theoretical overlap with the requirements of the new proposed paragraph 11(c).
On June 7th, 2023. See this statement in context.