欧盟EDPB:2024年ChatGPT工作组的工作报告(英文版)(14页).pdf
1、Report of the work undertaken by the ChatGPT Taskforce 23 May 2024 Final 2 Table of contentsTable of contents DISCLAIMER.3 1 Background.4 2 ONGOING INVESTIGATIONS.5 3 PRELIMINARY VIEWS.6 3.1 Lawfulness.6 3.1.1 Collection of training data,pre-processing of the data and training.6 3.1.2 ChatGPT input,
2、output and training.7 3.2 Fairness.7 3.3 Transparency and information obligations.8 3.4 Data Accuracy.8 3.5 Rights of the data subject.9 4 ANNEX(QUESTIONNAIRE).9 Final 3 DISCLAIMER The positions presented in this document result from the coordination of the members of the ChatGPT taskforce with a vi
3、ew to handling investigations regarding the service ChatGPT provided by the US based company OpenAI OpCo,LLC.They reflect the common denominator agreed by the Supervisory Authorities in their interpretation of the applicable provisions of the GDPR in relation to the matters that are within the scope
4、 of their investigations.The positions presented in this document do not prejudge the analysis that will have to be made by the Supervisory Authorities in each investigation respectively.In particular,it must be taken into account that the circumstances of the investigations may change over time.Fin
5、al 4 1 BACKGROUND 1.In the recent past,numerous large language models(hereinafter“LLMs”)have emerged for use in various fields.1 While these models can offer great benefits to the public,processing operations associated with LLMs shall comply with the GDPR.It has to be noted that LLMs are trained an
6、d enhanced using a huge amount of data,including personal data.2.Some of the most popular and widely known LLMs are those in the“GPT”category,2 since it has been the first consumer-facing model to be launched on 30 November 2022 through the ChatGPT service.Several Supervisory Authorities(hereinafter





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