Yes. What it does in this chapter, building on some of our previous agreements, is that it includes core obligations such as market access, national treatment and most favoured nation treatment to Canadian financial service providers, along with our Ukrainian counterparts.
It also provides new commitments on electronic payments and the processing of applications, but also includes, as we would typically seek in a free trade agreement, a robust prudential exception that allows our financial service regulators to take measures to maintain the integrity and stability of the financial system, and when—