Skip to main content

Unleashing the power of machine learning models in banking through explainable artificial intelligence (XAI)

Here’s how XAI can help banks confront the “black-box” nature of their machine learning models and develop the tools they need to integrate AI into their business and operations.

In 2016, author and trained mathematician Cathy O’Neil posited that machine learning models, left unchecked, can easily turn into “Weapons of Math Destruction.”1 She further suggested that as these algorithms become “highly efficient, seemingly arbitrary, and utterly unaccountable … no one will understand their logic or be able to explain it.

Should banks fear this dire future of artificial intelligence? Perhaps not.

The “black-box” conundrum is one of the biggest roadblocks preventing banks from executing their artificial intelligence (AI) strategies. It’s easy to see why: Picture a large bank known for its technology prowess designing a new neural network model that predicts creditworthiness among the underserved community more accurately than any other algorithm in the marketplace. This model processes dozens of variables as inputs, including never-before-used alternative data. The developers are thrilled, senior management is happy that they can expand their services to the underserved market, and business executives believe they now have a competitive differentiator.

But there is one pesky problem: The developers who built the model cannot explain how it arrives at the credit outcomes, let alone identify which factors had the biggest influence on them.

This anecdote may be hypothetical, but it’s indicative of the types of challenges confronting many banks’ deployment of AI models. Machine learning models tasked with identifying patterns in data, making predictions and solving complex problems are often opaque, obscuring their under-the-hood mechanisms. Deploying such models without explainability poses risks. In addition, a lack of explainability can preclude many banks from taking advantage of cutting-edge AI applications, including underwriting models that use alternative data,2 facial-recognition software for ATMs,3 or bots that can track compliance with new regulations.4

“Black-box” algorithms also raise a number of thorny questions. First and foremost, should every machine learning model be self-explainable by design? Or should banks forgo explainability in favor of model accuracy? Or should the level of explainability depend on the context, purpose and regulatory compliance expectations?

Model risk managers at several large banks5—mirroring the AI research community at large6—are reportedly divided on this matter,7 and there appears to be no clear consensus yet.

Explainable AI to the rescue


The emerging field of explainable AI (or XAI) can help banks navigate issues of transparency and trust, and provide greater clarity on their AI governance. XAI aims to make AI models more explainable, intuitive and understandable to human users without sacrificing performance or prediction accuracy.8 Explainability is also becoming a more pressing concern for banking regulators9 who want to be assured that AI processes and outcomes are “reasonably understood” by bank employees.10

This heightened interest is also evident among many consumer advocacy groups, counterparties and even internal stakeholders at financial institutions. In fact, the expanding repertoire of XAI techniques, methodologies and tools has become a top priority for many banks. These organisations are not only advancing XAI research in partnership with academic and scientific communities, but they are also spearheading innovative applications of explainability techniques within their respective firms. For example, banks have worked with leading specialists at Carnegie Mellon University and the University of Hong Kong to propose novel uses of XAI,11 and co-founded innovation labs that aim to produce explainable machine learning models that advance their business goals.12

XAI may also help banks see more of their pilot projects come to light, since a lack of explainability can be a major hurdle to deploying AI models.

A robust XAI program can offer a number of other benefits to organisations as well. Explainability tools can unlock different types of information about a model, depending on what type of answers are being sought and the types of modeling approaches used.13 For example, XAI techniques that shed light on a model’s functioning can be valuable for understanding relationships among variables, diagnosing poor performance, or identifying potential information leakages.14 Collectively, these efforts are important for upholding customer protection and fair lending by identifying model parameters that lead to disparate impact; understanding of trade-offs in model performance; developing more convincing business cases for model adoption and buy-in from management; ensuring greater trust and credibility in the models; and preventing any potential regulatory/compliance issues.

In this article, we shed light on the practical considerations banks should evaluate in implementing and scaling XAI across the enterprise. Specifically, we consider the following questions: 1) How should banks weigh the benefits of explainability against potential reductions in accuracy and performance? 2) What’s the most effective way for AI teams to prioritise efforts that enhance transparency across the model development pipeline? 3) Which models should be the biggest priority/focus of explainability? And 4) How should banks deploy their limited resources to ensure explainability across their model inventory?

We will also share recommendations on XAI governance, and how it connects to AI governance more broadly, and functions such as model risk management. This road map can serve as a guide for senior managers, risk and compliance executives, heads of AI research and business unit leaders that are ready to execute XAI initiatives within their respective domains.

