The operating challenge
Connect the moving parts before evidence becomes a bottleneck.
Connect upstream material and forced-labour risk to component, project, installation, and carbon evidence.
Primary buyer
Responsible sourcing and project procurement
Representative records
Solar modules, inverters, turbines, storage, polysilicon, metals, composites, component plants, BOMs, shipments, and projects
Evidence workflow in practice
Connect upstream production to the project buying decision.
Trace a solar-module order through component facilities, independent evidence and a human-supervised sourcing review.
- Project developerOwns the purchase decision
- Module manufacturerCoordinates component evidence
- Independent data providersSupply external signals
- Responsible sourcingApproves the response
01 InitiateOpen the exact case02 ResolveConnect identity and evidence03 CoordinateCheck, route, and prepare04 DecideKeep human authority05 ActIssue and reuse the outcome
Module order
Open the source-review workflow against the exact project order.
- Input
- Module models, purchase order and project destination
- Control
- The buyer owns its sourcing and legal decisions; independent data is evidence, not an automatic conclusion.
- Handoff
- Production evidence · Module manufacturer
- Module orderProject developer
The project order carries a documented source analysis, owned action and monitoring record.
Workflow boundary
The EU prohibition and investigation framework must be applied to the actual product and facts when operative.
EU Forced Labour Regulation — official source
Live platform capabilities
Shape CommonShare around this evidence chain.
Configure these live capability families around the records, contributors, controls, and outputs in your evidence chain.
01. Multi-tier mapping
Connect products, suppliers, facilities, materials, and transactions across tiers.
02. Supplier collaboration
Request structured data and evidence through collaborative supplier workflows.
03. Evidence governance
Extract, version, approve, and preserve documents with a reviewable audit trail.
04. Risk screening
Connect watchlist, sourcing, geography, and documentation signals to the right records.
05. Cases and corrective action
Route exceptions through cases, corrective actions, approvals, and escalation paths.
06. Impact calculations
Maintain carbon, PEF, and CBAM calculations in traceable reporting ledgers.
07. Regulation-specific outputs
Prepare controlled statements, evidence rooms, certificates, assessments, and submission data.
Relevant pathways
Start with product, role, and market—not a generic checklist.
Applicability depends on the current law and the specific company, product, material, transaction, and market facts.
ESPR
No broad renewable-equipment delegated act is scheduled in the first plan.
EU Batteries
Applies separately to covered storage products.
CBAM
Applies to covered imported goods, not every downstream component.
CSDDD
Company scope and chain-of-activities duties require entity-specific review.
EU Forced Labour
The product prohibition applies from 14 December 2027.
UFLPA
Applies to US imports exposed to the statutory presumption.
Explore the family
More in Mobility & Energy.
Follow adjacent products into their distinct evidence chains.
Confirm your scope
Apply current legal text and implementing measures to your company role, products, materials, transactions, markets, and facts.
