/ai-inventory
When this runs
The user wants to manage their AI system inventory under the EU AI Act. The
core idea the skill exists to enforce: role and tier are per-system, not
per-company. A single organization can be a provider of System A, a
deployer of System B, and an importer of System C. Each combination
triggers a different set of obligations under the AI Act. The inventory
exists so those assessments are tracked where you can find them — the
obligations themselves are derived in conversation, not from a table.
What to do
Read the config. Read
~/.claude/plugins/config/claude-for-legal/ai-governance-legal/CLAUDE.md.
If it doesn't exist or still has [PLACEHOLDER] markers, direct the user
to /ai-governance-legal:cold-start-interview first.
Read the inventory. Inventory lives at
~/.claude/plugins/config/claude-for-legal/ai-governance-legal/ai-systems.yaml.
If it doesn't exist, create it with an empty systems: list when the
first add runs.
Dispatch on the argument:
- No argument, or
list → show the inventory table (see List below).
add → run the Add flow.
edit <id> → show the current record, ask what to change, update one
field, confirm, write.
classify <id> → run the Classification walk-through on an
existing record, updating role, tier, role_basis, and tier_basis.
show <id> → show the full record.
On list, offer the dashboard:
"Want the full dashboard? Filter by status / tier / EU nexus / owner.
Say the word."
Close every action with a hook into the lawyer's work.
After any write, say:
Recorded. When you're ready to walk through obligations for this
system, just ask — I'll do it in-conversation and flag where the AI
Act article mapping needs your verification. I don't derive
obligations from a table because the mapping is complex and changing.
List format
Render as a compact table:
| ID |
Name |
Owner |
Status |
EU nexus |
Role |
Tier |
Next review |
| sys-001 |
Resume screening |
HR / Jamie |
in_production |
yes |
deployer |
high_risk |
2026-08-01 |
| sys-002 |
Email drafting assistant |
IT / Priya |
in_production |
no |
deployer |
limited |
2026-12-01 |
Under the table, show counts by tier and a line: "N systems flagged for
review within 30 days."
Add flow (interview)
Ask, one field at a time (or accept a paste). The required fields are
name, owner, description, status, eu_nexus. The rest can be
deferred — say so explicitly: "you can come back to classification with
/ai-governance-legal:ai-inventory classify <id>."
- Name. Short label for the system.
- Owner. Person or team accountable for it day-to-day.
- Description. One or two sentences. What does it do, and against
what data?
- Status.
planned | in_development | in_production | deprecated.
- EU nexus. Is the system deployed in the EU/EEA, offered to users in
the EU/EEA, or used to produce outputs that affect people in the
EU/EEA? If any of these are true, EU AI Act analysis applies.
- Proceed to classification? Offer to run the walk-through now, or
skip and come back later.
Assign an ID: sys-NNN where NNN is the next integer in the file.
Classification walk-through
The walk-through produces role, role_basis, tier, tier_basis. Both
bases are tagged [verify against current AI Act text] — not because the
skill is hedging, but because the article mapping is complex and the AI
Act is still phasing in. The lawyer owns verification.
Step 1: Role
Who does what to this system?
Options, with the distinguishing test:
- Provider — you develop it (or have it developed) and place it on the
EU market or put it into service under your own name or trademark.
- Deployer — you use it under your own authority, not for personal
non-professional use. (Most common inside companies.)
- Importer — you bring an AI system into the EU from a provider
established outside the EU.
- Distributor — you make an AI system available on the EU market
without being the provider or importer.
- Authorized representative — you act on behalf of a non-EU provider
and are established in the EU.
- Product manufacturer — you put a general-purpose AI system (or
another AI system) into a product under your own name/trademark. Treated
as provider for the product.
Dual-role flag. If the user substantially modifies a vendor system
(fine-tunes on their own data, changes the intended purpose, rebrands),
they may become a provider of the modified system even if they started
as a deployer. Call this out when they describe any modification beyond
configuration. [verify against current AI Act text — Article 25, provider obligations and substantial modification]
Write the role. Write role_basis in one sentence.
Step 2: Tier
What does the system do, and does the use case fall into a regulated
category?
Check in order:
A. Article 5 prohibited practices. [verify against current AI Act text — Article 5]
Summaries, not definitive text:
- Subliminal or deceptive techniques materially distorting behavior
- Exploiting vulnerabilities (age, disability, socio-economic status) to
materially distort behavior
- Social scoring by public authorities leading to detrimental treatment
- Real-time remote biometric ID in publicly accessible spaces for law
enforcement (narrow exceptions)
- Biometric categorization inferring race, political opinions, union
membership, religious or philosophical beliefs, sex life, or sexual
orientation
- Emotion recognition in the workplace or education (medical and safety
exceptions)
- Facial image database scraping from the internet or CCTV
- Predictive policing based solely on personality traits
If matched → tier is prohibited. Flag the use case as stop and route to
the governance team's prohibited-practice workflow.
