On the matter of what to do now that the emergency order has expired, was any direction given verbally or in writing as to whether the information that financial institutions have ought to be destroyed, whether it could remain on a file, whether it could continue to inform how the financial institution relates to that individual, or whether it's appropriate to have it factor into a risk profile for future banking activities with that individual? Did your organizations receive any direction on that?
On March 17th, 2022. See this statement in context.