Privacy Automated LLC

Privacy Automated LLC — AI transparency notices

Article 50 transparency notice — Claude AI features

EU AI Act · Article 50·Published June 22, 2026

Overview of this notice

This notice explains how PrivacyAutomated uses AI in its platform features and what we tell you about it under Article 50 of the EU AI Act.

PrivacyAutomated uses a large language model (Claude, provided by Anthropic) to power features such as Q&A drafting, DPIA/PIA generation, DSAR classification, and vendor research. These features generate or help produce text content.

This notice addresses:

  • Article 50(2) — marking AI-generated content as artificially generated.
  • Article 50(1) — telling you when you are interacting directly with an AI system, where that applies (for example, an AI-assisted Q&A or chat experience).

You are interacting with an AI system

When you use a feature powered by Claude — such as AI-assisted Q&A, drafting, PIA/DPIA, vendor risk assessment — you are interacting with an artificial intelligence system, not a human.

The AI can draft answers, generate privacy documentation, classify data-subject requests, and research vendors. Its output may contain errors and should be reviewed before you rely on it.

We show this notice at the point where you first use an AI feature, not only in our terms of service.

How we mark AI-generated content

Content produced by our AI features (such as drafted answers, DPIA/PIA text, and vendor summaries) is generated by a large language model.

Under Article 50(2), AI-generated output must be marked in a way that is effective, interoperable, robust, and reliable. We apply a visible "AI generated" label on synthetic text shown in the UI. For example, a banner above each generated draft.

How and when this disclosure is delivered

We provide this disclosure in a clear and distinguishable way, at the latest at the time of your first interaction with or exposure to an AI feature (Article 50(5)(a)).

We aim to make this disclosure accessible to people with disabilities, including:

  • Screen-reader-compatible text and alt text for any visual labels.
  • Sufficient colour contrast for visible "AI generated" labels.
  • Plain language at a WCAG-recommended reading level.

Contact

If you have questions about this notice or about how we use AI in our features, please contact us at info@privacyautomated.ai or https://app.privacyautomated.ai/r/privacy-automated.

Published with Privacy Automated. This page reflects the organization's current published notice.