Effective date: March 2026 · Last updated: March 2026 · This document supplements the general Terms of Service and AUP. Commencing use of AI services constitutes acceptance of these supplementary terms.
Scope of Service
These terms apply to the following artificial intelligence products and components provided by RYSTAT:
- OpenClaw — AI-powered legal and corporate content assistant
- n8n AI Assistant — AI processing module integrated into automation workflows
- Website Builder AI — website creation assistant and content suggestion engine
- Other AI APIs and automation services accessed via RYSTAT infrastructure
1. AI Outputs and Limitation of Liability
All content, analyses, recommendations, and outputs generated by AI systems are based on statistical prediction.
- RYSTAT does not warrant the accuracy, completeness, currency, or error-free nature of AI outputs.
- AI outputs may not be used as the sole source for legal, medical, financial, safety-critical, or regulatory compliance decisions; expert review is mandatory.
- Outputs must be verified by the customer prior to use in a production environment or high-risk context.
- The customer bears sole responsibility for the consequences of decisions made in reliance on AI outputs.
In particular, materials generated by legal content assistants such as OpenClaw are for informational purposes only and do not constitute legal advice. For matters requiring legal effect, advice should be sought from a licensed attorney.
2. Input Data, Rights, and Confidentiality
The customer represents and warrants that they hold the necessary usage rights over all data (input / prompt) submitted to AI services.
- Submitting content subject to third-party copyright, trade secrets, or personality rights without consent is prohibited.
- Where special categories of personal data (health, ethnic origin, political opinion, etc.) within the meaning of GDPR or applicable legislation are submitted, it is the customer's responsibility to ensure that the requisite legal basis and data subject consent are in place.
- Security and confidentiality risks should be assessed before submitting sensitive corporate data or trade secrets to the system.
RYSTAT processes customer inputs for the purpose of providing the service. The use of input and output data for third-party AI model training is subject to the service description and, where applicable, the DPA. For further information, see the Privacy Policy.
3. Usage Limits and Quota
AI services are provided on the basis of system-monitored resource consumption (API calls, tokens, request volume).
- Plan-specific monthly/daily API call, token, and processing limits are published on the product or plan page.
- Where excessive use, automated scripts, or traffic that strains the API is detected, requests may be throttled, temporarily rejected, or access may be suspended.
- RYSTAT may update resource limits with prior notice in order to maintain system stability and fair access for all customers.
- In the event of a quota overage, the customer may purchase an additional package or wait for the next billing period to commence.
4. Model Dependencies and Change Notification
RYSTAT AI services may be built upon foundation models or infrastructure operated in part by third parties.
- Updates, version changes, or service interruptions by a third-party model provider may affect RYSTAT AI outputs.
- RYSTAT will endeavour to provide reasonable advance notice (minimum 14 days) of material model changes that adversely affect existing customers; however, this obligation does not apply where the third-party provider makes changes without notice.
- Differences in outputs resulting from model changes do not constitute a service outage and are not included in SLA credit calculations.
5. SLA Applicability
AI services are subject to RYSTAT's standard Service Level Agreement (SLA) unless otherwise expressly stated on the product page.
- Availability target: 99.5% per month (for the API access layer).
- Model response quality, output consistency, and inference latency are outside the scope of the SLA; these are variables inherent to the nature of the product and do not constitute service outages.
- AI features labelled as beta or early access are provided outside the SLA; such features are clearly marked as such.
6. EU Artificial Intelligence Act Compliance (Regulation 2024/1689)
The EU Artificial Intelligence Act (AI Act — Regulation 2024/1689) entered into force on 1 August 2024 and its provisions are being applied on a phased basis.
6.1 Prohibited practices
Systems prohibited under Article 5 of the AI Act (subliminal manipulation, social scoring, real-time biometric surveillance, etc.) may not be used on RYSTAT platforms and API access will not be granted for such purposes.
6.2 High-risk AI systems
Customers wishing to operate AI systems classified as high-risk under Annex III of the AI Act on RYSTAT infrastructure are independently responsible for fulfilling their own obligations (Article 16 et seq.). RYSTAT provides the technical infrastructure; compliance obligations rest with the customer.
6.3 Transparency obligations
- RYSTAT clearly indicates automated decision-making in AI systems that interact with users.
- Transparency and copyright obligations arising from the AI Act in respect of general-purpose AI models (GPAI) are being fulfilled.
- This section will be updated as the AI Act implementation timeline progresses.
7. Intellectual Property Status of AI Outputs
The intellectual property status of AI-generated content varies depending on the model used, the manner in which the content was created, and the applicable national law. As of August 2025, purely AI-generated content does not benefit from copyright protection in most jurisdictions.
- The customer should conduct an independent legal assessment under applicable legislation before using AI outputs for commercial purposes.
- In hybrid (human + AI) content derived from customer-provided inputs, the customer's original contribution may benefit from copyright protection to the extent of that contribution.
- RYSTAT makes no warranty in this regard; the responsibility for assessment rests with the customer.
8. Prohibited Uses
The following are strictly prohibited via AI services:
- Generating disinformation, fake news, or misleading content
- Realistic audio, image, or text forgery (deepfakes) of individuals without their consent
- Generating malware, exploit, or attack tool code
- Creating spam, phishing, and social engineering content
- Unauthorised access to or testing of third-party systems
- Practices prohibited under Article 5 of the AI Act
Upon detection of prohibited use, an account may be immediately suspended. Where a legal obligation arises, notification may be made to the relevant authorities. For details, see the Acceptable Use Policy.