ra-qm-team/skills/iso42001-specialist/SKILL.md
ISO/IEC 42001:2023 AI Management System (AIMS) specialist for compliance teams running internal audits. Three decisions: (1) Where are the gaps against Clauses 4-10 and what do we close first? (2) What goes in the AI risk register and which Annex A controls treat each risk? (3) What's the 12-month internal audit plan that satisfies Clause 9.2? Use when preparing for certification, scoping internal audit cycles, or onboarding AI systems into an existing ISMS (27001) / QMS (13485) program. NOT an executive AI strategy skill (see chief-ai-officer-advisor). NOT EU AI Act compliance (see compliance-team-eu-ai-act).
npx skillsauth add alirezarezvani/claude-skills iso42001-specialistInstall this skill globally with one command. Works with Claude Code, Cursor, and Windsurf.
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Internal-audit-grade operating skill for ISO/IEC 42001:2023. Three decisions, no executive AI strategy:
This skill is NOT a chief-ai-officer-advisor replacement. CAIO decides whether to build/buy a model and what business risk to accept. This skill operates the management-system discipline that captures those decisions in audit-ready evidence.
This skill is NOT an EU AI Act compliance skill. ISO 42001 is a voluntary management-system standard; EU AI Act is binding product-safety regulation. They overlap (a high-risk AI system per Article 6(2) of the AI Act typically requires the QMS in Article 17, which ISO 42001 can satisfy in part) but the artefacts differ. See compliance-team-eu-ai-act for Article-level conformity assessment.
This skill is NOT a substitute for ISO 23894 + 38507. 42001 is the management system; 23894 is the AI risk methodology that feeds Clause 6.1; 38507 is the governance lens. The ai_risk_register_builder.py tool implements the 23894 process; treat the references as the methodology bridge.
ISO 42001, ISO/IEC 42001:2023, AI Management System, AIMS, AI governance, AI risk management, ISO 23894, AI risk assessment, ISO 38507, AI compliance, AI audit, internal audit AI, Annex A controls, AI risk register, AI policy, AI impact assessment, conformity declaration, AI lifecycle, AI risk treatment, NIST AI RMF, NIST AI Risk Management Framework, ISACA AI audit, BSI AIC4, AI assurance, responsible AI, AI ethics governance, AI system inventory, third-party AI risk, AI vendor management, AI change management, AI incident management
# Decision A: AIMS gap analysis against Clauses 4-10
python scripts/aims_gap_analyzer.py # embedded sample (mid-stage AI SaaS)
python scripts/aims_gap_analyzer.py path/to/aims_evidence.json
# Decision B: AI risk register + Annex A control mapping
python scripts/ai_risk_register_builder.py # embedded 7-risk sample
python scripts/ai_risk_register_builder.py path/to/risks.json
# Decision C: Clause 9.2 internal audit 12-month plan
python scripts/aims_audit_scheduler.py # embedded 4-domain sample
python scripts/aims_audit_scheduler.py path/to/scope.json
The framework: ISO 42001 follows the Annex SL high-level structure shared with ISO 9001 / 27001 / 13485. Clauses 4–10 are the management-system requirements; Annex A controls A.1–A.10 are the AI-specific operational controls.
| Clause | What it requires | Common gap | |---|---|---| | 4. Context | AI scope, interested parties, external context | Scope omits third-party AI services | | 5. Leadership | AI policy, roles, accountability | Policy treats "AI ethics" as marketing copy, not commitment | | 6. Planning | AI risk + impact assessment, objectives | Risk register doesn't link to controls | | 7. Support | Resources, competence, awareness, documented info | Competence requirements undefined for ML engineers | | 8. Operation | Operational planning, AI system lifecycle | Lifecycle stages not mapped to Annex A controls | | 9. Performance | Monitoring, internal audit, management review | Drift monitoring exists in code but not in management review inputs | | 10. Improvement | Nonconformity, corrective action, continual improvement | CAPA loop separate from existing 13485/9001 CAPA — duplication |
Run aims_gap_analyzer.py with an evidence inventory JSON to score each clause (full / partial / missing) and get a prioritized remediation list.
See references/iso42001_clauses.md for the full clause-by-clause walkthrough with audit evidence expectations.
The framework: Clause 6.1.2 requires AI risk assessment; Clause 6.1.3 requires risk treatment. Annex A provides 38 controls organized into 10 control categories (A.2–A.10). The risk register must show each identified risk linked to ≥ 1 control that treats it.
