I think this regulatory proposal maximizes a lot of the opportunity that's available. If we're looking at the United States, we see that one of the beauties of the regulations is that the list of trusted foreign regulators is ambulatory. That means it can be amended. We can add to it. There are other jurisdictions where that fit might be a little different and that would offer more opportunity. For example, at the EMA, in the eurozone, that might look different and create even more opportunities for Canadian manufacturers.
On November 2nd, 2023. See this statement in context.