AIS-106
Spare-parts demand forecasting, passed through to clients
Already applicable: art.4 AI literacy. Compliance is owed from placement, not from a future date. No further dated milestone.
⚠ Problems to check before validating (0)
None. The register raises no warning on this row — which is not the same as a validated row: a human still signs it off.
How this was decided
- CMYes — An AI system, with an art.2 connecting factor to the EU, and no exemption claimed.[CJ, CK, CL]From your answers to: Q1.1 — Does the tool produce predictions, content, recommendations or decisions — rather than simply displaying, storing or computing data? ; Q1.2 — Does the tool produce those outputs by LEARNING from data, or by applying a model — rather than by running rules a person wrote? ; Q1.3 — Does the output INFLUENCE something — a physical environment, a workflow, a document, a decision — rather than just sitting there? ; Q1.4 — Does the tool work on its own to some degree, producing its output without a person specifying every step? ; Q2.1 — Where is the tool used, and where are the people or the outputs it affects? (tick all that apply) ; Q2.2 — Does the tool fall into any of these cases?
- FMinimal risk — In scope, not prohibited, not high-risk, and no art.50 transparency trigger. Voluntary codes of conduct apply; nothing mandatory follows from the risk level alone.
Obligations that apply (1 of 61; 60 ruled out)
art.4 applies to every provider and deployer of any AI system in scope, whatever its risk level, and — on the value-chain reading of recital 20 — to a provider of a general-purpose AI model: the people who operate and are affected by it must have a sufficient level of AI literacy. (A GPAI model is not literally an "AI system", so the strict text is arguable; the register takes the broad, fail-safe reading, and this note flags it as such.)
- art.4AI literacy (art.4)
Compliance dates
- Art.4 AI literacy have applied since 2 February 2025. A system or model first placed on the market on or after that date must comply from placement — there is no separate future transition deadline.
- No art.50 transparency duties apply to this system.
- No GPAI model obligations apply to this system.
Answers behind it
- Q1 · What does THE COMPANY do with this tool?
- THE COMPANY passes on or resells a supplier's AI tool to a Client, unchanged
- Q2 · At go-live, whose name or trademark is on it?
- —
- [B] High-risk area — Annex III
- No
- Personal data present? (GDPR art.4)
- No
One worked example under the register v11 rules. Fictional data; no account, nothing stored.