Agent

One agent. Every customer moment.

The customer-facing side of Unless — one AI Customer Agent across acquisition, retention, expansion, and support, with the Help Center it auto-generates as its public face. Browse a moment, or see the full overview.

Acquisition

Qualify, convert, educate. 24/7 on your marketing site.

Retention

See churn coming. Act before it does, inside the customer's product.

Expansion

Catch upsell signals early. Route them to the right owner.

Support

Resolve, co-pilot, learn — across every helpdesk and channel.

Engine

The platform underneath.

The back-of-house side of Unless — a Living Knowledge library that maintains itself, plus the Train → Test → Deploy → Analyze loop that keeps every Customer Agent sharper after every conversation. See how the engine compounds.

Train

Always current. Always ready. Living Knowledge + Living Context.

Test

Before a customer sees it. Preview, simulate, audit.

Deploy

One agent. The whole journey. Memory across all of it.

Analyze

Performance, value, AI maturity. All visible. All live.

Trust

Built for the EU from day one

The architecture that lets your DPO, security, and procurement teams sign off without slowing your team down. Browse the page, or jump straight to a section.

Privacy Vault

Twelve numbered measures keep sensitive identifiers home.

Compliance posture

Three pillars — sovereignty, AI Act readiness, sector readiness.

Architecture

Five EU-resident layers — touchpoints to LLM constellation.

Frameworks

EU AI Act, GDPR, DORA, OWASP — built into the platform, not bolted on.

Customers

Trusted by leaders

How regulated-Europe brands — from Visma to Onguard — turned customer success into a revenue engine with Unless.

Visma Enterprise AS

Norway's leading ERP — modernized self-service with Unless.

Helping patients

Patient self-service surged within weeks of deploying Unless.

Enhancing credit software

Financial service Onguard powers their support operations with Unless.

Ticket deflection at scale

Meet Sally, Kontek’s AI support colleague in regulated finance.

Resources

Search resources and support articles

Documentation, articles, and recipes for getting the most out of your Unless deployment — plus a help desk when you need a human.

Help center

Get-started guides and advanced playbooks for the platform.

Security and compliance

Privacy measures, security by design, and compliance guidelines.

Developer documentation

Find reference documentation for the javascript API.

The Unless cookbook

Bite-sized examples for every stage of the customer lifecycle.

Pricing

Pay per outcome. You choose.

Two equal-weight plans, both built around outcomes. Browse the page, or jump straight to a section.

The two plans

Flex (€0.99 per outcome) or Fixed (€1,999/month). Equal weight.

What's included

Full platform on both — Living Knowledge, Memory, Context.

Flex modules

Productized add-ons. À la carte on Flex, bundled into Fixed.

Frequently asked

What counts as an outcome, fair use, and switching mid-year.

Platform

EU AI Act compliance

Read how Unless and its customers meet their respective obligations under the EU AI Act (Regulation 2024/1689).

Updated 23 April 2026

1. General

1.1. Scope. This Appendix sets out the Parties' obligations under Regulation (EU) 2024/1689 (the "EU AI Act") with respect to the Services provided under the Main Agreement. It supplements, and does not replace, the Data Processing Addendum in Appendix 2.

1.2. Role allocation. For the purposes of the EU AI Act, UNLESS acts as the "provider" of the AI systems embedded in the Services, and Customer acts as the "deployer" of those AI systems. Each Party shall perform the obligations applicable to its role. Where a use case qualifies as high-risk under the EU AI Act, the Parties shall cooperate in good faith to allocate responsibilities accordingly.

1.3. AI literacy. In accordance with Article 4 of the EU AI Act, each Party shall take measures to ensure, to its best extent, a sufficient level of AI literacy among its staff and any other persons dealing with the operation and use of the AI systems on its behalf, taking into account their technical knowledge, experience, education, and training, and the context in which the AI systems are to be used.

