The Section 65(5) requires an inquiry for a bigger spill or event, but the requirement for public disclosure, the report is not as strong as it should be, as I think we have heard about earlier. In fact, I think typically in federal
regulatory processes that I have participated in, there’s a clear, well-laid-out process and predictable process for distributing information and reports. Can we assume that that sort of thing will be developed in the regulations so that the uncertainty I think Ms. Bisaro was referencing could be resolved? Thank you.