computing division which is why regulators thought in order to ensnare amazon within the scope of this deal, they needed to take a more nuanced, segmental approach to the company's profits. approach to the company's rofits. , ., , , approach to the company's rofits. , . , , ., , profits. presumably that is the case with amazon, _ profits. presumably that is the case with amazon, but - profits. presumably that is the case with amazon, but it - profits. presumably that is the case with amazon, but it will. case with amazon, but it will have to be the case with other companies as well because i would imagine if i was running a business i would be thinking right, i need my profit margin below io%, 10% or less, that would be the thinking, going forward? ., �* , would be the thinking, going forward? . �*, , ., forward? that's exactly what the regulators _ forward? that's exactly what the regulators are _ forward? that's exactly what the regulators are trying - forward? that's exactly what the regulators are trying to l the regulators are trying to avoid at the outset, in the same ways that companies have used low tax, different tax jurisdictions as an arbitrage mechanism, they don't want to use their own segmental profits is in a similar mechanism to pay the lowest tax possible when the goal of countries involved is to maximise their tax stake. involved is to maximise their tax stake-— involved is to maximise their tax stake. just briefly, do you think this _ tax stake. just briefly, do you think this system _ tax stake. just briefly, do you think this system will - tax stake. just briefly, do you think this system will work? i think this system will work? it's called historic, groundbreaking, will do the job? that groundbreaking, will do the “ob? �* , groundbreaking, will do the 'ob? �* , , . , job? at this stage we must remember _ job? at this stage we must remember it _