Explainability for ethical and responsible AI

Explainability is an integral part of the Trustworthy AI™ framework (figure 1). This framework also emphasises factors including fairness, robustness, privacy, security and accountability of AI models. Embedding Trustworthy AI™ into the processes that bring AI to life is paramount for upholding ethical and responsible AI.15 It provides a common language and lens through which organisations can identify and manage risk, enabling them to facilitate faster and more consistent adoption of AI technology. In doing so, it can spark more fruitful human and machine collaboration throughout the organisation. (For more details, see Trustworthy AI: Bridging the ethics gap surrounding AI.)

Show more

The explainability vs. model performance trade-off


Explainability has taken on more urgency within banks, a result of the growing complexity in AI algorithms, which is happening at a breakneck pace thanks to greater computing power, the explosion of big data, and advances in modeling techniques such as neural networks and deep learning.

Several banks are establishing special task forces to spearhead explainability initiatives in coordination with their AI teams and business units. The use of automated machine learning (AutoML) solutions from vendors has also increased considerably.

Concurrently, there is a growing focus on the trade-off between model accuracy and interpretability (figure 2).16 XAI can help model developers weigh these trade-offs more tangibly and advise on how they should begin bridging the gap between complexity and intuitiveness.

Today, there is a whole spectrum of models ranging from decision trees to deep neural networks (DNNs). On the one hand, simpler models may be more interpretable, but they often have less predictive power and accuracy, especially compared to more complex models. Many of these complex algorithms have become critical to the deployment of advanced AI applications in banking, such as facial or voice recognition, securities trading and cybersecurity.

Other trends are prompting banks to prioritise XAI as well. For example, many banks are looking to adopt more off-the-shelf AutoML solutions offered by vendors, cloud providers and software companies. These prepackaged solutions have varying degrees of explainability, and it may take months to analyse and document how they work. The push for agile development is also raising new concerns over explainability, since faster processes can make it more difficult to install appropriate guardrails and controls in early stages of model design.

Regulators’ perspectives on XAI


Most financial regulators do not mandate where and how banks can use black boxes, but some, such as Germany’s Federal Financial Supervisory Authority, have advised institutions to weigh the benefits of choosing a more complex model, and document why they decided against more interpretable options.17 In addition, financial watchdogs have recommended that banks run traditional models alongside sophisticated machine learning models, and assign analysts, or a “human in the loop,” to address major discrepancies that arise between the two.18

Engaging with regulators will be important for banks to continue developing advanced AI applications, since oversight groups are increasing their scrutiny of machine learning in every corner of the globe. Bank regulators in North America,19 for example, have solicited feedback on banks’ explainability practices, and the degree to which their limitations can impact model risk management. Recently, five US agencies formally requested information on how banks manage AI risks, including when a “lack of explainability” raises uncertainty about the soundness and reliability of their machine learning models.20 In addition, the watchdog for consumer protection in financial services expanded its policing of discriminatory practices to include the ways in which banks use models and algorithms to advertise and sell products and services.21 Meanwhile, some policymakers in the European Union22 and Asia23 have passed regulations that allow customers to request an explanation for any decision generated by AI and learn how their personal data was used to determine it.

Many regulators are taking a pragmatic approach, relaying that there is no “one size fits all” formula to assess these trade-offs. Instead, they suggest that banks should weigh the purpose of the model, the environment in which it will be deployed, and the goal of explainability. Some have indicated that it may be acceptable for banks to use opaque models to test theories, anticipate liquidity needs, or identify trading opportunities, so long as they use more interpretable models when acting on predictions.24

Other instances where explainability may not be a priority is in the application of optical character recognition (OCR) systems that extract information from scanned documents, or natural language processing technologies that wade through contracts and legal agreements.25 Similarly, banks may not need to seek a high degree of explainability for algorithms that yield accurate outcomes when identifying fraudulent transactions.26

A playbook for implementing XAI


Implementing XAI more broadly across the enterprise is a multifaceted and multistep process, requiring potential changes to data sources, model development, interface with various stakeholders, governance processes, and engagement with third-party vendors. However, this may be easier said than done, since there are no commonly accepted practices to delineate how much explainability is needed for different machine learning applications, and which techniques should be pursued in light of those considerations. Nevertheless, there are several goals that should be central to banks’ implementation of XAI:

  • XAI should facilitate an understanding of which variables or feature interactions impacted model predictions, and the steps a model has taken to reach a decision.
  • Explanations should provide information on a model’s strengths and weaknesses, as well as how it might behave in the future.27
  • Users should be able to understand explanations—they should be intuitive and presented according to the simplicity, technical knowledge and vocabulary of the target audience.28
  • In addition to insights on model behavior, XAI processes should shed light on the ways in which outcomes will be used by an organisation.29

