SDAIA AI
Compliance
Evidence Pack
Pillar by pillar. Requirement by requirement. Audit-ready.
The only AI transformation methodology that operationalizes every SDAIA obligation through documented workflows, enforceable checkpoints, and retained artefacts delivered at engagement close.
Five Pillars.
Full Coverage.
Every pillar of the SDAIA AI Adoption Framework maps to a concrete AIMAN deliverable, a responsible phase, and a document that can be handed directly to an SDAIA reviewer without additional rework.
The Regulatory
Ecosystem
SDAIA does not operate in isolation. Every AIMAN engagement explicitly addresses the full lattice of national strategies, occupational standards, certification schemes, and procurement infrastructure.
The AI Office
Must Come First
The SDAIA Framework requires every adopting entity to establish an AI Office with executive sponsorship and defined roles. No AIMAN engagement proceeds beyond Phase 0 without a signed AI Office Charter.
Phase 0 PREPARE β AI Office Charter: Gating Condition
The AI Office maintains the Model Register, Risk Tier Register, and Oversight Mode Register. It coordinates with sectoral regulators (SAMA, SFDA, CST, DGA, CMA), liaises with SDAIA, owns the Compliance Evidence Pack lifecycle, and reports to the Head of Entity / CDO. Without this structure, no AI initiative in the Kingdom is compliant β regardless of the quality of the AI system itself.
Pillar-by-Pillar
Compliance
Partial coverage is not sufficient for formal SDAIA alignment. AIMAN operationalizes all five pillars through phase-linked activities and retained, version-controlled artefacts.
Data Governance
Deliverables
Model Accountability
Deliverables
Transparency
Deliverables
Human Oversight
Deliverables
Risk Management
4-Tier Risk Classification (SDAIA Draft Responsible AI Policy)
π« Prohibited
No deployment path. Documented refusal + rationale.
β οΈ High Risk
Full DPIA, annual AI System Assessor review, enhanced controls.
β‘ Limited Risk
Transparency requirements. Disclosure templates mandatory.
β Minimal Risk
Standard controls. Documented use case and data provenance.
Deliverables
12 Audit-Ready
Documents
At engagement close, the client receives a physical evidence binder (or digital equivalent) that can be handed directly to an SDAIA reviewer, internal audit team, or procurement officer β without additional rework.
Every Obligation
Mapped
The SDAIA Framework derives its binding force from these instruments. AIMAN maps every deliverable to the specific article, control family, or clause from which the obligation originates.
| Instrument | Type | Key Obligation | Penalty / Consequence |
|---|---|---|---|
PDPL Personal Data Protection Law (Royal Decree M/19) |
Binding | Lawful basis (Art.5), data subject rights (Art.10), cross-border transfer (Art.18), DPO appointment (Art.25), breach notification 72h (Art.29) | Up to SAR 5M per violation (Art.32) |
NDMO Policies National Data Management Office β Data Classification |
Binding | Four-tier classification: Top Secret / Confidential / Internal / Public. In-Kingdom processing defaults for Top Secret and Confidential. | Mandatory for public-sector AI |
NCA Controls National Cybersecurity Authority β ECC / CCC / CSCC |
Binding | ECC: all AI deployments. CCC: cloud workloads. CSCC: critical sectors (energy, water, finance, health, transport). | Critical sector enforcement |
SDAIA AI Adoption Framework September 2024 β 3 Strategic Pillars + 5 Governance Pillars |
Mandatory | Five governance pillars + AI Office. Mandatory for public sector and Etimad-registered vendors. | Tender exclusion before technical evaluation |
SDAIA Responsible AI Policy Draft April 2026 β Consultation closed 3 May 2026 |
Forthcoming | Four-tier risk classification, lifecycle governance, national data sovereignty, private-sector expansion expected. | Private-sector binding 2026+ |
ISO/IEC 42001 AI Management Systems β SDAIA certified July 2024 |
Framework | AI management system clauses 4β10. AIMAN evidence pack structured to support ISO/IEC 42001 audit readiness. | Procurement differentiator 2026+ |
EU AI Act Article 4 (Feb 2025 active) Β· High-risk (Aug 2026) |
Binding (EU) | Article 4 AI literacy obligations. High-risk system requirements. GPAI model obligations. Practitioners certified ACP+ can serve EU clients. | Up to β¬35M or 7% global turnover |
From Day 1 to
Audit-Ready
A focused Phase 0 PREPARE engagement produces a tailored compliance baseline within two weeks. Full five-phase delivery takes 3β6 months depending on organization size and AI portfolio.
PREPARE β AI Office + Governance Foundation
AI Office Charter signed. RACI Matrix with all roles filled. Data Inventory initiated. Regulatory scope confirmed (PDPL, NDMO, NCA, sectoral regulators). Etimad and Nitaqat compliance posture established.
IGNITE β Literacy & Psychological Safety
AI Literacy Register compiled. NOSF role profiles assigned per employee. SAMAI readiness established. Arabic + English disclosure templates drafted and legally reviewed. Leadership IGNITE delivered.
DISCOVER β Opportunity Mapping & Risk Classification
Use Case Workshop delivered. Impact/Effort Matrix produced. Four-tier risk classification applied. DPIA initiated for High Risk use cases. Data Flow Diagrams constructed per use case.
BUILD β Governance-Controlled Development
Model Cards for each system. Kill-switches implemented and tested. Monitoring Dashboard live. Content authenticity controls for GenAI. AI Incident Response Plan aligned to PDPL Article 29.
TRANSFER β Evidence Pack Delivered
All 12 documents compiled, version-controlled, and signed. Ownership Transfer Ceremony. Train-the-Trainer delivered. Governance Maturity Self-Assessment (SDAIA D8) conducted. SUSTAIN subscription activated.
Continuous Governance Maintenance
Quarterly Evidence Pack refresh. Annual Framework re-assessment. ISO/IEC 42001 management review alignment. Forward-compatibility updates as Responsible AI Policy is enacted.
Compliance is a
Property of the Method
Most AI programs treat compliance as a property of the finished system β something checked at the end. AIMAN treats compliance as a property of the method used to build it.
Get Your
Evidence Pack
A focused Phase 0 PREPARE engagement produces a tailored SDAIA compliance baseline for your organization within two weeks. No existing AI program required.