Operators do not need every commentary. They need the small set of primary texts that regulators, courts, and insurers treat as load-bearing. This page is a map to those texts. Each entry links to the source, notes its status, and explains where it fits.
Where the duty is legal, not voluntary. Cited with jurisdiction and activation date.
The horizontal rule. Operator provisions enter application 2 August 2026. Full high-risk regime operational 9 December 2026.
European UnionRevised product liability regime. Includes AI software as a product. Rebuttable presumption of defect where the AI Act has been breached.
United States · ColoradoFirst comprehensive US state AI statute. Duty of care on developers and deployers. Effective 1 February 2026.
Republic of KoreaFirst comprehensive AI statute in Asia. Risk-tiered classification. Extraterritorial reach.
Non-binding in most jurisdictions. Operationally load-bearing because courts, regulators, procurement, and insurers reference them.
Govern, Map, Measure, Manage. The framework US courts and regulators reach for when defining reasonable care.
United StatesGenerative AI extension. Twelve specific risks relevant to agentic systems.
InternationalThe first certifiable AI management system standard. 38 controls in Annex A.
SingaporeOpen-source testing toolkit and governance framework with 2024 GenAI edition.
IntergovernmentalFive values and five recommendations. The shared vocabulary of most national frameworks.
Council of EuropeFirst international treaty on AI. Opened for signature September 2024.
What sectoral and supervisory authorities have actually published. Courts will treat these as the standard of practice.
UK data protection authority's position on AI. Detailed, practical, frequently cited.
European UnionEuropean supervisor's positions on AI in insurance. Cross-referenced globally for AI and financial risk.
SingaporeFairness, Ethics, Accountability, Transparency principles for AI in financial services.
United StatesA growing body of FTC blog posts, statements, and enforcement actions defining the federal consumer-protection posture on AI.
Where the residual risk is priced. Read these to understand how insurers are reading the regulation.
Agent insurance architecture, the coverage gap, monoline specialty markets, treaty structures.
Operator AccessOperator-facing entry point. What is covered, what is excluded, how to document before bind.
CertificationPublished seven-dimension methodology. The framework insurers are asking operators to meet.