Our first priority is getting the measurement right. Getting to scope 1, scope 2 and scope 3 emissions isn't easy. It's hard. It has implications downstream for their clients.
At the appropriate time, we can oblige banks to disclose. Indeed, if you read our current rule, we do oblige banks to disclose. Even if we didn't have it, bank shareholders and creditors are demanding that. That is why I think we haven't heard too much complaint from the industry that we regulate about the disclosure requirements outlined in guideline B-15.