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BRISBANE<br />

RACING CLUB<br />

11 March 2013<br />

<strong>Liquor</strong> <strong>and</strong> <strong>Gaming</strong> Red Tape Reform<br />

<strong>Office</strong> <strong>of</strong> Regulatory Policy<br />

Department <strong>of</strong> Justice <strong>and</strong> Attorney-~eneral<br />

Locked Bag 180<br />

CITY EAST QLD 4002<br />

By Email: redtapereform.@iustice.qld.gov.au<br />

Dear Sir/Madam,<br />

Re: <strong>Liquor</strong> <strong>and</strong> <strong>Gaming</strong> Red Tape Reform<br />

I am writing in regard to the Government discussion paper regarding liquor <strong>and</strong> gaming red tape<br />

reform <strong>and</strong> other reform proposals for. the regulation <strong>of</strong> liquor <strong>and</strong> gaming. We are happy for this<br />

submission to be open for public scrutiny. BRC responds in its dual capacity as the owner <strong>of</strong> two<br />

licensed racecourses (Eagle Farm <strong>and</strong> Doomben) <strong>and</strong> a licensed community club (Gallopers Sports<br />

<strong>Club</strong>).<br />

Support for reforms<br />

<strong>Brisbane</strong> <strong>Racing</strong> <strong>Club</strong> (BR~:) supports the Government intention to ensure Queensl<strong>and</strong>’s gaming<br />

industry remains the cleanest in the world <strong>and</strong> also its commitment to cutting red tape that<br />

unnecessarily adds to business costs. BRC supports the development <strong>of</strong> a vibrant entertainment <strong>and</strong><br />

tourism industry. BRC underst<strong>and</strong>s its contribution towards employment, leisure <strong>and</strong> the local<br />

community. For example, the economic impact <strong>of</strong> AAMI Stradbroke Day 2012 is set out below:<br />

3,440 visitors from interstate<br />

645 visitors from overseas<br />

23,814 visitor nights were generated<br />

~;10.32m spending in Queensl<strong>and</strong><br />

600 casual staff<br />

90 full time staff<br />

76 horses from interstate <strong>and</strong> overseas<br />

The sport <strong>of</strong> thoroughbred horse racing is under pressure in Queensl<strong>and</strong> from competition interstate<br />

<strong>and</strong> overseas. More flexible regulation <strong>of</strong> both the liquor <strong>and</strong> gaming industries is critical to the<br />

improvement <strong>of</strong> horse racing in Queensl<strong>and</strong>.<br />

EAGLE FARM & DOOMBEN<br />

BRISBANE RACING CLUB LIMITED<br />

PO Box 817 Hamikon Central, QEeensl<strong>and</strong> 4007. Administration <strong>Office</strong>: Eagle Farm Racecourse, 230 Lancaster Road, Ascot, QEeensl<strong>and</strong> 4007.<br />

P: 61 7 3268 217I * F: 61 7 3868 2410 ~ W; w~v, brc,¢om.au<br />

ABN: 80133 679786 ACN: 133 679786


Background<br />

BRC’s core activity is thoroughbred horse racing. BRC operates Eagle Farm <strong>and</strong> Doomben<br />

racecourses under a Commercial Special Facility <strong>Liquor</strong> Licence. BRC holds 98 race meetings each<br />

year, racing nearly every Saturday <strong>and</strong> Wednesday each week. BRC also owns Gallopers Sports<br />

<strong>Club</strong> with 91 <strong>Gaming</strong> Entitlements. In May/June, <strong>Brisbane</strong> hosts Australia <strong>and</strong> New Zeal<strong>and</strong>’s best<br />

horses for the Channel 7 <strong>Brisbane</strong> <strong>Racing</strong> Carnival.<br />

Objectives<br />

The objectives <strong>of</strong> BRC are:<br />

Data<br />

The encouragement, promotion <strong>and</strong> development <strong>of</strong> thoroughbred horse racing <strong>and</strong> other<br />

incidental related purposes, <strong>and</strong> to carry on any other activity which directly or fndirectly<br />

enhances or furthers the interests <strong>of</strong> thoroughbred horse racing.<br />

