Gpt Researcher EU AI Act Compliance Profile
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Your risk depends on how you use Gpt Researcher
| Usage Context | Risk Level | Obligations |
|---|---|---|
| Internal coding tool | MINIMAL | 3 obligations (~12h) |
| Customer support bot | LIMITED | 7 obligations (~32h) |
| HR screening / hiring | HIGH | 19 obligations (~120h) |
| Credit decisions | HIGH | 19 obligations (~120h) |
| Medical triage | HIGH | 19 obligations (~120h) |
Why this tool is classified as HIGH RISK
An autonomous agent that conducts deep research on any data using any LLM providers.
Applicable Articles
Who does what
assafelovic (provider)Their job
- Provider obligations being compiled
You (deployer)Your job
- •AI Literacy (Art. 4) (Art. 4)
- •AI Disclosure (Art. 50) (Art. 50)
- •Human Oversight (Art. 26) (Art. 26)
- •Data Governance (Art. 10) (Art. 10)
- •Robustness Monitoring (Art. 26) (Art. 26)
Risk Assessment Reasoning
The Gpt Researcher tool is classified as high risk due to its autonomous nature and capability to conduct deep research, which may involve sensitive data processing and impact individuals' rights and freedoms.
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Frequently Asked Questions
What is Gpt Researcher's EU AI Act risk classification?
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Gpt Researcher is classified as HIGH RISK under the EU AI Act. This means 7 mandatory obligations including conformity assessment, FRIA, and human oversight requirements.
What are my obligations if I deploy Gpt Researcher?
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As a Gpt Researcher deployer, you have 7 base obligations (~96 hours estimated effort). Key articles: Art. 4, Art. 50, Art. 26, Art. 10.
What is Gpt Researcher?
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Gpt Researcher is a Unknown model. It has 0 downloads on HuggingFace.
What are the EU AI Act deadlines for Gpt Researcher?
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Already passed: AI Literacy (Art. 4) — 2025-02-02. Already passed: AI Disclosure (Art. 50) — 2025-08-02. Upcoming: Human Oversight (Art. 26) — 2027-08-02. Upcoming: Data Governance (Art. 10) — 2027-08-02. Upcoming: Robustness Monitoring (Art. 26) — 2027-08-02. Upcoming: FRIA (Art. 27) — 2027-08-02. Upcoming: Risk Management (Art. 9) — 2027-08-02.
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