I would say that, in this case, the substantive obligations are quite similar. It is more of a procedural issue. When we work with two regulatory bodies, there must be two different channels of communication. We may also have to deal with recommendations that could differ from one authority to another and that could conflict, which could create confusion.
So, for us, working with a single regulatory authority—in this case, the commissioner or the department—would simplify the procedural process. For example, rather than registering with two different channels, we register with just one. So, it's not so much a matter of substance. It's really more a matter of procedure. It simplifies the work. There's less bureaucracy and half the registration paperwork.
