Fair enough.
Moving along, I have a question on the administrative monetary penalties. Currently, as you stated, the only two options for dealing with non-compliance are to either prosecute a regulatory infraction through the court, or suspend the certification of non-compliant response organizations.
While that may be a costly route, it is a very serious route, if you will, in terms of expressing enforcement. Are you concerned at all that the inclusion of administrative monetary penalties could be perceived as either weakening the approach to enforcement or simply allowing administrative monetary penalties to be the cost of doing business, if you will, for those who may violate, or polluters? Is there any concern there in that regard?