I wonder if I might just add a word.
I think you asked about the maximum language in the treaty, that is, the maximum rate being 10%, and whether there might be other rates applying. Statutorily, the rate that's applied under our Income Tax Act is 25% in 12 payments of interest to non-residents. So the treaty applies a maximum rate of 10%. That takes the 25% rate down to 10%. For all those cases in which tax applies under our domestic law, the maximum rate under the treaty is at the 10% level.