DISCLOS / TRANSPARENCY

AI TRANSPARENCY AT DISCLOS

We sell EU AI Act audits, so we run the same audit on ourselves and publish the result. This page is our self-audit against Regulation (EU) 2024/1689: what AI we use, what we deliberately do not use, our findings, and the compliance documents we maintain.

OUR LAST SELF-AUDIT

Verdict: compliant. We found three AI features, all internal, none triggering an Article 50 transparency duty and none in the high-risk band. The full report is published as a worked example.

WHAT AI WE USE

A large language model inside our audit engine, with a human signing off on every output. A model to help draft articles, with a human reviewing every one before it publishes.

WHAT AI WE DELIBERATELY DO NOT USE

No biometric identification, no emotion recognition, no social scoring, and no automated decision that affects a person without human review.

OUR COMPLIANCE DOCUMENTS

Model card, transparency notice, DPA AI addendum, public AI use policy, and an internal AI register. Each is published or available on request.

VERIFY US THE WAY WE AUDIT YOU.

SOURCES + REFERENCES

Disclos is not a law firm. General information, not legal advice.