DEPLOY
AI WITH
OUT RISK
The AI governance control plane for regulated financial institutions. Registry. Policy enforcement. Immutable audit trail. One-click regulator packs.
When the examiner walks in, most banks open a spreadsheet.
SR 11-7 was written in 2011 for statistical models. It was never designed for LLMs running credit, fraud, and AML decisions at scale.
“The OCC examiner asked for every AI model touching credit decisions, who approved them, under what policy, and the full audit trail. The answer was a shared Google Sheet.”
— Head of Model Risk, Tier 1 BankFour modules. One control plane. Zero spreadsheets.
Three regulatory forces. One 18-month window.
The institutions that build governance infrastructure before the examination will have a structural advantage. The window closes as examiners get specific.
OSFI B-15
Explicit requirements for AI risk management, model inventory, and governance documentation for all federally regulated financial institutions.
IN EFFECTEU AI Act
High-risk AI systems in financial services face enforcement August 2026. Fines up to €35M or 7% of global annual turnover.
156 DAYS REMAININGAPPROACHINGSR 11-7
Written in 2011 for statistical models. Examiners now apply it to LLMs and foundation models. Interpretation gap = examination risk.
ACTIVELY EXAMINEDThe audit trail is the compliance record. It cannot be migrated.
Every governance decision Aegis logs becomes part of the institution's compliance infrastructure. Switching costs grow with every model registered, every policy attested, every audit pack generated. Five years of governance history cannot be moved to a competitor.
Built for the examination. Deployed before it.
Design partner slots are limited. We're working with a small number of Tier 1 and Tier 2 banks. If you're governing AI in a regulated institution, we want to hear from you.