Establishing XAI as a formal discipline can put banks on the fast track to achieving these objectives. This will likely mean introducing new policies and methods, from the premodeling stages to postdeployment monitoring and evaluation. It will also require every stakeholder who contributes to AI model development to act purposely and intentionally with each decision they make. For example, developers should apply explainability principles to their choice of training and input data for model prototypes. Instead of focusing solely on datasets that will maximise performance, they should also consider whether the input or training data may perpetuate hidden bias (e.g., historical lending data may favor certain demographics that had easier access to credit), whether the data contains customers’ personal information, and if it spans a long enough timeframe to capture rare or unusual events.

Model development teams should also conduct a preliminary assessment of model performance and interpretability, to get a sense of how accurate the model will be compared to simpler and more traditional analysis methods. This deliberation should begin in the premodeling stage, so designers can tailor machine learning architecture to the target explanation. In some cases, banks may want the model to be transparent to all users, and will prioritise an interpretable design (“glass box,” or “ante-hoc explainability”30). In others, they may build a complex model, and either apply XAI techniques to the trained model (post-hoc explainability) or create a surrogate model that emulates its behavior with easier-to-follow reasoning.

Either way, banks should assess which techniques and tools are most helpful in advancing explainability. There are several factors that should drive these decisions, leading with the target stakeholder: regulator, risk manager or auditor, business professional, or customer (figure 3). For example, underwriting officers can be served well by counterfactual explanations, which show the degree to which different aspects of a customer’s application should be tweaked to change the outcome (e.g., increase income by a certain amount to gain loan approval).31 Other bank employees may need “an explanation of an explanation,”32 or visualisations that map out patterns and flag anomalies in the data, such as groups of individuals that may be inappropriately segmented for marketing campaigns. There are also varying levels of explainability that should be taken into account (see sidebar, “Varying levels of explainability”).

Varying levels of explainability

The level of explainability needed for each model will depend on several factors. Banks should weigh all of them when determining how complex to make their models. The top considerations include:

  • Target user/stakeholder: Who will be served by the explanation? How? To what extent do they need to understand the model’s functioning?
  • Purpose of explanation: What is the goal of XAI? What function will the explanation serve?
  • Complexity: To what extent does the model’s complexity make it hard to understand its underlying behaviour? To what extent does it matter?
  • Scope: How much information should explanations convey? Is it sufficient to trace the steps taken to arrive at one decision, or does the entire model need to be understood?
  • Business context and implications: How will the model be used within the bank, and who will be impacted? Could the model trigger high-stake decisions that impact customers, profit margins, or the business’s reputation?
  • Regulatory constraints: What rules or guidelines may dictate how the model should be used? For example, there may be restrictions on using AI to increase pricing, but not identifying customers at risk of switching banks.
  • Impact on stakeholder trust: Would external parties approve of banks using the models, given how well model risk teams understand its behavior and actions?
  • Results of testing and verification: Is it clear within which boundaries the model will perform well? Has the model been sufficiently probed for accuracy and robustness? Are there differences in the level of explainability gained by XAI technique, and an understanding of what each method achieves? Can those results stand up over time?
  • Confidence in XAI techniques/opportunity for “Human in the Loop”: Are the methodologies that will be used to apply XAI still nascent? Can they be trusted? Is there a possibility for humans to act as an intermediary, and detect when XAI techniques may no longer be sufficient?
  • User testing and feedback: Can users understand and absorb the explanation? Is it being presented on the most effective interface, and does it meet user expectations? Should there be an opportunity for customers to provide feedback on the quality of explanations provided to them?
Show more

Designing XAI governance


Banks should not view XAI as independent of AI, but instead work to embed explainability into existing AI governance structures and processes. Figure 4 offers an example of how banks can infuse XAI considerations into three lines of defense and control activities for AI.

Then, to fully embed explainability into the AI production life cycle, banks should establish a cross-functional task force comprising specialists from the executive committee, businesses, IT, risk and compliance, legal, ethics, and AI research. The US military’s Defense Advanced Research Projects Agency (DARPA) Explainable AI program discovered that some of the most effective teams have cross-disciplinary skill sets and expertise, such as computer scientists who work with experimental psychologists and user experience and design specialists.33

The XAI committee should have routine informed discussions about which models and AI solutions should be prioritised for the application of explainability techniques, using criteria that are most important to the bank. They should also decide which scenarios have serious implications for the algorithm to be used as is.34 For example, a model designed to target media platforms that shows an ad to unintended target audience members 10% of the time may be more acceptable than a recommendation engine that advises clients on misdirected products 10% of the time.

