by Avi Gesser, Anna R. Gressel, and Tara Raam
This post is Part V of a five-part series by the authors on The Future of AI Regulation. For Part I, discussing U.S. banking regulators’ recent request for information regarding the use of AI by financial institutions, click here. For Part II, outlining key features of the EU’s draft AI legislation, click here. For Part III, discussing new obligations for companies under the EU’s draft AI legislation, click here. For Part IV, discussing a recent FTC blog post on companies’ use of AI, click here.
In this final post, we have taken those important developments in AI regulation, along with some other recently issued guidance, and prepared a list of 24 measures that companies can adopt now to prepare for the coming AI regulatory landscape, which is an update to a post we wrote last year on this same topic.