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Direct answer

What is automation bias and what should our organisation do about it? (We take it from a vendor)

This falls under Article 14: human oversight. That obligation applies from 2 December 2027. There is one exception you have to assess yourself.

This could go the other way

  • For remote biometric identification the reinforced requirement of verification by at least two authorised persons applies (Article 14(5)), with the exceptions listed there.

First step: Design and assign effective human oversight.

You describe: Employees blindly trust AI output. You want to know what the AI Act says about this and how to counter it demonstrably. Likely role: deployer (you use the system).

The conclusion and your first steps

This applies now

Coming up

Then you are the deployer. Your vendor builds the system in conformity, you use it in conformity: according to the instructions for use, with human oversight that can genuinely intervene, and with the documents you should receive from them. Request the technical documentation and the declaration of conformity now; without them you cannot demonstrate your own duties later, and that is a contract question to raise before signing.

Your first actions

  1. Design and assign effective human oversight. Determine oversight measures per system, appoint competent persons and give them the mandate to intervene or stop.
  2. Take role- and context-specific AI literacy measures. Determine for each role, system and context which combination of instruction, guidance, practice or training is appropriate.
  3. Assign human oversight and give those people a mandate. Name, per high-risk system, who exercises oversight, and ensure that person has the competence, training, authority and support to actually set the output aside.
Read the official sourceChecked on

General interpretation, not legal advice. Checked against Regulation (EU) 2024/1689 and the Digital Omnibus (EU) 2026/1744; the official source remains authoritative.

Full map for your situation

Your route

From your situation, via your role, to what applies and when it starts.

1 now · 4 later

Your situation

Employees blindly trust AI output. You want to know what the AI Act says about this and how to counter it demonstrably.

Role

Deployer (you use the system)

To record: Oversight file per system · AI literacy measures record · Deployment dossier: logs, worker information and information to affected persons

Source and locator

Every statement above rests on these texts. The locator points to the place in the text, the version and the date say which edition was checked.

  • EU Artificial Intelligence Act 2024/1689

    European Parliament and Council, version original-oj-2024-07-12, checked on , ELI http://data.europa.eu/eli/reg/2024/1689/oj

    Locators in this source

    • Article 14(1)-(5)
    • Article 26(1)-(12)
    • Article 6 and Annex III
    • Article 6(2)-(4), Article 49 and Annex III
    • Article 10(1)-(6)
  • Digital Omnibus on AI 2026/1744

    European Parliament and Council, version official-journal-2026-07-24, checked on , ELI http://data.europa.eu/eli/reg/2026/1744/oj

    Locators in this source

    • Amended Article 113 application dates
    • Amendment of Article 4; entry into force 27 July 2026
    • Amended Article 113, Article 6(2) and Annex III application date
  • AI literacy questions and answers

    European Commission, version updated-2026-07-27, checked on

    Locators in this source

    • Questions on measures, formats, certificates and records
    • Implementation examples and evidence guidance

Dataset praxikon:sys:registry:dataset:ai-act-implementation-graph 2.2.0, schema 1.5.0.

Execution

Make supplier information and commitments verifiable

Your own file partly depends on information, instructions and commitments from the provider or supplier. Embed AI checks which materials are missing and translates those gaps into contractual and operational actions. The source interpretation above is separate from this commercial referral by Praxikon to an affiliated brand.

See the vendor and contract approach
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Zahed Ashkara, jurist and freelance AI & Privacy Consultant

Behind this page

Zahed Ashkara

Freelance AI & Privacy Consultant, jurist