1. Define the buyer and import route
Confirm the Spanish or EU importer, buyer type, exact product, CN code, origin documents, taxes and current trade measures before shipment planning.

Model, import, grid and self-consumption review
JUSTSOLAR supports qualified distributors, installers, agents, EPCs and project buyers with full-container modules, OEM or private label, small modules, solar cells and selected system components. Start with the project route and five RFQ details.
We have Tier-1 OEM manufacturing experience under NDA. Customer and supplier names are not published, and this experience does not mean JUSTSOLAR is itself listed as a current Tier-1 brand.
Start Spain RFQQuick answer
Yes. JUST SOLAR is a solar module factory with 5 GW annual capacity and confidential Tier-1 OEM manufacturing experience under NDA. We review full-container modules, OEM or private label, small modules, solar cells and selected system components for qualified Spain B2B requests. Customer and supplier names are not published; model availability, documents, price, payment, delivery, warranty and final terms are confirmed only after RFQ review and in a written offer or PI.
Review the solar import evidence guideThese fields separate a real procurement request from a generic price inquiry.
Spain does not have one supplier certificate that replaces product conformity, import classification, self-consumption procedures, grid connection and project acceptance.
Confirm the Spanish or EU importer, buyer type, exact product, CN code, origin documents, taxes and current trade measures before shipment planning.
Review the model, legal manufacturer or brand owner, certificate holder, production site, declaration, test report, standard and revision for the intended use.
Confirm whether the installation has surplus, no surplus, individual or collective self-consumption. Use the consolidated RD 244/2019 reference, last updated by BOE on 21 March 2026, without replacing autonomous-community, municipal, installer or network procedures.
Use the consolidated RD 1183/2020 reference, last updated by BOE on 21 March 2026. The responsible distribution or transmission network manager and project parties still determine the applicable permits, data, studies and commissioning evidence.
Frank or the Director reviews model, documents, price, payment, delivery, warranty, offer and PI after the request is qualified.
A country label or self-consumption mode does not select the module. The buyer, installer, engineer, network manager and project parties should define the site evidence first.
Review a container-scale request with the exact product, quantity, destination and document scope.
Review supply pathReview nameplate, packaging, specification and quality-document requirements under NDA.
Review supply pathProvide dimensions, application, electrical target and expected quantity for review.
Review supply pathProvide the required cell format, technology, grade, quantity and application context.
Review supply pathDescribe the inverter, storage or accessory specification so the requested supply scope can be reviewed.
Review supply pathYes. JUST SOLAR is a solar module factory with 5 GW annual capacity and confidential Tier-1 OEM manufacturing experience under NDA. We review full-container modules, OEM or private label, small modules, solar cells and selected system components for qualified Spain B2B requests. Customer and supplier names are not published; model availability, documents, price, payment, delivery, warranty and final terms are confirmed only after RFQ review and in a written offer or PI.
The European Commission's current sector page lists cement, aluminium, fertilisers, iron and steel, hydrogen, and electricity; it does not list finished photovoltaic modules as a separate sector. The importer must still check the exact CN code, product composition, origin and current rules. JUSTSOLAR does not promise a special origin or routing workaround.
No. CE marking applies only where specific EU rules require it, and the responsible manufacturer or brand owner must identify the applicable requirements and maintain the declaration and technical documentation. The importer, installer, network manager, tender and project can require additional evidence.
No. The BOE consolidated reference, last updated on 21 March 2026, defines administrative, technical and economic conditions for self-consumption modes. BOE states that consolidated text is informative; official publications and current competent-authority procedures control legal reliance. Product evidence and project acceptance remain separate checks.
No. The consolidated RD 1183/2020 reference, last updated by BOE on 21 March 2026, sets the access and connection framework. The responsible transmission or distribution network manager and project parties assess the specific application; Red Electrica guidance is not blanket product or supplier approval.
Provide buyer type, country, product, quantity or MW or containers, and destination port. Frank or the Director then reviews model, documents, price, payment, delivery, warranty, offer and PI terms in writing.
Sources were reviewed on . They define self-consumption, grid, product and import review boundaries; they do not prove a JUSTSOLAR approval, customer, project, origin, stock position, price, delivery time or order.
Send buyer type, country, product, quantity or MW or containers, and destination port. Frank or the Director reviews fit before any formal recommendation, price, payment term, warranty, delivery statement, offer or PI.
Start qualified RFQ