I have a question on the difference between the U.K. legislation and the French legislation. I understand that the U.K. legislation doesn't require companies to take positive due diligence measures, but to report whether they've done so. France is requiring them to do that. Do you see that as an improvement? What would you recommend that we take a look at here as we move ahead?
On December 5th, 2017. See this statement in context.