Customer Controls Clause Samples

The Customer Controls clause defines the customer's responsibility and authority over certain aspects of a service or system, typically relating to data, access, or configuration settings. In practice, this clause may specify that the customer is in charge of managing user permissions, setting security parameters, or determining how their data is processed within the service. Its core function is to clarify the division of control between the service provider and the customer, ensuring that the customer understands and accepts their role in managing specific elements, thereby reducing ambiguity and allocating responsibility appropriately.
Customer Controls. The Services provide Customer with a number of controls, including security features and functionalities, that Customer may use to retrieve, correct, delete or restrict Customer Data as described in the Documentation. Without prejudice to Section 5.1, Customer may use these controls as technical and organisational measures to assist it in connection with its obligations under the GDPR, including its obligations relating to responding to requests from data subjects.
Customer Controls. Customer can use the Service Controls to assist it with its obligations under the GDPR, including its obligations to respond to requests from data subjects. Taking into account the nature of the processing, Customer agrees that it is unlikely that AWS would become aware that Customer Data transferred under the Standard Contractual Clauses is inaccurate or outdated. Nonetheless, if AWS becomes aware that Customer Data transferred under the Standard Contractual Clauses is inaccurate or outdated, it will inform Customer without undue delay. AWS will cooperate with Customer to erase or rectify inaccurate or outdated Customer Data transferred under the Standard Contractual Clauses by providing the Service Controls that Customer can use to erase or rectify Customer Data.
Customer Controls. The Services provide a number of controls that You may use as technical and organizational measures to assist in connection with your obligations. These controls are at both the Administrator and user level. Users also participate in this shared responsibility model by determining which types of data they need to send over to the Services and what types of queries to run, including whether the proposed use cases meet their applicable compliance needs. For clarity, You are responsible for the actions of its Administrator(s) and users. If You wish to have a backup of its log data, then You may, prior to data ingestion, configure the Services to forward a copy of all your log data (in standard Sumo Logic format) to an AWS S3 bucket (“Data Forwarding”). This feature will not work retroactively and must be configured prior to data ingestion. If You choose to utilize Data Forwarding, then You must: (i) purchase and maintain an AWS S3 Bucket, with such terms between You and AWS; and (ii) provide the credentials to the AWS S3 bucket as required by the Sumo Logic Technology prior to the uploading of your log data.
Customer Controls. Customer can use the built-in customer controls to assist it with its obligations under the Applicable Data Protection Law, including its obligations to respond to any requests from data subjects (further to Clause 7 below). Taking into account the nature of the processing, ▇▇▇▇▇▇▇▇ agrees that it is unlikely that ▇▇▇▇▇▇▇▇▇▇▇ would become aware that Customer Data is inaccurate or outdated. Nonetheless, if ▇▇▇▇▇▇▇▇▇▇▇ becomes aware that Customer Data is inaccurate or outdated, it will inform Customer without undue delay. Clevertouch will have the right to suspend or terminate a Customer account if any information provided during registration is not accurate. Clevertouch will co-operate with Customer to erase or rectify inaccurate or outdated Customer Data by providing the customer controls that Customer can use to access, erase or rectify its own Customer Data. Customer also agrees that it is unlikely that ▇▇▇▇▇▇▇▇▇▇▇ would become aware of nor be processor of any information stored on or linked to the Clevertouch Services, and anything used in connection with the provision of the Services. This shall be deemed “Customer Content”. As such Customer shall be responsible for ensuring that the Customer Content does not contravene any Applicable Data Protection Laws. And Customer shall assist Clevertouch in maintaining written records of personal data processing, as required and when applicable under the Applicable Data Protection Laws.
