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@@ -59,7 +59,7 @@ Article 13 AI Act applies to high-risk AI Systems (details in Article 6) and out
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  **Article 13 (2)** Requires that the high-risk AI System shall be accompanied by **instructions for** use** [Like a “**(Digital) User Manual**”] that helps the deployer (the entity who is putting the AI System into use) operate and maintain the AI System as intended, as well as supporting an informed decision making by the deployer. Such a User Manual has to incorporate information referred to in Article 13 (3) and be available prior to putting the AI System into service or placing the AI System on the market.
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- **Article 13 (3)** Specifies concrete information that shall be communicated for reaching sufficient transparency to satisfy Article 13 (1). This is the focus of the AI-SBOM and includes information such as the intended purpose of the AI System, known/foreseeable risks/misuses, desired input data, affected persons etc. The AI BOM is not meant to replace or implement the instructions for use. The AI BOM aims to support in collecting such relevant information for the instructions of use during the development process of an AI System.
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  Thus, high-risk AI Systems shall be designed and developed in such a way that their operation is sufficiently transparent to assure the respective deployer (and provider themselves if they deploy their own AI System internally) appropriately interpret and use the results of the AI System [“Procedural Transparency”]. Such Procedural Transparency, as outlined in Article 13, is particularly crucial in the AI value chain perspective from the provider to the actual deployer of the AI System.
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  **Article 13 (2)** Requires that the high-risk AI System shall be accompanied by **instructions for** use** [Like a “**(Digital) User Manual**”] that helps the deployer (the entity who is putting the AI System into use) operate and maintain the AI System as intended, as well as supporting an informed decision making by the deployer. Such a User Manual has to incorporate information referred to in Article 13 (3) and be available prior to putting the AI System into service or placing the AI System on the market.
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+ **Article 13 (3)** Specifies concrete information that shall be communicated for reaching sufficient transparency to satisfy Article 13 (1). This is the focus of the AI-SBOM and includes information such as the intended purpose of the AI System, known/foreseeable risks/misuses, desired input data, affected persons etc. The AI-SBOM is not meant to replace or implement the instructions for use. The AI-SBOM aims to support in collecting such relevant information for the instructions of use during the development process of an AI System.
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  Thus, high-risk AI Systems shall be designed and developed in such a way that their operation is sufficiently transparent to assure the respective deployer (and provider themselves if they deploy their own AI System internally) appropriately interpret and use the results of the AI System [“Procedural Transparency”]. Such Procedural Transparency, as outlined in Article 13, is particularly crucial in the AI value chain perspective from the provider to the actual deployer of the AI System.
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