Undertake such other activities not inconsistent with the objectives set out in clause ~ to<br />

enhance, promote or protect the interests <strong>of</strong> the Company.<br />

Promote <strong>and</strong> develop the Eagle Farm Racecourse <strong>and</strong> Doomben Racecourse as well as any<br />

other racecourses owned or operated by the Company from time to time as premier racing<br />

facilities <strong>and</strong> event centres.<br />

Number <strong>of</strong> members<br />

Number <strong>of</strong> full time employees<br />

Number <strong>of</strong> part time employees<br />

Number <strong>of</strong> volunteers<br />

Annual attendance<br />

Horses in work<br />

Prizemoney<br />

Number <strong>of</strong> trainers<br />

Number <strong>of</strong> stableh<strong>and</strong>s/trackriders<br />

6,000<br />

9O<br />

600<br />

16<br />

220,000<br />

500<br />

$31,000,000<br />

48<br />

315<br />

Community Support<br />

Please note the figures below represent the joint contributions from <strong>Brisbane</strong> <strong>Racing</strong> <strong>Club</strong> <strong>and</strong><br />

Gallopers Sports <strong>Club</strong>.<br />

Non<br />

Item<br />

.......................<br />

Cash Cash Total<br />

Per Annum<br />

,,,<br />

Cash donation to bowling club 75,000<br />

.........<br />

75,000<br />

Maintenance <strong>of</strong> bowling greens 50,000 50,000<br />

Provision <strong>of</strong> bus to bowling club 5,000 5,000<br />

Provision <strong>of</strong> free use <strong>of</strong> greens for community bowling 5,000 5,000<br />

,.,<br />

Ma!nte.n.a..~c.. e .<strong>of</strong> equestrian/community sports field 50,000 50,000<br />

......<br />

Depreciation <strong>of</strong> equestrian/community sports field 58,000 58,000<br />

Equestrian/community sports f.!.e.1 d fo r use b.Y co.mmunity 25,000 25,000<br />

Sponsorship/donations - bowling club 7,500 7,500<br />

Sponsorship/donations - general community/charities/schools 25,000 25,000<br />

. .


Maintenance <strong>of</strong> local school/club sports fields e.g. Brot~rs RFC SO, O00 50,0O0<br />

Winter carnival school art comp,,et!~ion .... 5,000 5,000<br />

50,000<br />

Provision <strong>of</strong> new shed to scouts - rent free ................<br />

so,,;,o,o, o ....<br />

QId Government Emergency Evacuation centre- on request<br />

,,, ,m<br />

Provision <strong>of</strong> equipment <strong>and</strong> labour for corn, m,u,,n, ity benefit ..... 10,000 10,000<br />

PCYC Events 7,500 7,500<br />

Blue Light Disco ~i~e hall hire 10,000 10,000<br />

Hendra Pony club- maintain grounds .......... , ..... 10,000... 10,000<br />

<strong>Racing</strong> Museum - fundi,n,g. ..... 25,000... 25,00o,_<br />

2013<br />

Refurbishin~~milton.Scout .ha!.l...f..o.r community use ........ i00,000 100,000<br />

Community Race <strong>Club</strong> Contribution Scheme,,.-,,Bundaberg ......<br />

..<br />

2,000 2,000<br />

Community Race <strong>Club</strong> Contribution scheme..-...L.ockyer Valley 5,000 5,000<br />

Community Race <strong>Club</strong> Contribution Scheme- Gymp,!e,. 1,000 1,000<br />

Community Race <strong>Club</strong> Contribution Scheme - Deagon 10,000 lO, OO.O.._<br />

...............<br />

St Vincent’s. Hospital - Mt Olivet ......... 12,000 12,000<br />

Act for Kids carnival partner ,,, 10,000 10,000<br />

Charlie Pratt leukaemia fundraiser 2,000 18,000 20,000<br />

...........<br />

2012<br />

,,, ,,,<br />

Community Race <strong>Club</strong> Contribution Scheme -St George 10,000 10,000<br />

,,<br />

Community Race <strong>Club</strong> Contribution Scheme- KilcoY 5,000 5,900<br />

