The package has a sanctions-remediation trail.
The clean supplier list is not the full diligence file. On 27 May 2026, Rolls-Royce SMR named Skoda JS and Doosan Enerbility as two strategic suppliers for key nuclear-island components. That proves the public supplier layer. It does not prove the chain beneath it.
14 pages · published 7 July 2026 · every figure traces to a named public record
What the public record shows.
https://www.rolls-royce-smr.com/press/rolls-royce-smr-partners-with-leading-global-suppliers-of-key-nuclear-island-components
https://www.skoda-js.cz/news/cez-becomes-the-new-owner-of-skoda-js/
https://www.skoda-js.cz/press/skoda-js-preparing-to-manufacture-reactors-and-other-nuclear-equipment-for-rolls-royce-smr/
https://www.skoda-js.cz/press/skoda-js-becomes-the-first-central-european-company-to-obtain-one-of-the-most-demanding-certifications-in-the-nuclear-industry-asme/
Each finding in the briefing traces to a named public record — a notice ID, a filing, a register entry — so you can check any line yourself. The full read, with sources, is in the PDF.
What the public record doesn't settle.
That is not a current misconduct claim. It is the diligence turn. A bid lead should ask for the remediation file, current sanctions/export-control screening, facility qualification, named forging route, allocation rights, and substitution plan before treating the package as proved.
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