Context of the processing Sample Clauses

The "Context of the processing" clause defines the circumstances and environment in which personal data is collected, used, and managed by a party. It typically outlines factors such as the nature of the data, the purposes for which it is processed, the parties involved, and the relevant legal or contractual frameworks. For example, it may specify whether data is processed for marketing, employee management, or service provision, and under which jurisdiction's laws. This clause is essential for clarifying the scope and limitations of data processing activities, ensuring transparency, and helping parties comply with applicable data protection regulations.
Context of the processing. Information will be shared with the explicit consent of the individual. The police will record and manage the consent of individuals for each disclosure which will be recorded on Police systems. Consent will be sought directly with the NOK by the attending officer. This will be recorded via Pronto onto the Sudden Death Form and will confirm that consent has been given. The information disclosed by the Police under this agreement shall be made available to the relevant partner or partners (as determined by the individual’s needs), by the means of a spreadsheet containing the personal data and the police data of:  Occurrence number  Occurrence created date  Occurrence start date/time  Occurrence summary  Occurrence address
Context of the processing. Information sharing will take place on regular basis and Niche will be accessed as and when required.  The lawful basis for sharing information does not rely on consent from the data subject and both organisations have Privacy Notices in place which document how personal data is processed.  The sharing of data will fulfil the purpose of the agreement by ensuring that the named parties have access to relevant information. This will ensure that they can fulfil their duty to reduce the number of people killed and injured on the roads of Lincolnshire.  The Lincolnshire Road Safety Partnership have a Road Safety Strategy (201- 2025) which sets out how the LRSP will serve the people of Lincolnshire by providing an evidence based road safety service.
Context of the processing. Relevant information will be shared when it is identified that a prolific offender has been banned from the premises managed by Lincoln BIG in order for staff to identify such offenders. The sharing of photographs and relevant incident information will fulfil the purpose of the agreement by ensuring that staffs are aware of the prolific offenders that have been banned from Lincoln BIG premises, therefore aiding in the prevention of retail theft.
Context of the processing.  The CCST will not be able to edit or delete any records on Webstorm or NICHE. Access will be read only.  The CCST will only be able to edit records that they have created on Centurion and that remain in their workflow. Records transferred to PSD will no longer be accessible.  There are OPFCC and Force Fair Processing Statements in place that include data sharing between the two organisations.
Context of the processing. Safeguarding is a fundamental aspect of the FA’s role and collectively they have a duty to ensure the game is a safe, positive and enjoyable experience for children, young people and adults who regularly play, watch, coach, referee and volunteer. In relation to this agreement information will be shared when an allegation has been made against a volunteer or member of staff that works or volunteers at the Lincolnshire Football Association. The information Sharing Agreement will facilitate Lincolnshire Football Association to conduct investigations into allegations that have been made in relation to volunteers or staff members at the Lincolnshire Football Association. This will ensure that the Lincolnshire FA can put appropriate safeguards in place to protect children and vulnerable adults involved with Lincolnshire FA activities.
Context of the processing. Relevant information will be shared in a number of circumstances which include the following: • To assist Lincoln College with their Criminal Disclosure Policy in relation to potential students. • When Lincolnshire Police have a safeguarding concern that relates to Lincoln College. • When there is information relating to relevant court cases involving students at Lincoln College. Potential students will be asked for their consent to complete a police checks prior to admission to Lincoln College. The sharing of relevant data will fulfil the purpose of the agreement by ensuring that the College have access to relevant information to ensure that they can safeguard students and staff at the college and prevent crime and disorder.
Context of the processing. Information will be shared in circumstances where members of both organisations have concerns around members of the public they come into contact with during the course of their business. There is a wide range of information that is captured at incidents, which is of no apparent relevance to share to the other organisation, and by doing so would dilute the purpose of identifying risk. It may also breach data protection guidelines if generic sharing is tried to be implemented, as well as overload working practices. The purpose of this agreement is to have a risk-based approach and to share only what is necessary so that it can have an effect.
Context of the processing. Where a client has either a) information of a potential offence, or b) has indicated that they have been involved in an offence we will share relevant information. • If we witness an offence taking place • If we are advised of a potential incident that we feel should be shared • If we are offered a referral which requires a background check for safeguarding/staff safety issues • In most instances the above will be conducted with the permission of the client • Where permission of the client has not been granted (during initial project paperwork) they will be advised at the point of contact.

Related to Context of the processing

  • Details of the Processing The subject-matter of Processing of Personal Data by Data Processor is the performance of the Services pursuant to the Agreement. The duration of the Processing, the nature and purpose of the Processing, as well as the types of Personal Data Processed and categories of Data Subjects under this DPA are further specified in Schedule 1 (Details of the Processing) to this DPA.

  • Nature of the processing MailChimp provides an email service, automation and marketing platform and other related services, as described in the Agreement.

  • Duration of the Processing Personal Data will be Processed for the duration of the Agreement, subject to Section 4 of this DPA.

  • Scope of the Procurement II.1.1) Title

  • Description of the procurement Under this Lot the supplier will provide the below packs (this list is not exhaustive): o Minor Ear o Major Ear o Nasal o Adenotonsillectomy o Head and Neck o Minor Plastic Pack o Major Plastic Pack o Cleft o Plastic Hand Surgery o Burns Pack o Breast Surgery Pack o Dental o Maxillofacial surgery TERMS AND CONDITIONS / ACTIVITY BASED INCOME (ABI) The terms and conditions of this Agreement and any resulting call-off contract is appended to the ITT. These terms include provisions requiring the payment by the supplier of an ABI management charge in consideration of the award of this Agreement, the management and administration by HTE of the overall contract structure and associated documentation, as well as the requirement to submit regular management information to HTE. SUBMISSION OF EXPRESSIONS OF INTEREST AND PROCUREMENT INFORMATION This exercise will be conducted on the HTE Bravo portal. Candidates wishing to be considered must register expressions of interest as follows: Register on the HTE portal at ▇▇▇▇▇://▇▇▇▇▇▇▇▇▇▇▇▇▇▇▇▇▇.▇▇▇▇▇▇▇▇▇▇▇▇▇.▇▇.▇▇. Login to the portal with username/password. Click the SQs/ITTs Open to All Suppliers link. These are the SQs/ITTs open to any registered supplier. Click on the relevant SQ/ ITT to access the content. Click the Express Interest button at the top of the page. This will move the SQ/ITT into your My SQs/My ITTs page. You can access any attachments by clicking Buyer Attachments in the SQ/ITT Details box. Follow the onscreen instructions to complete the SQ/ITT. Submit your reply using the Submit Response button at the top of the page. If you require any further advice, contact the Bravo e- Tendering Help Desk at ▇▇▇▇@▇▇▇▇▇▇▇▇▇▇▇▇▇.▇▇.▇▇. Sid4Gov HTE utilises the sid4gov supplier information database. Candidates should register on sid4gov at ▇▇▇▇▇://▇▇▇▇▇▇▇.▇▇▇▇▇▇▇▇▇▇▇▇▇.▇▇▇.▇▇/organisation/register and submit their sid4gov company profile for publication on the database. Candidates already registered on sid4gov must ensure information is up to date. Where access to sid4gov is unavailable, please contact the sid4gov helpdesk at ▇▇▇▇▇▇▇@▇▇▇.▇▇▇.▇▇▇.▇▇. Please note that sid4gov does not prepopulate any fields of the SQ on HTE's Bravo portal. Candidates must complete the Qualification & Technical Envelopes of the SQ in Bravo in full.