Confidentiality of Customer Data Sample Clauses

The Confidentiality of Customer Data clause establishes the obligation of parties to protect and not disclose any customer-related information obtained during the course of their business relationship. Typically, this clause requires that customer data be handled securely, only used for authorized purposes, and not shared with unauthorized third parties. Its core function is to safeguard sensitive customer information, thereby building trust and ensuring compliance with privacy regulations.
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Confidentiality of Customer Data. AWS will not access or use, or disclose to any third party, any Customer Data, except, in each case, as necessary to maintain or provide the Services, or as necessary to comply with the law or a valid and binding order of a governmental body (such as a subpoena or court order). If a governmental body sends AWS a demand for Customer Data, AWS will attempt to redirect the governmental body to request that data directly from Customer. As part of this effort, AWS may provide Customer’s basic contact information to the governmental body. If compelled to disclose Customer Data to a governmental body, then AWS will give Customer reasonable notice of the demand to allow Customer to seek a protective order or other appropriate remedy unless AWS is legally prohibited from doing so.
Confidentiality of Customer Data. ▇▇▇▇▇▇ does not wish to receive any confidential information of Customer in the course of providing maintenance services, and Customer is expected to take all reasonable precautions to avoid disclosing any of its confidential information or that of its customers, employees or clients (“Confidential Information”) to Alaris and its employees or contractors. However, in the event that Alaris’ employees or contractors become exposed to Confidential Information, ▇▇▇▇▇▇ will ensure that such information is protected against unauthorized disclosure using the same degree of care, but no less than a reasonable degree of care, as Customer uses to protect its own information of a like nature. 10 Governing Law. This Agreement will be governed by and construed in accordance with the substantive laws of the State of New York as applied to agreements entered into between two residents of the State of New York, without regard to its conflict of laws principles.
Confidentiality of Customer Data. ▇▇▇▇▇▇ does not wish to receive any confidential information of Customer in the course of providing maintenance services, and Customer is expected to take all reasonable precautions to avoid disclosing any of its confidential information or that of its customers, employees or clients (“Confidential Information”) to Alaris and its employees or contractors. However, in the event that Alaris’ employees or contractors become exposed to Confidential Information, ▇▇▇▇▇▇ will ensure that such information is protected against unauthorized disclosure using the same degree of care, but no less than a reasonable degree of care, as ▇▇▇▇▇▇ uses to protect its own information of a like nature.
Confidentiality of Customer Data. 3.1 Clevertouch will not access or use, or disclose to any third party, any Customer Data, except, in each case, as necessary to maintain or provide the Services, or as necessary to comply with the law, a request from a supervisory authority or a valid and binding order of a governmental body (such as a subpoena or court order). If a supervisory authority or governmental body sends ▇▇▇▇▇▇▇▇▇▇▇ a demand for Customer Data, ▇▇▇▇▇▇▇▇▇▇▇ will attempt to redirect the supervisory authority or governmental body to request that data directly from Customer. As part of this effort, ▇▇▇▇▇▇▇▇▇▇▇ may provide Customer’s basic contact information to the supervisory authority or governmental body. If compelled to disclose Customer Data to a governmental body, then Clevertouch will give Customer reasonable notice of the demand to allow Customer to seek a protective order or other appropriate remedy unless Clevertouch is legally prohibited from doing so.
Confidentiality of Customer Data. MBBM VAS will not access or use, or disclose to any third party, any Customer Data, except, in each case, as necessary to maintain or provide the Services, or as necessary to comply with the law or a valid and binding order of a governmental body (such as a subpoena or court order). If a governmental body sends MBBM VAS a demand for Customer Data, MBBM VAS will attempt to redirect the governmental body to request that data directly from Customer. As part of this effort, MBBM VAS may provide Customer’s basic contact information to the governmental body. If compelled to disclose Customer Data to a governmental body, then MBBM VAS will give Customer reasonable notice of the demand to allow Customer to seek a protective order or other appropriate remedy unless MBBM VAS is legally prohibited from doing so.
Confidentiality of Customer Data. ZEIT will not access or use, or disclose to any third party, any Customer Data, except, in each case, as necessary to maintain or provide the Services, or as necessary to comply with the law or a valid and binding order of a government body (such as a subpoena or court order). If a government body sends ZEIT a demand for Customer Data, ZEIT will attempt to redirect the government body to request that data directly from Customer. As part of this effort, ZEIT may provide Customer’s basic contact information to the government body. If compelled to disclose Customer Data to a government body, then ZEIT will give Customer reasonable notice of the demand to allow Customer to seek a protective order or other appropriate remedy unless ZEIT is legally prohibited from doing so. If the Standard Contractual Clauses apply, nothing in this Section 4 varies or modifies the Standard Contractual Clauses.
Confidentiality of Customer Data. Kodak Alaris does not wish to receive any confidential information of Customer in the course of providing maintenance services, and Customer is expected to take all reasonable precautions to avoid disclosing any of its confidential information or that of its customers, employees or clients (“Confidential Information”) to Kodak Alaris and its employees or contractors. However, in the event that Kodak Alaris’ employees or contractors become exposed to Confidential Information, Kodak Alaris will ensure that such information is protected against unauthorized disclosure using the same degree of care, but no less than a reasonable degree of care, as ▇▇▇▇▇ ▇▇▇▇▇▇ uses to protect its own information of a like nature.
Confidentiality of Customer Data. Vocal Video will not access or use, or disclose to any third party any Customer Data, except, in each case, as necessary to maintain or provide the Services, or as necessary to comply with the law or a valid and binding order of a governmental body (such as a subpoena or court order). If a governmental body sends Vocal Video a demand for Customer Data, Vocal Video will attempt to redirect the governmental body to request that data directly from Customer. As part of this effort, Vocal Video may provide Customer’s basic contact information to the governmental body. If compelled to disclose Customer Data to a governmental body, then Vocal Video will give Customer reasonable notice of the demand to allow Customer to seek a protective order or other appropriate remedy unless Vocal Video is legally prohibited from doing so.
Confidentiality of Customer Data. The RSC retains server logs which contain detailed Authorised User and Walk-in User access information including without limitation date and time of access, IP address or username/password employed and specific file name and type of information downloaded from the RSC Journal Archive. This access information may be used by the RSC and its agents for customer support purposes. The RSC shall use its best endeavours to keep confidential from third parties the Customer's access information and usage statistics. In the case that the RSC assigns its rights in this Agreement to a third party the Customer may at its discretion require this assignee either to keep such usage statistics confidential or to destroy them. The RSC will comply with the requirements of the data protection legislation currently in force.
Confidentiality of Customer Data. Alaris does not wish to receive any confidential information of Customer in the course of providing maintenance services, and Customer is expected to take all reasonable precautions to avoid disclosing any of its confidential information or that of its customers, employees or clients (“Confidential Information”) to Alaris and its employees or contractors. However, in the event that Alaris’ employees or contractors become exposed to Confidential Information, Alaris will ensure that such information is protected against unauthorized disclosure using the same degree of care, but no less than a reasonable degree of care, as Alaris uses to protect its own information of a like nature.