B. Annex III high-risk areas. [verify against current AI Act text — Annex III]
Summaries:
- Biometric identification and categorization
- Critical infrastructure (digital infrastructure, road traffic, supply of
water / gas / heating / electricity)
- Education and vocational training (access, evaluation, proctoring,
monitoring prohibited behavior)
- Employment, worker management, self-employment access — recruitment,
selection, promotion, termination, task allocation, monitoring, performance
- Essential private and public services (public benefits, credit scoring
for individuals, risk assessment and pricing for life/health insurance,
emergency dispatch)
- Law enforcement (risk assessment, polygraphs, deepfake detection,
reliability of evidence, profiling)
- Migration, asylum, border control (risk assessment, travel document
verification, examination of applications)
- Administration of justice and democratic processes (research and
interpretation, influencing elections)
If matched → tier is high_risk. Note the Annex III area and subsection.
C. GPAI. [verify against current AI Act text — Article 51 and surrounding]
- GPAI: model trained on broad data at scale, designed for generality,
capable of competently performing a wide range of distinct tasks.
- GPAI + systemic risk: cumulative compute > 10^25 FLOPs, or designated
by the Commission.
D. Limited risk. Chatbots interacting with natural persons, deepfakes,
emotion recognition and biometric categorization systems outside Article 5
scope — transparency obligations apply.
E. Minimal risk. Everything else.
Write the tier. Write tier_basis in one sentence, citing the article or
Annex entry that matched, tagged [verify against current AI Act text].
Step 3: Recommendations
Offer three next steps:
- "Want me to walk through obligations for this system? I'll do it in
conversation — I don't derive them from a table."
- "Want to run
/ai-governance-legal:aia-generation to produce a full
impact assessment?"
- "Want to set a next review date? I'll add it to the inventory."
Record format
systems:
- id: sys-001
name: "Resume screening tool"
owner: "HR / Jamie"
description: "Filters inbound CVs against job criteria"
status: in_production # planned | in_development | in_production | deprecated
eu_nexus: true # deployed, offered, or affects people in the EU/EEA
role: deployer # provider | deployer | importer | distributor | authorized_rep | product_manufacturer
role_basis: "We license from VendorX and deploy internally [verify against current AI Act text]"
tier: high_risk # prohibited | high_risk | limited | minimal | gpai | gpai_systemic
tier_basis: "Annex III(4)(a) — employment, recruitment selection [verify against current AI Act text]"
obligations_assessed: false
obligations_note: "To assess: as deployer of a high-risk system — human oversight, input data quality, monitoring, record-keeping, informing workers, FRIA if public body/service — see Article 26 [verify against current AI Act text]"
next_review: "2026-08-01"
review_trigger: "on substantial modification or annually"
created: "2026-05-11"
updated: "2026-05-11"
Why this skill does NOT auto-derive obligations
The inventory stores role, tier, and the basis for each. It does NOT
contain a hardcoded role × tier → obligations table.
When the user asks "what are my obligations for System X?", the skill
does the analysis in conversation, tagged [verify], and routes to
/ai-governance-legal:aia-generation for the formal impact assessment
if needed.
This is deliberate:
- Article mapping is complex and the AI Act is phasing in through 2027.
- Confident-and-wrong on a compliance obligation ends up in a board memo.
- The inventory is a registry for the lawyer. The lawyer owns the
obligation analysis.
Guardrails
- Never classify silently. The classification walk-through must be
visible; do not auto-classify from a system description.
[verify] tags stay. They are not hedging — they are the point.
Do not strip them in outputs.
- Flag substantial modification. Whenever a system is modified beyond
configuration, prompt the user to re-run
/ai-inventory classify —
modification can change role.
- Don't declare obligations from a table. If asked, do the analysis
in conversation and route to
/aia-generation for anything that needs
a formal record.