Kristy Banks Fundraiser 10,000 10,000<br />

Autism "lnsi.d.e...origin" Fundraiser ..<br />

2,000 2,000<br />

Montrose Access carnival partner 10,000 i0,000<br />

Ronald McDonald House 1,000 2,000<br />

Bart Sinclair Testimonial<br />

..........<br />

2,000 2,000<br />

Steve Kernohan Fundraiser 4,500 4,500<br />

Bernborough <strong>Club</strong> 850 850<br />

Right Roya),,Affair .... 450 450<br />

St Joseph’s College Rugby ........... 480 480<br />

Broth e r).u n!_o_.r._R ugby League 520 520<br />

St Rita’s i50 150<br />

National Breast Cancer Foundation 1,950 1,950<br />

Clayfield College fundraiser 480 480<br />

...... .......<br />

Mater Foundation 420 420<br />

Brighton Roosters Rugby <strong>Club</strong> 1,110<br />

, ,, !,110<br />

Red Kite 630 630<br />

,,<br />

Chicks in Pink 480 48O<br />

2011<br />

,,,<br />

<strong>Brisbane</strong> Festival "Symphony/Opera under the Stars"-free venue hire 10,000 . o,ooo<br />

Our Lady He.lp. <strong>of</strong> Christians Primary School- l<strong>and</strong>scapi.n...g 5,000 5,000<br />

Central QId Flood Relief Fundraiser- event management i0,000 10,000<br />

Hendra State School- assist install water tanks<br />

.,.<br />

I0,000 10,000_..


BRC SUBMISSIONS ON RED TAPE REDUCTION PROPOSALS<br />

1,1 Removing the regulatow approval for approved managers <strong>of</strong> low risk venues<br />

BRC supports Option I - accept the proposal (remove requirement that certain tow risk venues retain<br />

approved managers).<br />

This proposal should be extended to include low risk venues. Low risk venues will still need a<br />

suitably qualified manager to manage the sale <strong>and</strong> service <strong>of</strong> alcohol; however it is suggested low<br />

risk venues should not be required to complete the application for regulatory approval <strong>of</strong> the<br />

approved manager. This is beneficial, as removing this application requirement means that low risk<br />

venues would not be required to pay the application fee <strong>and</strong> would not need to complete the<br />

associated paperwork.<br />

1,2 Persons trained in Responsible Management <strong>of</strong> Licensed Venues (RMLV) taken to be trained in<br />

Responsible Service <strong>of</strong> Alcohol (RSA)<br />

BRC supports Option I - accept the proposal (accept that persons trained in RMLV are trained in<br />

RSA).<br />

This is a commonsense approach to consolidate two courses with overlapping contents into a single<br />

course (with one expiry date). It represents significant cost savings (time <strong>and</strong> money) for the<br />

industry, as clubs will not be required to train their employees twice (one for RSA <strong>and</strong> one for<br />

RMLV). For employees, the proposal removes confusion on the validity <strong>of</strong> the two courses (as<br />

currently one may expire before the other).<br />

:I.4 Re-examining liquor trading hours, lock-outs <strong>and</strong> drink safe precincts<br />

BRC supports maintaining the status quo, with an end to the current moratorium on applications j:or<br />

post-midnight trading outside o, f entertainment precincts.<br />

The lifting <strong>of</strong> the moratorium on applications for late night trading (12 am to 5 am) will remove<br />

unnecessary regulation <strong>and</strong> also promote industry growth <strong>and</strong> innovation. Community clubs need<br />

regulatory flexibility to trade in the night economy in response to a range <strong>of</strong> factors, including the<br />

changing nature <strong>of</strong> society, demographic make-up <strong>of</strong> patrons <strong>and</strong> increased competition. Unless<br />

clubs are allowed to adjust trading hours in response to these <strong>and</strong> other circumstances, there is a<br />

risk they may become irrelevant, as patrons may go elsewhere for their recreation. The moratorium<br />

is a regressive measure that is incompatible with free market enterprise <strong>and</strong> community need.<br />

1.5 Remove regional boundaries under the club gaming machine entitlement reallocation scheme<br />

BRC supports Option ~ = accept the proposal (remove the regional boundaries inherent to the club<br />

reallocatlon scheme).<br />

The rationale for establishing regional allocation <strong>of</strong> entitlements is sound in theory (i.e. to prevent<br />

the concentration <strong>of</strong> gaming machines in one area) but it is not practical as it does not facilitate<br />

dem<strong>and</strong> <strong>and</strong> supply because buyers <strong>and</strong> sellers are <strong>of</strong>ten located in different regions. The effect is a<br />

situation where there are sellers but no buyers <strong>and</strong> vice versa, which creates pr<strong>of</strong>ound business<br />

uncertainty.<br />

It is also important to note that community clubs are already required to prepare a Community


