Devin (Cognition AI)
high riskAI Software Engineercognition.ai, devin.aiverified 2025-02-15profile 25% complete
Data-handling profile
- Trains on input
- Unknown / not publicly stated
- Retention
- unknown
- Data region
- unknown
- Certifications
- SOC 2
- DPA available
- Yes
- Breach history
- none
- EU AI Act
- Governed primarily under the General Purpose AI (GPAI) provisions of the EU AI Act. Since Devin functions as an autonomous agent executing code, downstream organizations deploying it in specific regulated sectors (such as critical infrastructure or employment) must evaluate potential high-risk classification based on the specific deployment context.
Sources
Every fact above is drawn from the vendor's public documentation, reviewed by a human, and version-stamped. Monitored daily for changes.
Control mapping
Obligations this vendor triggers, each attributable to the fact it rests on — for your supplier register, not a compliance determination.
- EU AI Act Art. 50 — Transparency obligations for AI systemsunknown
Vendor does not publicly state whether it trains on inputs. Unresolved: treat as a question for the vendor, not as a pass.
- EU AI Act Art. 26 — Obligations of deployers of high-risk AI systemsapplies
Applies to your organisation as deployer, independent of vendor. Assign human oversight, keep logs, and monitor operation where this tool is used in a high-risk context (Annex III duties apply from 2 Dec 2027).
- ISO/IEC 27001 A.5.19 — Information security in supplier relationshipsapplies
Devin (Cognition AI) processes organisational data as a supplier. Include this vendor in the supplier register and risk assessment.
- ISO/IEC 27001 A.5.20 — Addressing information security within supplier agreementsok
dpa_available = true. A data processing agreement is available and should be executed.
- ISO/IEC 27001 A.5.23 — Information security for use of cloud servicesapplies
Cloud AI service; trains_on_input = unknown. Define acceptable-use and configuration rules for this cloud service.
- ISO/IEC 42001 A.10.3 — Suppliers of AI systems and servicesapplies
certifications: SOC 2 No AI-management certification identified; assurance must come from your own supplier assessment.
- GDPR Art. 44–49 — International transfers of personal dataunknown
Vendor does not publicly state its processing region. Residency unresolved — required before transferring personal data.
- NIS2 Art. 21(2)(d) — Supply chain securityapplies
AI vendor forms part of your ICT supply chain. In scope for entities covered by NIS2; include in supply-chain risk measures.
- DORA Art. 28 — General principles for ICT third-party riskapplies
AI vendor is an ICT third-party service provider. For financial entities: register of information and contractual requirements apply.
Change history
No material changes recorded since monitoring began.