In order to ensure an appropriate and effective enforcement of the requirements and obligations set out by this Regulation, which is Union harmonisation legislation, the system of market surveillance and compliance of products established by Regulation (EU) 2019/1020 should apply in its entirety. Market surveillance authorities designated pursuant to this Regulation should have all enforcement powers laid down in this Regulation and in Regulation (EU) 2019/1020 and should exercise their powers and carry out their duties independently, impartially and without bias. Although the majority of AI systems are not subject to specific requirements and obligations under this Regulation, market surveillance authorities may take measures in relation to all AI systems when they present a risk in accordance with this Regulation. Due to the specific nature of Union institutions, agencies and bodies falling within the scope of this Regulation, it is appropriate to designate the European Data Protection Supervisor as a competent market surveillance authority for them. This should be without prejudice to the designation of national competent authorities by the Member States. Market surveillance activities should not affect the ability of the supervised entities to carry out their tasks independently, when such independence is required by Union law.
AI Act Recital EN
Recital 156
Monitoring AI and Machine Learning Artificial Intelligence DSA Enforcement Authority Powers and Procedures Market Surveillance and Control of AI Systems Administrative Fines on Union Institutions, Bodies, Offices and Agencies National Competent Authorities Designation and Appointment Authority Cooperation
Related across sources
Guidance Guidelines 9/2022 on personal data breach notification under GDPR Guidance Guidelines 05/2022 on the use of facial recognition technology in the area of law enforcement Guidance Version history Guidance Version history Guidance Guidelines 04/2022 on the calculation of administrative fines under the GDPR Guidance ARTICLE 29 DATA PROTECTION WORKING PARTY