Impact Statement (ClS) when applying for an additional 20 or more gaming machines, so community<br />

<strong>and</strong> social costs are already considered before a dub is eligible to seek additional entitlements;<br />

meaning regional allocations provide additional <strong>and</strong> unnecessary barriers to clubs with gaming. The<br />

scheme is market based but the regional allocation <strong>of</strong> entitlements is contrary to market based<br />

principles which should determine dem<strong>and</strong> <strong>and</strong> supply.<br />

1.6 Amending the "high risk" glassing classification<br />

BRC supports removing the "high risk" glassing provisions while retaining the discretion for the chiej ~<br />

executive to place conditions on licences regarding the removal oJ: regular glass,<br />

The current laws on venue classification are arbitrary, as a single glassing incident or an<br />

unacceptable level <strong>of</strong> violence during a 12 month period (that may take place despite the best<br />

efforts <strong>of</strong> the venue to prevent it) places a venue in the "high risk" category. There is little or no<br />

avenue for redress <strong>and</strong> this has unreasonable commercial consequences for venues, including<br />

negative impacts on their reputation <strong>and</strong> insurance. The reform proposal recognises the efforts put<br />

in by venues to prevent the glassing or violent incident. OLGR already has the authority to place<br />

additional conditions on licensees.<br />

1.8 Review laws relating to additional club premises (greenfield sites <strong>and</strong> amalgamations)<br />

BRC supports Option i - accept the proposal (review laws related to additional club premises).<br />

This proposal will facilitate the establishment <strong>of</strong> new community clubs in greenfield sites by<br />

removing significant barriers, in particular the cap <strong>of</strong> 280 gaming machines, irrespective <strong>of</strong> the<br />

number <strong>of</strong> club venues <strong>and</strong> higher taxes due to the combined revenue <strong>of</strong> club venues under<br />

amalgamation. Removing these barriers will put community clubs on a level playing field with<br />

hotels, which are not restricted by such barriers when establishing venues in a new site. Without<br />

these incentives, the community clubs industry will continue to decline, with the consequent loss <strong>of</strong><br />

vital <strong>and</strong> irreplaceable community infrastructure.<br />

1.9 Reducing State-imposed event costs<br />

BRC supports Option 1 - accept the proposal (review requirements for major events).<br />

The current requirements by OLGR to complete event management plans etc. are onerous <strong>and</strong><br />

costly. For example, BRC is compelled to provide seven (7) such plans for any racecourse crowd<br />

over 5,000 persons. BRC recommends that a single event management plan setting out different<br />

crowd levels be submitted on an annual basis.<br />

2.:1 Streamlining gaming administration provisions<br />

BRC supports Option 1 - accept the proposal (streamline gaming administration provisions into one<br />

Act).<br />

Consolidation <strong>of</strong> the gaming laws is a practical solution because duplication across the gaming Acts is<br />

resulting in inefficiencies, inconsistencies <strong>and</strong> confusion for venues. A single gaming administration<br />

law will consolidate the common administrative matters, such as licensing, compliance <strong>and</strong> appeals,<br />

that are currently contained in seven gaming laws in one law for general administration <strong>of</strong> gaming<br />

(i.e. <strong>Gaming</strong> Administration Act). Specific provisions relating to a particular industry can then be<br />

placed in their respective laws. The separation <strong>of</strong> the administrative <strong>and</strong> licensing functions will


therefore greatly assist venues to underst<strong>and</strong> <strong>and</strong> implement the regulatory framework <strong>and</strong> reduce<br />

the regulatory burden on the industry.<br />

2.2 Ceasing involvement <strong>of</strong> liquor inspectors in fire safety regulation<br />

BRC supports Option 1 - accept the proposal (remove fire safety provisions under the <strong>Liquor</strong> Act).<br />