2. Risk classification

2.1. Use case assessment. UNLESS classifies the AI systems it provides according to the risk categories defined in Articles 5, 6 and 50 of the EU AI Act. On Customer's reasonable request, UNLESS shall share the applicable classification for the AI systems used by Customer.

2.2. Prohibited practices. UNLESS shall not provide, and Customer shall not deploy, AI systems for practices prohibited under Article 5 of the EU AI Act.

2.3. High-risk use cases. If Customer intends to deploy the Services in a use case that qualifies as high-risk under Annex III of the EU AI Act, Customer shall inform UNLESS in advance. UNLESS may condition such deployment on additional technical, organisational, or contractual measures.

3. Transparency

3.1. Disclosure to End Users. UNLESS provides functionality that allows End Users to be informed they are interacting with an AI system, in line with Article 50 of the EU AI Act. Customer is responsible for enabling and configuring this functionality in its deployments.

3.2. AI-generated content. Where the Services generate or manipulate content that could reasonably be mistaken for human-created content, UNLESS provides technical means to mark such content as AI-generated. Customer shall use these means where required by Applicable Law.

4. Human oversight

4.1. Oversight design. The Services are designed to allow Customer to exercise meaningful human oversight, including the ability to review, override, or disable AI-generated outputs.

4.2. Customer responsibility. Customer is responsible for assigning competent personnel to supervise the AI systems in its deployments and for acting on the oversight signals the Services provide.

5. Deployer obligations

5.1. General. Customer acknowledges that, as a deployer under the EU AI Act, it is responsible for the obligations set out in Article 26 of the EU AI Act to the extent they apply to its deployment of the Services. These include, where applicable:

  • using the Services in accordance with their instructions for use;
  • assigning human oversight to natural persons with the necessary competence, training, authority, and support;
  • ensuring that input data is relevant and sufficiently representative for the intended purpose, to the extent the input data is under Customer's control;
  • monitoring the operation of the Services based on the instructions for use and, where relevant, informing the Processor of any risk or serious incident identified;
  • retaining logs automatically generated by the Services for the period required under Article 26(6) of the EU AI Act, where logs are under Customer's control;
  • informing workers and their representatives before putting into service or using any high-risk AI system in the workplace; and
  • carrying out a Fundamental Rights Impact Assessment under Article 27, where applicable.

5.2. Provider support. UNLESS shall make available, on reasonable request, the information and technical documentation reasonably necessary for Customer to meet its deployer obligations, including model cards or equivalent documentation for high-risk use cases.

6. Logging and auditability

6.1. Audit trails. UNLESS maintains automatic logging of AI interactions processed through the Services, sufficient to support traceability and post-incident analysis, in line with Article 12 of the EU AI Act.

6.2. Access. Customer may access logs relating to its own deployments through the UNLESS dashboard or, where not available there, upon reasonable request. Retention periods are aligned with the Data Processing Addendum.

7. General-purpose AI models

7.1. Underlying models. The Services rely on general-purpose AI models hosted within the environments of the cloud Sub-Processors listed in Appendix 2. UNLESS does not transmit Customer Data directly to separate LLM vendors. The model providers selected by UNLESS comply with the obligations applicable to providers of general-purpose AI models under the EU AI Act.

7.2. Model changes. UNLESS may change the underlying general-purpose AI models at its discretion, provided that the change does not materially reduce the compliance posture or service quality relied upon by Customer.

8. Incidents and cooperation

8.1. Serious incidents. UNLESS shall notify Customer without undue delay of any serious incident (as defined in Article 3(49) of the EU AI Act) affecting the Services used by Customer, and shall reasonably assist Customer in meeting its own reporting obligations.

8.2. Authority requests. The Parties shall cooperate in good faith with competent authorities in the context of inquiries, audits, or investigations relating to the EU AI Act, subject to the confidentiality provisions of the Main Agreement.

Technical documentation

On reasonable request, and subject to confidentiality obligations, UNLESS shall make available the technical documentation and instructions for use reasonably necessary for Customer to meet its deployer obligations under the EU AI Act.

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