This task force can begin with smaller projects within business units, gauging how effectively the lines of communication among the three lines of defense identify and address explainability issues. It can then scale processes that work across other businesses. It will be important for banks to infuse explainability into cultural norms and practices as well, from annual employee training to evaluating the ROI of new prototypes, and projecting multiyear returns on those projects. Over time, explainability should become a key part of the “ethics fluency” that personnel from the boardroom to interns must retain, until everyone in the business understands XAI principles, can ask the right questions, and elevate issues to appropriate supervisors.35

For an added layer of oversight, many banks are also collaborating with academics who can serve as an independent third party that reviews explainability concerns and approves of model use within specific functions. In addition, more companies in financial services and other industries are appointing a chief AI ethics officer to serve as the lead on AI explainability, transparency and trustworthiness.36 In the absence of this role, banks should name a senior executive—ideally the chief financial officer or chief risk officer—who will be held accountable for decisions made on behalf of AI projects.

Auditors and risk managers may not need to track each model’s individual path to making a prediction as much as they need to see aggregate levels of model risk. These supervisors can benefit from scoring systems that provide a visual indication of XAI metrics related to functionality, performance and usefulness.37 Deloitte’s Lucid[ML], for example, can display three dimensions of explainability alongside results from a simpler AI technique and a surrogate “white box” model.38 These dashboards can provide a high-level perspective of the explainability risks, as well as a deeper analysis of interpretability constraints (see sidebar, “Assessing risks with explainability dashboards”).

Assessing risks with explainability dashboards

Software tools can provide an overall explainability score for black-box models based on several different characteristics, including:

  • The complexity of the dataset on which the model was trained
  • How easy it is to pinpoint the features that have the biggest impact on individual decisions or overall model functioning
  • The results of shifting values for a particular feature, and the extent to which it leads to model errors and/or loss
  • The degree to which a rise or fall in input values has a reciprocal effect on output values
  • Estimates of how well a model’s predicted values match up with expected or actual output values (which can indicate whether the model may be overtrained or undertrained on a particular dataset)

Source: Deloitte AI Studio.39

Show more

The XAI ecosystem is quickly expanding, and vendors that tailor services to the banking industry range from large software companies to more nascent tech startups. These providers run the gamut from “plug and play” solutions to tools and frameworks that can be fully integrated into commonly used cloud computing platforms. Banks can apply these XAI processes to functions including fraud identification, loss and churn prediction, and debt collection.

XAI techniques: Making choices


There are several approaches and techniques banks can take to activate explainability (figure 5). Some are already commonplace in the XAI practice, while others are still being refined. Banks can still quantify risk levels associated with model transparency—and assess how much explainability is needed, or whether alternative modeling options may be available to them.

The limits of explainability


Despite recent advancements in XAI research, banks still face many technical challenges implementing explainability into the AI pipeline. For example, many XAI techniques that are best suited for credit risk models tend to accommodate binary decisions made on behalf of consumers, such as “lend” or “don’t lend.” These explanations may not consider the full range of modifications that can be made to interest rates, repayment schedules and credit limits, and overlook consumers’ preferences for different terms of a loan.40

In addition, banks may want to provide counterfactual explanations that show customers why their loan applicants were denied, and coach them on how to improve their financial standing. However, because such advice may or may not be appropriate for the specific borrower’s context, caution should be exercised in accounting for how explanations may be interpreted by the public. Banks should also consider that explanations may not retain validity over time due to changes in external conditions or instances when the model must be retrained to improve performance. As a result, organisations must be aware of the actions they recommend to customers and communicate the time periods in which the results will be most applicable, in tandem with other caveats.

XAI teams can also be limited by resource constraints since it frequently takes longer to compute explainability techniques as models grow in complexity and precision. In addition, some institutions have expressed concern that explainability may allow competitors to reverse engineer their machine learning models, thereby revealing the “secret sauce” behind their proprietary algorithms. They have also highlighted the risk that XAI could make it easier for outsiders to “trick” their models or launch adversarial attacks that cause them to malfunction.

One of the biggest challenges also lies with talent acquisition. XAI specialists will likely remain sparse, given the dearth of candidates with a background in XAI, a field that’s even more niche than machine learning and data science. Banks can overcome this challenge by hiring talent outside their organisation or recruiting engineering and computer science graduates straight out of school and training them on explainable AI internally.

