AI Transparency
Last updated: July 7, 2026
Need help? Contact us at info [at] easy-audit [dot] ai
Last updated: July 7, 2026
Need help? Contact us at info [at] easy-audit [dot] ai
Translation Notice: This English translation was produced with the assistance of artificial intelligence (LLM) and is provided for informational purposes only. In the event of any discrepancy between the English and Slovak versions, the Slovak version shall prevail. The relationship is governed by the law of the Slovak Republic.
The legally binding version is available at: /sk/legal/ai-transparency
Effective: 07.07.2026 · replaces the version of 01.04.2026
Why we provide this information. Regulation (EU) 2024/1689 (the AI Act) imposes transparency obligations on providers and deployers of AI systems (Article 50), effective from 2 August 2026. easyAI (DDN Consulting s.r.o.) uses AI systems in its services and commits to these obligations.
Our role. For our own products (e.g. AI Foundation Audit; free and paid tools in preparation) we act as a provider of an AI system; for internally used tools, as a deployer. Our products are not high-risk AI systems and do not carry out prohibited practices under the AI Act.
Marking of AI-generated content (Article 50(2)). Outputs of our products generated by an AI system (reports and documents) are marked as artificially generated — both visibly (a declaration in the document) and in a machine-readable format (in the file metadata). We do so in a manner robust to ordinary handling of the file, to the extent technically feasible.
Interaction with an AI system (Article 50(1)). If we make available a tool intended to interact directly with people, we ensure the person is informed they are interacting with an AI system, at the latest at first contact. We do not currently operate a website chatbot. In our prospective-client outreach we use an AI-assisted tool solely to find contacts; the communication itself is performed by a human and is not AI-generated, so the Article 50(1) obligation does not apply to that communication.
Published AI-generated text (Article 50(4)). Articles and content in the Insights section are prepared with AI assistance. Every article undergoes human review before publication (we read it before publishing) and a designated person holds editorial responsibility for the content on behalf of the company; the Article 50(4) exception therefore applies. Beyond this obligation, we additionally disclose AI assistance voluntarily.
AI literacy (Article 4). Persons who work with AI systems at our company undergo appropriate training (an internal AI use policy and AI literacy programme); this obligation has applied since 2 February 2025.
Contact. Questions on AI transparency: [email protected] (for personal-data questions, [email protected]).