1---2name: ai-inventory3description: EU AI Act per-system inventory — track each AI system's role (provider, deployer, importer, distributor, authorized representative, product manufacturer) and risk tier (prohibited, high-risk, limited, minimal, GPAI, GPAI+systemic). Role and tier are assessed per system, not per company. Use when the user says "ai inventory", "add an ai system", "what systems do we have", "classify this ai system", "eu ai act register", or "ai system registry".4---56# /ai-inventory78## When this runs910The user wants to manage their AI system inventory under the EU AI Act. The11core idea the skill exists to enforce: **role and tier are per-system, not12per-company.** A single organization can be a *provider* of System A, a13*deployer* of System B, and an *importer* of System C. Each combination14triggers a different set of obligations under the AI Act. The inventory15exists so those assessments are tracked where you can find them — the16obligations themselves are derived in conversation, not from a table.1718## What to do19201. **Read the config.** Read21 `~/.claude/plugins/config/claude-for-legal/ai-governance-legal/CLAUDE.md`.22 If it doesn't exist or still has `[PLACEHOLDER]` markers, direct the user23 to `/ai-governance-legal:cold-start-interview` first.24252. **Read the inventory.** Inventory lives at26 `~/.claude/plugins/config/claude-for-legal/ai-governance-legal/ai-systems.yaml`.27 If it doesn't exist, create it with an empty `systems:` list when the28 first `add` runs.29303. **Dispatch on the argument:**3132 - No argument, or `list` → show the inventory table (see **List** below).33 - `add` → run the **Add** flow.34 - `edit <id>` → show the current record, ask what to change, update one35 field, confirm, write.36 - `classify <id>` → run the **Classification walk-through** on an37 existing record, updating role, tier, role_basis, and tier_basis.38 - `show <id>` → show the full record.39404. **On list, offer the dashboard:**41 "Want the full dashboard? Filter by status / tier / EU nexus / owner.42 Say the word."43445. **Close every action with a hook into the lawyer's work.**45 After any write, say:46 > Recorded. When you're ready to walk through obligations for this47 > system, just ask — I'll do it in-conversation and flag where the AI48 > Act article mapping needs your verification. I don't derive49 > obligations from a table because the mapping is complex and changing.5051## List format5253Render as a compact table:5455| ID | Name | Owner | Status | EU nexus | Role | Tier | Next review |56|----|------|-------|--------|----------|------|------|-------------|57| sys-001 | Resume screening | HR / Jamie | in_production | yes | deployer | high_risk | 2026-08-01 |58| sys-002 | Email drafting assistant | IT / Priya | in_production | no | deployer | limited | 2026-12-01 |5960Under the table, show counts by tier and a line: "N systems flagged for61review within 30 days."6263## Add flow (interview)6465Ask, one field at a time (or accept a paste). The required fields are66`name`, `owner`, `description`, `status`, `eu_nexus`. The rest can be67deferred — say so explicitly: "you can come back to classification with68`/ai-governance-legal:ai-inventory classify <id>`."69701. **Name.** Short label for the system.712. **Owner.** Person or team accountable for it day-to-day.723. **Description.** One or two sentences. What does it do, and against73 what data?744. **Status.** `planned | in_development | in_production | deprecated`.755. **EU nexus.** Is the system deployed in the EU/EEA, offered to users in76 the EU/EEA, or used to produce outputs that affect people in the77 EU/EEA? If any of these are true, EU AI Act analysis applies.786. **Proceed to classification?** Offer to run the walk-through now, or79 skip and come back later.8081Assign an ID: `sys-NNN` where NNN is the next integer in the file.8283## Classification walk-through8485The walk-through produces `role`, `role_basis`, `tier`, `tier_basis`. Both86bases are tagged `[verify against current AI Act text]` — not because the87skill is hedging, but because the article mapping is complex and the AI88Act is still phasing in. The lawyer owns verification.8990### Step 1: Role9192> **Who does what to this system?**9394Options, with the distinguishing test:9596- **Provider** — you develop it (or have it developed) and place it on the97 EU market or put it into service under your own name or trademark.98- **Deployer** — you use it under your own authority, not for personal99 non-professional use. (Most common inside companies.)100- **Importer** — you bring an AI system into the EU from a provider101 established outside the EU.102- **Distributor** — you make an AI system available on the EU market103 without being the provider or importer.104- **Authorized representative** — you act on behalf of a non-EU provider105 and are established in the EU.106- **Product manufacturer** — you put a general-purpose AI system (or107 another AI system) into a product under your own name/trademark. Treated108 as provider for the product.109110**Dual-role flag.** If the user substantially modifies a vendor system111(fine-tunes on their own data, changes the intended purpose, rebrands),112they may become a **provider** of the modified system even if they started113as a deployer. Call this out when they describe any modification beyond114configuration. `[verify against current AI Act text — Article 25, provider115obligations and substantial modification]`116117Write the role. Write `role_basis` in one sentence.118119### Step 2: Tier120121> **What does the system do, and does the use case fall into a regulated122> category?