Yeah, but what they mostly said is that they are providing you with an easy peasy safe harbor of (a) suspending through end of 2020, (b) starting repayments again in January, 2021, (c) extending the loan term out for the lesser of a full 12 months or the date 12 months from the date its original 5-year term would have expired, and (d) doing just one new amortization schedule so that all the payments beginning with the January, 2021 resumption date are the same amount. They noted that other approaches could be defended as consistent with the statutory language, but would be more complex and they did not bother describing them, since the safe harbor will be better in almost every instance.