36 controls
16 frameworks share controls with it
European Union
verified against its source document
Every control below is one this framework asks for. The right hand column counts how
many other frameworks in our corpus carry the same control, which is the difference between
doing this work once and doing it again for the next standard.
There is no implementation kit for this framework yet. The control list and the overlap above are free and complete.
What you already have
Frameworks whose controls overlap this one, most first. If you run any of them, the
count is roughly what you have already evidenced.
Every control
| Code | Control | Also in |
DSA-Art.10 | Orders to provide information | 0 |
DSA-Art.11 | Points of contact for Member States authorities, the Commission and the Board | 0 |
DSA-Art.12 | Points of contact for recipients of the service | 0 |
DSA-Art.13 | Legal representatives | 1 |
DSA-Art.14 | Terms and conditions | 3 |
DSA-Art.15 | Transparency reporting obligations for providers of intermediary services | 0 |
DSA-Art.16 | Notice and action mechanisms | 3 |
DSA-Art.17 | Statement of reasons | 1 |
DSA-Art.18 | Notification of suspicions of criminal offences | 0 |
DSA-Art.20 | Internal complaint-handling system | 1 |
DSA-Art.21 | Out-of-court dispute settlement | 0 |
DSA-Art.22 | Trusted flaggers | 0 |
DSA-Art.23 | Measures and protection against misuse | 0 |
DSA-Art.24 | Transparency reporting obligations for providers of online platforms | 0 |
DSA-Art.25 | Online interface design and organisation | 1 |
DSA-Art.26 | Advertising on online platforms | 3 |
DSA-Art.27 | Recommender system transparency | 1 |
DSA-Art.28 | Online protection of minors | 3 |
DSA-Art.30 | Traceability of traders | 3 |
DSA-Art.31 | Compliance by design | 1 |
DSA-Art.32 | Right to information | 0 |
DSA-Art.34 | Risk assessment | 6 |
DSA-Art.35 | Mitigation of risks | 2 |
DSA-Art.36 | Crisis response mechanism | 0 |
DSA-Art.37 | Independent audit | 0 |
DSA-Art.38 | Recommender systems | 0 |
DSA-Art.39 | Additional online advertising transparency | 0 |
DSA-Art.4 | Mere conduit | 0 |
DSA-Art.40 | Data access and scrutiny | 0 |
DSA-Art.41 | Compliance function | 1 |
DSA-Art.42 | Transparency reporting obligations | 1 |
DSA-Art.43 | Supervisory fee | 0 |
DSA-Art.5 | Caching | 0 |
DSA-Art.6 | Hosting | 0 |
DSA-Art.8 | No general monitoring or active fact-finding obligations | 0 |
DSA-Art.9 | Orders to act against illegal content | 0 |
Tell me when Digital Services Act (DSA) files something new
One email when a public company newly discloses something this framework governs, naming the company and what our corpus says it puts in scope. Nothing else, and one click to stop.
What an auditor will ask you to produce
The artefacts named on the failure modes this framework speaks to.
- breach notification template
- point of contact registry
- policy document
- technical file
- DPO designation records
- Training records (annual + role-based)
How programmes fail on this
Failure modes named by this framework and others. Each opens the full record.
What this page is
A control-level reference for Digital Services Act (DSA), drawn from our framework corpus. Control codes and
titles are references to the standard, not reproductions of it. The overlap counts and the
auditor artefacts are our own work and are the part you will not find elsewhere.
Measure this against what you already run ·
All frameworks · Today's edition