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For regulators

Public position on Agentica's regulatory engagement.

This page is a firm position, not a commercial page. It describes how Agentica engages the regulatory community, what the firm contributes, and the discipline rules that govern that engagement.

How Agentica engages

Four engagement channels

**Submissions to public consultation processes.** When a regulator — Quebec's Commission d'accès à l'information, the Autorité des marchés financiers, the Office of the Superintendent of Financial Institutions, Innovation, Science and Economic Development Canada, or a sector authority — opens a public consultation relevant to agentic AI governance, Agentica may submit a technical contribution. Submissions are built to be citable and are added to the firm's public methodology.

**Working group and standards committee participation.** Agentica contributes to AI governance working groups and standards committees where the firm can bring methodology. The CIO Strategy Council, the Standards Council of Canada, and ISO/IEC AI working groups are the channels through which the firm engages international standard-setting.

**Speaking engagements at regulator-convened events.** Agentica accepts invitations to speak at regulator-convened events on AI governance topics where the format allows technical contribution without commercial advocacy.

**Direct technical briefings to regulator staff.** On request from regulators, Agentica provides technical briefings on emerging risk categories, failure modes observed across its engagement portfolio, and the operational implications of proposed regulation. Confidential to the regulator, no identifiable client information.

Discipline rules

Five non-negotiable rules

These rules govern all of the firm's regulatory engagement.

No advocacy

We provide technical input on what is operationally possible, what controls work, and what risk patterns we observe. We do not represent client commercial interests in regulatory processes.

No identifiable client information

Submissions, briefings, and speaking appearances never contain identifiable client information. Aggregated and anonymised patterns may be discussed; individual cases are not.

Relationship disclosure

Where relevant to a submission, Agentica discloses its client relationships in the relevant category without naming specific clients.

Commercial independence

Agentica does not accept regulatory engagements that would compromise independence in commercial work. We do not draft rules we would then attest against for paying clients.

Public methodology

The firm's methodology brief is publicly available. Methodology contributions arising from regulatory engagement are added to the public version.

Methodology access

Public methodology brief

The Agentica methodology brief is built for reading by regulatory methodology teams, standard-setters, and policy researchers. It describes the methodology principles that apply across the firm's practices, the structure of each deliverable, and the independence rules.

Practice-specific methodology specifications are internal documents, available to regulators on request under engagement-level confidentiality where a specific regulatory question requires that depth.

Practice-specific specifications

  • RiskLens — on request
  • ComplianceCore — on request
  • GuardLayer — on request
  • Agentica IR runbook — on request

Contact for regulatory engagement.

For consultation submissions, working group invitations, or technical briefings to regulator staff, the direct channel is the general contact form with "regulatory engagement" as context. No commercial call to action is offered on this page. That is intentional.