Fire safety issues are best placed under the respective fire safety laws, rather than in the <strong>Liquor</strong> Act,<br />

because the former provides a framework for minimum fire safety st<strong>and</strong>ards. The <strong>Liquor</strong> Act only<br />

duplicates the requirements, which results in confusion on what the exact requirements are for<br />

licensed premises in regards to fire safety. It is important to note that most other interstate<br />

regulators are not involved in regulating fire safety in licensed premises because this is a specialised<br />

area <strong>of</strong> operation.<br />

2.3 Reviewing liquor <strong>and</strong> gaming subordinate legislation<br />

BRC supports that u review be undertaken with respect to expiring liquor <strong>and</strong> gaming subordinate<br />

legislation. Because a review is required by the SIA, no options are put forth but input into the review<br />

is sought.<br />

Subordinate lesislation provides clarity <strong>and</strong> specific detail on many aspects <strong>of</strong> the principal Acts.<br />

Therefore, the industry must be given appropriate time <strong>and</strong> opportunity to provide comprehensive<br />

input into liquor <strong>and</strong> gaming subordinate regulations to ensure they remain contemporary <strong>and</strong><br />

relevant. This is a comprehensive review on its own <strong>and</strong> requires a separate submission. It is<br />

reiterated that no regulation should expire or be repealed without an appropriate level <strong>of</strong><br />

consultation with the industry.<br />

2.4 Reviewing the disciplinary provision under the <strong>Liquor</strong> Act<br />

BRC supports a review o~f section 137 <strong>of</strong> the <strong>Liquor</strong> Act to determine whether a legisletive<br />

amendment or other step is required to clerify the intent <strong>of</strong> the disciplinary action provision. Input<br />

into the review is requested from industry <strong>and</strong> the public. Because a review is proposed, no options<br />

ere put forth.<br />

There should be no ground to take disciplinary action against a venue in relation to events that could<br />

not have been foreseen <strong>and</strong> therefore could not have been prevented by the licensee. In other<br />

words, venues should only be accountable for what is within their reasonable powers. The laws<br />

must focus on whether a licensee has met its obligations <strong>of</strong> responsible service, rather than on<br />

events that are beyond the control <strong>of</strong> a licensee.<br />

2.5 Noise controls over liquor licensed premises<br />

It is proposed thet noise restrictions under the <strong>Liquor</strong> Act <strong>and</strong> the enforcement <strong>of</strong> noise restrictions be<br />

reviewed. Because ~ review is proposed, no options ere put forth.<br />

Noise control is a contentious matter <strong>and</strong> any review must recognise first occupancy rights (i.e. the<br />

venue was there first before the residents). In addition, the nature <strong>of</strong> activity should determine the<br />

noise level; hence, some activities such as live music dem<strong>and</strong> greater decibel limits. This should be<br />

on a case by case basis <strong>and</strong> not based on any arbitrary limits. The bottom-line should be an explicit<br />

recognition that licensed venues are public spaces <strong>and</strong> need to be able to <strong>of</strong>fer exciting <strong>and</strong> engaging<br />

entertainment for the benefit <strong>of</strong> their patrons.


2.6 Providing local governments with a greater say in licensing decisions<br />

BRC supports Option 2 -reject the proposal (do not provide local government with a greater say in<br />

licensing decisions).<br />

The involvement <strong>of</strong> local government should be extremely limited. There is argument to say that<br />

one exception is for local government to be the regulatory body for noise issues.<br />

3.2 Reviewing gaming machine maximum bet<br />

BRC supports Option ~ -increase maximum bet to $:ZO on dub <strong>and</strong> hotel gaming machines.<br />

Increasing the maximum bet to :~:[0 is strongly recommended <strong>and</strong> necessary in view <strong>of</strong> the annual<br />

increases in the Consumer Price Index (CPI) <strong>and</strong> that there has not been an increase to the maximum<br />

bet limit since .1.995. Hence, the current maximum bet limit <strong>of</strong> 55 (which has remained unchanged<br />

for :[8 years) has a significantly diminished commercial value in today’s dollars.<br />

This is in contrast to other gambling <strong>of</strong>fers that have no max bet limits (e.g. horse racing, keno,<br />

lotteries, etc) <strong>and</strong> online (internet based) poker machine / game <strong>of</strong>fers, where the maximum bet<br />

limits are significantly higher in comparison <strong>and</strong> are unregulated. An increased maximum bet limit<br />

<strong>of</strong> ~:[0 not only realigns the diminished value issue, but it also provides greater convenience for<br />