Annex A control categories (the 10):
| ID | Category | Example controls | |---|---|---| | A.2 | AI policy | A.2.2 AI policy, A.2.3 alignment with other policies | | A.3 | Internal organization | A.3.2 AI roles & responsibilities, A.3.3 reporting concerns | | A.4 | Resources for AI systems | A.4.2 data resources, A.4.3 tooling, A.4.4 human resources | | A.5 | Assessing impacts | A.5.2 AI system impact assessment, A.5.4 documentation of impact assessment | | A.6 | AI system lifecycle | A.6.2.2 objectives, A.6.2.3 lifecycle phases, A.6.2.4 verification & validation | | A.7 | Data for AI systems | A.7.2 data management, A.7.3 data quality, A.7.4 data provenance, A.7.5 data preparation | | A.8 | Information for interested parties | A.8.2 system documentation, A.8.3 user information, A.8.4 communication of incidents | | A.9 | Use of AI systems | A.9.2 intended use, A.9.3 monitoring of operation, A.9.4 logging of system events | | A.10 | Third-party & customer relationships | A.10.2 supplier relationships, A.10.3 customer relationships |
ISO/IEC 23894:2023 provides the AI-specific risk-management process (the methodology); 42001 Annex A provides the controls. The risk register is the bridge.
Run ai_risk_register_builder.py with an identified-risks JSON to produce a structured register with mapped controls + residual-risk verdict per ISO 23894 risk-treatment options.
See references/aims_controls_annex_a.md for the full 38-control catalogue with audit evidence per control.
The framework: Clause 9.2 requires "internal audits at planned intervals to provide information on whether the AIMS conforms to the organization's requirements and is effectively implemented and maintained." That's the management-system requirement; the how often and how deep are organizational choices.
Mature-program defaults:
Run aims_audit_scheduler.py with a scope JSON (AI systems in scope, prior-year findings, certification cycle phase) to produce a 12-month plan with auditor assignments and independence checks.
See references/aims_implementation_guide.md for the maturity model and rollout sequencing (year 1 establish, year 2 certify, year 3+ continual improvement).
Goal: Identify gaps; prioritize remediation; close before stage 1 certification audit.
# 1. Inventory current AIMS evidence (policies, procedures, records)
python scripts/aims_gap_analyzer.py aims_evidence.json
# 2. Review gap matrix; group by clause
# 3. For each gap, identify owner + due date (target: close before stage 1)
# 4. Cross-check against ISO 27001 / 13485 existing artifacts — many can be reused
# 5. Cross-check against EU AI Act obligations (use compliance-team-eu-ai-act)
# 6. Output: prioritized remediation plan with owners + dates
Goal: Construct the Clause 6.1.2 risk register with full Annex A control coverage.
# 1. Run ISO 23894 risk identification across AI lifecycle (data, model, deployment, decommission)
# 2. Capture each risk with: source, event, consequence, likelihood, impact
python scripts/ai_risk_register_builder.py risks.json
# 3. For each high/critical risk, confirm ≥ 1 Annex A control is selected as treatment
# 4. Document residual risk acceptance with management signoff
# 5. Cross-check with cs-caio-advisor on executive risk acceptance for "tolerate" decisions
# 6. Log via management review (Clause 9.3)
Goal: Produce the 12-month Clause 9.2 plan with auditor independence.
# 1. Pull last year's audit findings and certification cycle status (year 1/2/3)
python scripts/aims_audit_scheduler.py audit_scope.json
# 2. Confirm auditor independence per assignment
# 3. Confirm coverage hits every clause and every applicable Annex A control over rolling 3 years
# 4. Submit plan for management review approval (Clause 9.3 input)
Goal: When adding a new AI system, map ISO 42001 evidence against existing 27001 + 13485 evidence to avoid duplication.
**Bottom Line:** [one sentence — gap severity + the one thing to close first]
**The Decision:** [one of: gap-closure | risk-treatment | audit-scope]
**The Evidence:** [clause numbers + control IDs from the tool, not adjectives]
**How to Act:** [3 concrete next steps with owners + dates]
**Your Decision:** [the call only the compliance officer or CAIO can make — risk acceptance, scope expansion, certification readiness]
../../skills/information-security-manager-iso27001/ — ISO 27001 ISMS implementation (many controls reusable for AIMS A.7 data controls)../../skills/quality-manager-qms-iso13485/ — ISO 13485 QMS (provides CAPA + management-review machinery the AIMS reuses)../../skills/gdpr-dsgvo-expert/ — GDPR DPIA process (input to AIMS A.5 impact assessment for personal-data systems)../../skills/isms-audit-expert/ — ISO 27001 internal audit pattern (the audit scheduler mirrors this for AIMS)../../skills/soc2-compliance/ — SOC 2 trust services (reusable controls for AIMS A.10 third-party relationships)../../../compliance-team-eu-ai-act/ — EU AI Act Article-level compliance (binding regulation companion to voluntary 42001)../../../../compliance-os/ — Meta-orchestrator for multi-framework programs (run AIMS as one framework among 9)../../../../c-level-advisor/chief-ai-officer-advisor/ — Executive AI strategy (build-vs-buy, cost economics — different audience)Version: 1.0.0 Status: Production Ready
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