The Center for Data Innovation submitted comments to the European AI Office (AIO) regarding its consultation on the AI Act’s Code of Practice.
These comments highlight six key recommendations. First, the AIO should implement different levels of disclosure across the AI value chain to enhance transparency. Second, the Code should align with existing sector-specific legislation that fulfills AI Act requirements. Third, the AIO should leverage international AI community insights for risk identification and assessment. Fourth, it should differentiate between actual and speculative risks when defining GPAI provider obligations. Fifth, the Code should prioritize promoting AI innovation and adoption. Lastly, the AIO is encouraged to develop the Code iteratively, ensuring it is rooted in technical feasibility.