Customer Controls a) Customer understands that all portions, aspects, and details of the security procedure, including User IDs, passwords, and security devices, are confidential. Customer agrees to establish physical, operational, and technical controls to protect the confidentiality of the security procedure and limit access and disclosure to only those persons who have a need to know such information. Customer agrees to: (i) prohibit Authorized Users from sharing User IDs or passwords; (ii) require that each Authorized User change their password (A) on a periodic basis; (B) any time instructed by Bank; and (C) any time the Authorized User has reason to believe that any other person may know their password; (iii) periodically review all Authorized Users to determine whether each should be entitled to view, access, or control an Account or use any Service; (iv) use the "self-service" functionality of any Service, if available, to immediately remove any Authorized User Customer deems no longer authorized to view, access, or control Customer's Account or use any Service, and any Authorized User that leaves Customer's employment. If "self-service" functionality is not made available to Customer, Customer will immediately notify Bank of any Authorized User Customer deems no longer authorized to view, access, or control an Account or use any Service, and any Authorized User that leaves Customer's employment; (v) institute an internal review process whereby before any Payment Order can be made or released, such Payment Order must be (A) reviewed to ensure that it is for an amount within the purported Authorized User's internally established authority ("threshold control") and (B) approved by at least one other person ("dual control"); and (vi) keep all Components (as defined in Section 17 below) used for any Services up-to-date in accordance with the manufacturer's recommendations, industry standards, and as otherwise required by Bank. b) Some Services provide functionality that enables Customer to electronically establish threshold control and dual control. If provided, Customer is required to use such functionality. c) Customer understands that its failure to implement any of the controls described in this Section 7 increases Customer's exposure to, and potential liability for, unauthorized or fraudulent transactions, including Payment Orders. Bank is released from, and Customer will be solely liable for, any loss, damage, cost, or expense that may result from Customer's failu...
Customer Controls. Customer can use the Account Controls to assist it with its obligations under the GDPR, including its obligations to respond to requests from data subjects. Considering the nature of the processing, Customer agrees that it is unlikely that Vocal Video would become aware that Customer Data transferred under the Standard Contractual Clauses is inaccurate or outdated. Nonetheless, if Vocal Video becomes aware that Customer Data transferred under the Standard Contractual Clauses is inaccurate or outdated, it will inform Customer without undue delay. Vocal Video will cooperate with Customer to erase or rectify inaccurate or outdated Customer Data transferred under the Standard Contractual Clauses by providing the Account Controls that Customer can use to erase or rectify Customer Data.
Customer Controls. The Nebula Control Center provides Customer with a number of controls including security features and functionalities that Customer may use to ensure the protection of Personal Data, deliver the corresponding statement of consent and regulate the scope of data processed (refer to Section 1.3.5). Without prejudice to Section 5, Customer may use these controls as technical and organisational measures to assist it in connection with its obligations under the GDPR.
Customer Controls. The Service Offerings provide Customer with controls to enable Customer to retrieve, correct, delete, or block Customer Data as described in the Documentation. FastComet makes available a number of security features and functionalities that Customer may elect to use. Customer is responsible for properly
Customer Controls. The Service Offerings provide Customer with controls to enable Customer to retrieve, correct, delete, or block Customer Data as described in the Documentation. AWS makes available a number of security features and functionalities that Customer may elect to use. Customer is responsible for properly (a) configuring the Service Offerings, (b) using the controls available in connection with the Service Offerings (including the security controls), and (c) taking such steps as Customer considers adequate to maintain appropriate security, protection, deletion and backup of Customer Data, which may include use of encryption technology to protect Customer Data from unauthorized access and routine archiving of Customer Data.
Customer Controls. Customer can submit requests through the Data Subject Access Rights (DSAR) Portal noted in our Privacy Policy so submit requests related to the Customer’s obligations under the GDPR, including its obligations to respond to requests from data subjects. Taking into account the nature of the processing, Customer agrees that it is unlikely that BumbleBee Marketing Services would become aware that Customer Data transferred under the Standard Contractual Clauses is inaccurate or outdated. Nonetheless, if BumbleBee Marketing Services becomes aware that Customer Data transferred under the Standard Contractual Clauses is inaccurate or outdated, it will inform Customer without undue delay. BumbleBee Marketing Services will cooperate with Customer to erase or rectify inaccurate or outdated Customer Data transferred under the Standard Contractual Clauses by fulfilling requests submitted through our DSAR portal.