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Sider AI

medium risk

AI Assistant / Browser Extensionsider.aiverified 2024-05-22profile 50% complete

Data-handling profile

Trains on input
Yes, on the consumer tier (enterprise tier excluded)
Retention
Data is retained for the duration of the account lifespan or until deleted by the user; logs are kept for a period to maintain service stability and security.
Data region
unknown
Certifications
none listed
DPA available
No
Breach history
none
EU AI Act
As a platform integrating third-party LLMs (OpenAI, Anthropic, Google), compliance obligations depend on the provider models used; Sider does not explicitly state its own standing regarding EU AI Act provider/deployer roles.

Sources

Everything above rests on a single document. That is not the same evidence as two independent documents agreeing. If the vendor moves or rewrites that page, the whole profile goes with it — treat these claims as uncorroborated and check them yourself before relying on them.

Every fact above is drawn from the vendor's public documentation, reviewed by a human, and version-stamped. Monitored daily for changes. 1 of these 2 links no longer resolve. We record what we relied on rather than deleting it, so the trail stays auditable — but a struck-through source cannot be re-checked today.

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 systemsattention

    trains_on_input = consumer_tier. Inputs may be reused for model training — users interacting with this system need to be informed accordingly.

  • 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

    Sider 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 agreementsgap

    dpa_available = false. No DPA identified — security and processing terms are not contractually established.

  • ISO/IEC 27001 A.5.23 Information security for use of cloud servicesattention

    Cloud AI service; trains_on_input = consumer_tier. Data submitted to this cloud service may be retained or reused — define acceptable-use rules for it.

  • ISO/IEC 42001 A.10.3 Suppliers of AI systems and servicesapplies

    No certifications listed. 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.

Watch this vendor

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Change history

No material changes recorded since monitoring began.