emoved fromAppendix II.NE Solar (Cambodia) and Vina (Vietnam) were added to Appendix II.The certifications in Appendix V were modified such that companies must still share information regarding the identity of their wafer suppliers but may now receive business proprietary information (BPI) treatment for that information instead of having it publicly disclosed.In light of the final determinations of circumvention and the detailed requirements for temporary duty relief, US solar project developers who source solar panels from Southeast Asia should carefully evaluate their supply chains and take steps to ensure compliance and to mitigate the commercial impacts of the determination.___________1Antidumping and Countervailing Duty Orders on Crystalline Silicon Photovoltaic Cells, Whether or Not Assembled Into Modules, From the People’s Republic of China: Final Scope Determination and Final Affirmative Determinations of Circumvention With Respect to Cambodia, Malaysia, Thailand, and Vietnam, 88 FR 57419 (August 23, 2023). The final Issue and Decision Memoranda for each country are available for download at https://access.trade.gov/.See also the underlying AD/CVD Orders: Crystalline Silicon Photovoltaic Cells, Whether or Not Assembled Into Modules fFrom the People’s Republic of China: Amended Final Determination of Sales at Less Than Fair Value, and Antidumping Duty Order, 77 FR 73018 (December 7, 2012) (Solar Cells AD Order) and Crystalline Silicon Photovoltaic Cells, Whether or Not Assembled Into Modules, fFrom the People’s Republic of China: Countervailing Duty Order, 77 FR 73017 (December 7, 2012) (Solar Cells CVD Order).2Antidumping and Countervailing Duty Orders on Crystalline Silicon Photovoltaic Cells, Whether or Not Assembled Into Modules, From the People’s Republic of China: Preliminary Affirmative Determinations of Circumvention With Respect to Cambodia, Malaysia, Thailand, and Vietnam. 87 FR 75221 (December 8, 2022).3Proclamation 10414, “Declaration of Emergency and Authorization for Tempor