Getting back to solicitor disclosure, I was a civil litigator for a couple of years, as was my friend Mr. Murphy, and we believe there are some lessons to be learned from civil procedure with respect to pre-trial applications and interlocutory applications, sworn affidavits on production, to limit the disputes at trial. It seems to work very well in the civil process. I am curious, in the 60 seconds we have left, if you think there are lessons to be learned from the civil process and what one or two of those might be.