’pr<strong>of</strong>essional’ recreationat players <strong>and</strong> Queensl<strong>and</strong> clubs will also become competitive with QId<br />

casinos <strong>and</strong> NSW venues (for example), which currently have the ~:[0 maximum bet limit.<br />

3.3 Reviewing cash input restrictions on gaming machines<br />

BRC supports Option 1 - li~ing the prohibition to aflow the use o] any Australian banknote in aft<br />

Queensl<strong>and</strong> gaming machines, <strong>and</strong> increase the cash input limit at clubs <strong>and</strong> hotels.<br />

Lifting the prohibition to allow the use <strong>of</strong> any Australian banknote in al! Queensl<strong>and</strong> gamin8<br />

machines, <strong>and</strong> increasing the cash input limit to at least 5250 would increase player convenience,<br />

reduce the current cash h<strong>and</strong>ling expenses <strong>and</strong> place venues on par with gaming venues in New<br />

South Wales <strong>and</strong> Victoria. Of all the Eastern states, Queensl<strong>and</strong> is the only jurisdiction that does not<br />

allow the use <strong>of</strong> 550 notes <strong>and</strong> has the lowest specified cash input limit <strong>of</strong> all Australian jurisdictions.<br />

These changes will have tangible benefits to the ongoing financial viability <strong>of</strong> venues.<br />

3,4 Reviewing hours <strong>of</strong> operation<br />

BRC supports Option ~ - Ill-ring the prohibition on gaming be]ore .1.0am for those dubs that can<br />

demonstrate community need <strong>and</strong> have adopted voluntary pro-commitment.<br />

By way <strong>of</strong> example, Gallopers (Home <strong>of</strong> the Hamilton Bowls <strong>Club</strong>) has a predominantly older bowls<br />

membership base who <strong>of</strong>ten start their competitions early. <strong>Club</strong>s with bowling facilities, such as<br />

Gallopers, present a special case because many <strong>of</strong> their elderly players who rely upon their family<br />

members <strong>and</strong> friends to drop them at the club on their wayto work <strong>and</strong> hence, they are <strong>of</strong>ten seen<br />

queuing at the entrance <strong>of</strong> clubs prior to opening. Gallopers also <strong>of</strong>fers corporate breakfasts, host<br />

community <strong>and</strong> charity events (e.8. community breakfasts) <strong>and</strong> organize bingo for their older<br />

clientele.<br />

Gallopers is also close to Australia Trade Coast where many workers are shift workers <strong>and</strong> appreciate


early opening times. Accordingly, for shift workers their ’dinner’ is effectively their breakfast <strong>and</strong><br />

they want to enjoy a few drinks to end their working ’day’. Community clubs respond to these trends<br />

by acting as social outlets <strong>and</strong> meeting places, which are safe, familiar <strong>and</strong> friendly, <strong>and</strong> <strong>of</strong>fer the<br />

suite <strong>of</strong> services that people desire when they need them.<br />

3,5 Moratorium on extended liquor trading hours<br />

BRC supports Option 3 - Aflow the moratorium to end <strong>and</strong> consider a strategy to transJ~orm the night<br />

time economy to encourage a broader range oj~ locations <strong>and</strong> a broader range oJ~ consumers.<br />

The rationale for extended tradng hours is on the basis we now live in a 24/7 economy. Australians<br />

expect availability to most things due to convenience <strong>and</strong> proven need. There is growing evidence<br />

that more <strong>and</strong> more people are working non-traditional hours in recognition <strong>of</strong> the convenience that<br />

comes with it (e.g. to avoid peak-time transport congestion, to fit in with family commitments etc.).<br />

3,6 Restrictive trading on days <strong>of</strong> cultural significance<br />

BRC supports removing the trading hour restrictions to aflow normal trading on Anzac Day<br />

Observance <strong>of</strong> days <strong>of</strong> national, religious or cultural significance is a matter for the individual. The<br />

individual may choose to observe these days or may decide to engage in some other activity,<br />

Racecourses provide a wonderful opportunity for people to gather <strong>and</strong> celebrate Anzac Day in a truly<br />

Australian manner, i.e. a day at the races,<br />

Conclusion<br />

We commend the initiative <strong>of</strong> Government to reduce red tape <strong>and</strong> also inviting stakeholder<br />

submissions on how to do so. Please call with any questions.<br />

Yours faithfully<br />

CHIEF EXECUTIVE

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