I'll preface this by saying the thing that I always have to say: I can't speak for members of the agency who adjudicate and issue decisions on each case based on the evidence before them. However, I will say that there are at least two ways in which agency decisions made with respect to a single complaint can have an impact that goes beyond that single complaint.
The first way, which is particularly important for new regulations, is through the interpretation of regulations such as the APPR. When members of the agency interpret the facts of a case, that serves as a model for the cases that will follow.
Given the newness of the regulation, our emphasis has been on interpretation. It is true that sections 67.4 or 113.1 can be used to extend elements of a decision to other passengers on the same flight. However, there are a couple of points to note, Chair.
First, 97% of complaints that come to the agency are resolved through informal means. Most complaints don't actually make it to members to adjudicate and issue decisions. For those complaints that do get to adjudication, as I said, in a number of cases, we have already started notifying the parties to those cases that it is our intention to consider using section 67.4.