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The introduction of the EU AI Act has added a new layer to risk assessments: the Fundamental Rights Impact Assessment (FRIA). For organisations already familiar with the Data Protection Impact Assessment (DPIA) under GDPR, the key challenge is understanding how these two frameworks interact — and how to implement them in practice.
If your organisation deploys high-risk AI systems, you will often need to conduct both a DPIA and a FRIA. While they share a similar structure, their scope and legal focus differ.
This guide explains:
A Data Protection Impact Assessment (DPIA) is required under Article 35 of GDPR when data processing is likely to result in a high risk to individuals’ rights and freedoms.
Typical triggers include:
The purpose of a DPIA is to:
For most organisations, DPIAs are already a standard part of compliance processes.
A Fundamental Rights Impact Assessment (FRIA) is introduced under Article 27 of the EU AI Act.
It applies to deployers of high-risk AI systems, particularly in areas such as:
Unlike a DPIA, a FRIA goes beyond data protection.
This broader scope is what makes FRIA a central requirement for AI governance.
A FRIA is required when:
Common examples include:
👉 In practice:
If your system requires a DPIA, it will very often also require a FRIA
Clearly describe what the AI system does, where it is used, and who is affected. This sets the scope of the assessment.
Define the categories of individuals affected, the scale of impact, and whether any vulnerable groups are involved.
Assess risks such as discrimination, lack of transparency, unfair outcomes, or exclusion from services.
Determine how serious each risk is and how likely it is to occur, using a structured evaluation approach.
Implement safeguards such as human oversight, bias testing, transparency measures, and appeal mechanisms.
Document the risks, mitigation measures, and decision-making process. Ensure internal approval and accountability.
Continuously monitor system performance, track incidents, and update the FRIA as the system evolves.