The Commission issued minor revisions to the Proposed Decision dealing with PCC classification of Voluntary Allocations ("VAs"). 2021 RPS Compliance Reports will not include VAMO information, however, next year’s reports will require template revisions for 2022 VAMO information. IOUs should not be required to provide information or assurance about the PCC classification of RECs provided to LSEs on resale after VA. LSEs need not request approval of executed pro forma VA contracts in RPS Plans. Lastly, the Commission expects LSEs to provide their reasons for not participating in the VAMO in RPS Plans.