**123124Check in order:125126**A. Article 5 prohibited practices.** `[verify against current AI Act127text — Article 5]`128129Summaries, not definitive text:130- Subliminal or deceptive techniques materially distorting behavior131- Exploiting vulnerabilities (age, disability, socio-economic status) to132 materially distort behavior133- Social scoring by public authorities leading to detrimental treatment134- Real-time remote biometric ID in publicly accessible spaces for law135 enforcement (narrow exceptions)136- Biometric categorization inferring race, political opinions, union137 membership, religious or philosophical beliefs, sex life, or sexual138 orientation139- Emotion recognition in the workplace or education (medical and safety140 exceptions)141- Facial image database scraping from the internet or CCTV142- Predictive policing based solely on personality traits143144If matched → tier is `prohibited`. Flag the use case as stop and route to145the governance team's prohibited-practice workflow.146147**B. Annex III high-risk areas.** `[verify against current AI Act text —148Annex III]`149150Summaries:1511. Biometric identification and categorization1522. Critical infrastructure (digital infrastructure, road traffic, supply of153 water / gas / heating / electricity)1543. Education and vocational training (access, evaluation, proctoring,155 monitoring prohibited behavior)1564. Employment, worker management, self-employment access — recruitment,157 selection, promotion, termination, task allocation, monitoring, performance1585. Essential private and public services (public benefits, credit scoring159 for individuals, risk assessment and pricing for life/health insurance,160 emergency dispatch)1616. Law enforcement (risk assessment, polygraphs, deepfake detection,162 reliability of evidence, profiling)1637. Migration, asylum, border control (risk assessment, travel document164 verification, examination of applications)1658. Administration of justice and democratic processes (research and166 interpretation, influencing elections)167168If matched → tier is `high_risk`. Note the Annex III area and subsection.169170**C. GPAI.** `[verify against current AI Act text — Article 51 and171surrounding]`172173- **GPAI:** model trained on broad data at scale, designed for generality,174 capable of competently performing a wide range of distinct tasks.175- **GPAI + systemic risk:** cumulative compute > 10^25 FLOPs, or designated176 by the Commission.177178**D. Limited risk.** Chatbots interacting with natural persons, deepfakes,179emotion recognition and biometric categorization systems outside Article 5180scope — transparency obligations apply.181182**E. Minimal risk.** Everything else.183184Write the tier. Write `tier_basis` in one sentence, citing the article or185Annex entry that matched, tagged `[verify against current AI Act text]`.186187### Step 3: Recommendations188189Offer three next steps:1901. "Want me to walk through obligations for this system? I'll do it in191 conversation — I don't derive them from a table."1922. "Want to run `/ai-governance-legal:aia-generation` to produce a full193 impact assessment?"1943. "Want to set a next review date? I'll add it to the inventory."195196## Record format197198```yaml199systems:200 - id: sys-001201 name: "Resume screening tool"202 owner: "HR / Jamie"203 description: "Filters inbound CVs against job criteria"204 status: in_production # planned | in_development | in_production | deprecated205 eu_nexus: true # deployed, offered, or affects people in the EU/EEA206 role: deployer # provider | deployer | importer | distributor | authorized_rep | product_manufacturer207 role_basis: "We license from VendorX and deploy internally [verify against current AI Act text]"208 tier: high_risk # prohibited | high_risk | limited | minimal | gpai | gpai_systemic209 tier_basis: "Annex III(4)(a) — employment, recruitment selection [verify against current AI Act text]"210 obligations_assessed: false211 obligations_note: "To assess: as deployer of a high-risk system — human oversight, input data quality, monitoring, record-keeping, informing workers, FRIA if public body/service — see Article 26 [verify against current AI Act text]"212 next_review: "2026-08-01"213 review_trigger: "on substantial modification or annually"214 created: "2026-05-11"215 updated: "2026-05-11"216```217218## Why this skill does NOT auto-derive obligations219220The inventory stores role, tier, and the basis for each. It does NOT221contain a hardcoded role × tier → obligations table.222223When the user asks "what are my obligations for System X?", the skill224does the analysis **in conversation**, tagged `[verify]`, and routes to225`/ai-governance-legal:aia-generation` for the formal impact assessment226if needed.227228This is deliberate:229- Article mapping is complex and the AI Act is phasing in through 2027.230- Confident-and-wrong on a compliance obligation ends up in a board memo.231- The inventory is a registry for the lawyer. The lawyer owns the232 obligation analysis.233234## Guardrails235236- **Never classify silently.** The classification walk-through must be237 visible; do not auto-classify from a system description.238- **`[verify]` tags stay.** They are not hedging — they are the point.239 Do not strip them in outputs.240- **Flag substantial modification.** Whenever a system is modified beyond241 configuration, prompt the user to re-run `/ai-inventory classify` —242 modification can change role.243- **Don't declare obligations from a table.** If asked, do the analysis244 in conversation and route to `/aia-generation` for anything that needs245 a formal record.