What more should banks do to keep pace with emerging developments in XAI?


Many banks are exploring algorithms that are complex and inherently interpretable, such as explainable gradient boosting and neural networks. They should continue researching new techniques for developing deep learning applications that are transparent by design, and do not require post-hoc explainability.

They should also consider partnerships with think tanks, universities and research institutions, and groups such as Singapore’s Veritas Consortium, which brings together large financial institutions from around the world to develop common guidelines for the industry to follow.41 In addition, it’s important for banks to be active participants in conferences and workshops that cover emerging XAI topics, and collaborate on research that can drive the field and its practical applications forward. They can also push vendors to continue making prepackaged models more explainable, so they can more easily adopt third-party solutions.

Recently, momentum has also been observed for the idea of advisability, which incorporates feedback from users to improve the functioning of AI models that consume and produce explanations in collaboration with humans.42 In addition, explainability is expected to be fundamental to producing “third-wave AI systems” that allow machines to contextualise their outside environment, and bring that knowledge into XAI models.43 Eventually, it may be possible for AI developers to create complex systems such as deep learning networks that are inherently interpretable by design.

It will be paramount for banks to share their experiences with regulators, and work with government agencies and other oversight bodies to produce guidelines that enable AI research and development but also protect customers’ interests. By taking extra steps to be ethical and transparent—while continuing to spearhead research and leading practices in XAI—banks can solicit regulatory trust, and find the ideal balance between tech innovation and safety.

Artificial Intelligence and Analytics Services


Deloitte’s AI and Analytics services combines end-to-end AI solutions with domain and industry insight to harness the power of human-machine collaboration. Its more than 27,000 professionals focus on the four pillars that deliver powerful outcomes: designing for agility with accountability, optimising for predictable performance, translating unknowns into knowns and reimagining possibilities with confidence.

Learn more

Trustworthy Artificial Intelligence (AI)


Deloitte’s Trustworthy AI services help organisations develop ethical safeguards for designing, developing, deploying and operating AI systems. Its proprietary framework is anchored on six dimensions: transparent and explainable, fair and impartial, robust and reliable, respectful of privacy, safe and secure, and responsible and accountable. It is crucial for building trust, as well as managing the risks and capitalising on the returns associated with artificial intelligence. 

Learn more

  1. Cathy O’Neil, Weapons of Math Destruction (Harlow, England: Penguin Books, 2017), pp. 1–172.

    View in Article
  2. Alicia Adamczyk, “Credit scores are increasingly including things like rent and utilities—here’s what that means for you,” CNBC Make It, July 28, 2021.

    View in Article
  3. Jeffrey Dastin and Paresh Dave, “U.S. banks deploy AI to monitor customers, workers amid tech backlash,” Reuters, April 19, 2021.

    View in Article
  4. Deloitte, Artificial intelligence: Transforming the future of banking, 2021, p. 2.

    View in Article
  5. Agus Sudjianto and Aijun Zhang, “Designing inherently interpretable machine learning models,” presented at ACM ICAIF 2021 Workshop on Explainable AI in Finance, November 3, 2021.

    View in Article
  6. Mir Islam et al., “A systematic review of explainable artificial intelligence in terms of different application domains and tasks,” Applied Sciences 12, no. 3 (2022): p. 1353.

    View in Article
  7. Cynthis Rudin, “Stop explaining black box machine learning models for high stakes decisions and use interpretable models instead,” Nature Machine Intelligence 1 (2019): pp. 206-215.

    View in Article
  8. Defense Advanced Research Projects Agency (DARPA), “Explainable artificial intelligence (XAI),” accessed March 23, 2022.

    View in Article
  9. Office of the Comptroller of the Currency, Model risk management: Comptroller’s handbook2021, p. 24.

    View in Article
  10. Ibid.

    View in Article
  11. Sudjianto and Zhang, “Designing inherently interpretable machine learning models.”

    View in Article
  12. Carnegie Mellon University, “Current focus areas for the PNC Center,” accessed April 14, 2022.

    View in Article
  13. Arun Das and Paul Rad, “Opportunities and challenges in explainable artificial intelligence (XAI): A survey,” Cornell University, 2020.

    View in Article
  14. Ibid.

    View in Article
  15. Deloitte, “Trustworthy AI™,” accessed March 14, 2022.

