Choose the correct disclosure approach for different AI interactions and synthetic content.
Separate provider duties from deployer duties and identify the specific Article 50 scenario.
Timing, clarity and accessibility of a notice matter; a disclosure that cannot realistically be understood is weak evidence of transparency.
Synthetic or manipulated content may require different technical or user-facing measures from a chatbot interaction.
Draft two different notices: one for an AI chatbot and one for a synthetic voice used in public-facing media.
Based on the uploaded EU AI Specialist lesson notes and checked against the consolidated EU AI Act in force on 27 July 2026. Where the source pack and current law differ, the current law wins.