EU AI Act Compliance Checker
Free first-pass audit of your AI deployment against EU Regulation 2024/1689. Catches the top 12 violations most likely to bite SMBs. Not legal advice.
Built by MIMIR — AI agency based in Riga, EU. We build AI Act-compliant voice agents, chatbots, and content systems from day one.
Article 5 prohibitions: in force since 2 Feb 2025. Article 50 transparency: in force from 2 Aug 2026.
Building AI agents and don't want to deal with this later? MIMIR builds AI Act-compliant voice agents, chatbots, and content systems from day one — proper Art. 50 disclosures, consent flows, C2PA on generated content, deepfake transparency for marketing. Book a free 20-min compliance call →
See the 12 violations we check
- Chatbot missing AI disclosure — V001 · Article 50(1)
- Voice agent missing AI disclosure — V002 · Article 50(1)
- Synthetic content not machine-readable marked — V003 · Article 50(2)
- Deepfake without clear disclosure — V004 · Article 50(4)
- AI-generated public-interest text without label — V005 · Article 50(4)
- Subliminal or manipulative techniques causing significant harm — V006 · Article 5(1)(a) · prohibited
- Exploitation of vulnerabilities (age, disability, social/economic situation) — V007 · Article 5(1)(b) · prohibited
- Social scoring with detrimental treatment — V008 · Article 5(1)(c) · prohibited
- Emotion recognition in workplace or education — V009 · Article 5(1)(f) · prohibited
- Biometric categorisation for sensitive attributes — V010 · Article 5(1)(g) · prohibited
- Real-time remote biometric identification in public spaces — V011 · Article 5(1)(h) · prohibited
- GPAI provider missing documentation / training-data summary / copyright policy — V012 · Article 53
Audit result
General recommendations
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MIMIR does full EU AI Act compliance audits, voice agent disclosure rewrites, C2PA content credential embedding, and deepfake transparency for marketing campaigns. Latvian, Lithuanian, Estonian, Russian, English.
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This is an automated first-pass check, not legal advice. For binding compliance decisions, consult qualified counsel — MIMIR or otherwise.