    View in Article
  16. Alejandro Barredo Arrieta et al., “Explainable artificial intelligence (XAI): Concepts, taxonomies, opportunities and challenges toward responsible AI,” Information Fusion 58 (2020): pp. 82–115.

    View in Article
  17. BaFin, “Big data and artificial intelligence: Principles for the use of algorithms in decision-making processes,” June 15, 2021, p. 10.

    View in Article
  18. Ibid.

    View in Article
  19. Office of the Superintendent of Financial Institutions Canada, Developing financial sector resilience in a digital world: selected themes in technology and related risks, 2020, pp. 22–3.

    View in Article
  20. US Federal Register, “Request for information and comment on financial institutions’ use of artificial intelligence, including machine learning,” March 31, 2022.

    View in Article
  21. CFPB Consumer Laws and Regulations,  “Unfair, deceptive or abusive acts or practices (UDAAPs),” March 2022.

    View in Article
  22. European Data Protection Board, Guidelines 01/2022 on data subject rights—Right of access, January 18, 2022.

    View in Article
  23. Monetary Authority of Singapore (MAS), Veritas document 3A -FEAT fairness principles assessment methodology, 2022, pp. 11­12.

    View in Article
  24. Lael Brainard, “Supporting responsible use of AI and equitable outcomes in financial services,” presented at the AI Academic Symposium hosted by the Board of Governors of the Federal Reserve System, Washington, D.C, January 12, 2021.

    View in Article
  25. Patrick Henry and Dilip Krishna, Making the investment decision process more naturally intelligent, Deloitte Insights, March 2, 2021.

    View in Article
  26. Bank Policy Institute, “Request for information and comment on financial institutions’ use of artificial intelligence, including machine learning (Docket No. OCC-2020-0049; OP-1743; RIN 3064-ZA24; CFPB 2021-0004; NCUA 2021-0023),” comment letter, June 25, 2021.

    View in Article
  27. DARPA, “Explainable artificial intelligence.”

    View in Article
  28. MAS, Veritas document 3C - FEAT transparency principles assessment methodology, p. 11.

    View in Article
  29. DARPA, “Explainable artificial intelligence (XAI) program,” accessed March 23, 2022.

    View in Article
  30. Anirban Sarkar et al., “A framework for learning ante-hoc explainable models via concepts,” Cornell University, 2021.

    View in Article
  31. Qonfest2021, “Qonfest2021 Opening + keynote Daniele Magazzeni + Best Paper Awards concur,” video featuring Daniele Magazzeni, August 24, 2021.

    View in Article
  32. Carlos Mougan, Georgios Kanellos, and Thomas Gottron, “Desiderata for explainable AI in statistical production systems of the European Central Bank,” presented at European Congress of Machine Learning (ECMLPKDD) 2nd Workshop on bias and fairness in AI, September 13, 2021.

    View in Article
  33. David Gunning et al., “DARPA's explainable AI (XAI) program: A retrospective,” Applied AI Letters 2, no.4 (2021): e61.

    View in Article
  34. Deloitte, “Ask me anything about Trustworthy AI with Beena Ammanath,” video featuring Beena Ammanath, 55:13, March 22, 2022.

    View in Article
  35. Ibid.

    View in Article
  36. Ibid.

    View in Article
  37. Gunning et al., “DARPA’s explainable AI (XAI) program,” e61.

    View in Article
  38. Deloitte aiStudio, Bringing transparency to machine learning models & predictions, 2021, pp. 3–8.

    View in Article
  39. Deloitte aiStudio, “Implementing AI with confidence,” accessed May 12, 2022.

    View in Article
  40. Solon Barocas and Manish Raghavan, “Explanations in whose interests?,” presented at 3rd ACM International Conference on AI in Finance Workshop on Explainable AI in Finance, November 3, 2021.

    View in Article
  41. Monetary Authority of Singapore, “Veritas Initiative,” accessed March 23, 2022.

    View in Article
  42. Jinkyu Kim et al., “Toward explainable and advisable model for self-driving cars,” Applied AI Letters 2, no. 4 (2021): e56.

    View in Article
  43. DARPA, “Explainable artificial intelligence (XAI).”

    View in Article

The Center also wishes to thank the following Deloitte professionals for their support and contribution to this report: Dilip Krishna, Kyung In Han, Omer Sohail, Paul Kaiser, Sebastiaan Berendsen, Sjoerd Kampen, and Sophie Lees.

Cover image by: Natalie Pfaff

Did you find this useful?

Thanks for your feedback

If you would like to help improve further, please complete a 3-minute survey