Early Identification Sample Clauses

The Early Identification clause requires parties to promptly recognize and disclose issues, risks, or relevant information as soon as they become apparent during the course of an agreement or project. In practice, this means that if a party notices a potential delay, defect, or compliance concern, they must notify the other party without undue delay, often through a specified reporting process. This clause helps to ensure that problems are addressed proactively, minimizing potential disruptions and allowing for timely solutions, thereby reducing the risk of escalation and fostering transparency between parties.
Early Identification. A. Except for documents listed in Section 9.03 C2 above, information placed in the Unit Member’s personnel file that may jeopardize employment status shall include the initials of the Unit Member and the administrator placing the material in the file, with the date of examination by the Unit Member and the date the material was placed in the file. The Unit Member’s initials or signature will not indicate agreement with the content of the material, but indicates only that the material has been inspected by the professional staff member. Before any written material is placed in a Unit Member’s file, said Unit Member has the right to examine the material and reply in a written statement that will be attached to the file copy. B. Anonymous letters or materials shall not be placed in a Unit Member’s file, nor shall they be made a matter of record to the extent permitted by law.
Early Identification. The implemen- tation of a formal plan for identifying a disability as early as possible in the individual’s life.
Early Identification. The vendor is to provide specific program eligibility criteria and is to outline the process for the early identification and screening of potential clients within the criminal justice system, including outreach to the target population. The procedures shall clearly specify TAP agency and criminal justice system responsibilities to ensure identification of potential TAP clients from the pool of detainees, arrestees and offenders. Due to the disproportionate impact of arrests on racial minorities, particular attention should be given to developing a standardized, evidenced based identification tool to assure equitable consideration for inclusion in the program.
Early Identification. To identify areas of concern as early as possible and get agreement for information sharing from Parents / Carers to seek appropriate support for their family. Use the 7 golden rules guidance from the document called ‘School Readiness – Information Sharing’. • When emerging needs are identified, to enable programmes of early help, where necessary in partnership with a range of service disciplines to be delivered in a co- ordinated way, in partnership with Parents / Carers.
Early Identification. The contractor shall develop policies and procedures for early identification of enrollees who require care management. The contractor shall include in its policies and procedures a review of the following possible indicators of complex care needs: 1. Poor health or functional status, as reported by the enrollee or authorized person; 2. Existence of a care plan; 3. Existence of a case manager; 4. Request for an assessment from the enrollee or authorized person; 5. Request for an assessment from a State agency or private agency contracting with DDD involved with the enrollee; 6. A chronic condition; 7. A recent hospitalization or admission to a nursing facility;
Early Identification. The contractor shall develop policies and procedures for early identification of enrollees who require care management. The contractor shall include in its policies and procedures a review of the following possible indicators of complex care needs: 1. Poor health or functional status, as reported by the enrollee or authorized person; 2. Existence of a care plan; 3. Existence of a case manager; 4. Request for an assessment from the enrollee or authorized person; 5. Request for an assessment from a State agency or private agency contracting with DDD involved with the enrollee; 6. A chronic condition; 8. Recent critical social events, such as the death or relocation of a family member or a move to a new home; 9. Existence of multiple medical or social service systems or providers in the life of the enrollee; 10. Use of prescription drugs, particularly multiple drugs; and 11. Use of interpreter or any special services.
Early Identification. The contractor shall develop policies and procedures for early identification of enrollees who require care management. The contractor shall include in its policies and procedures a review of the following possible indicators of complex care needs: 1. Poor health or functional status, as reported by the enrollee or authorized person; 2. Existence of a care plan; 3. Existence of a case manager; 4. Request for an assessment from the enrollee or authorized person; 5. Request for an assessment from a State agency or private agency contracting with DDD involved with the enrollee; 6. A chronic condition; 7. A recent hospitalization or admission to a nursing facility; 8. Recent critical social events, such as the death or relocation of a family member or a move to a new home; 9. Existence of multiple medical or social service systems or providers in the life of the enrollee; 10. Use of prescription drugs, particularly multiple drugs; and 11. Use of interpreter or any special services.

Related to Early Identification

  • Non-Identification Approved Users agree not to use the requested datasets, either alone or in concert with any other information, to identify or contact individual participants from whom data and/or samples were collected. Approved Users also agree not to generate information (e.g., facial images or comparable representations) that could allow the identities of research participants to be readily ascertained. These provisions do not apply to research investigators operating with specific IRB approval, pursuant to 45 CFR 46, to contact individuals within datasets or to obtain and use identifying information under an 2 The project anniversary date can be found in “My Projects” after logging in to the dbGaP authorized-access portal. IRB-approved research protocol. All investigators including any Approved User conducting “human subjects research” within the scope of 45 CFR 46 must comply with the requirements contained therein.

  • Customer Identification Unless Elastic has first obtained Customer's prior written consent, Elastic shall not identify Customer as a user of the Products, on its website, through a press release issued by Elastic and in other promotional materials.

  • Your Member Identification Card Your BCBSRI member ID card is your key to getting healthcare coverage. It shows your healthcare provider that you’re part of the nation’s most trusted health plan. All BCBSRI members receive ID cards, which provide important information about your coverage. This card is for identification only, and you must show it whenever you receive healthcare services. Please note you must be a current member to receive covered services. Tips for keeping your card safe: • Carry it with you at all times. • Keep it in a safe location, just as you would with a credit card or money. • Let BCBSRI know right away if it is lost or stolen.

  • Customer Identification Program (A) To assist the Fund in complying with requirements regarding a customer identification program in accordance with applicable regulations promulgated by U.S. Department of Treasury under Section 326 of the USA PATRIOT Act ("CIP Regulations"), BNYM will do the following: (i) Implement procedures which require that prior to establishing a new account in the Fund BNYM obtain the name, date of birth (for natural persons only), address and government-issued identification number (collectively, the "Data Elements") for the "Customer" (defined for purposes of this Agreement as provided in 31 CFR 1024.100(c)) associated with the new account. (ii) Use collected Data Elements to attempt to reasonably verify the identity of each new Customer promptly before or after each corresponding new account is opened. Methods of verification may consist of non-documentary methods (for which BNYM may use unaffiliated information vendors to assist with such verifications) and documentary methods (as permitted by 31 CFR 1024.220), and may include procedures under which BNYM personnel perform enhanced due diligence to verify the identities of Customers the identities of whom were not successfully verified through the first- level (which will typically be reliance on results obtained from an information vendor) verification process(es). (iii) Record the Data Elements and maintain records relating to verification of new Customers consistent with 31 CFR 1024.220(a)(3). (iv) Regularly report to the Fund about measures taken under (i)-(iii) above. (v) If BNYM provides services by which prospective Customers may subscribe for shares in the Fund via the Internet or telephone, BNYM will work with the Fund to notify prospective Customers, consistent with 31 CFR 1024.220(a)(5), about the program conducted by the Fund in accordance with the CIP Regulations. (B) To assist the Fund in complying with the Customer Due Diligence Requirements for Financial Institutions promulgated by FinCEN (31 CFR § 1020.230) pursuant to the Bank Secrecy Act ("CDD Rule"), BNYM will maintain and implement written procedures that are reasonably designed to: (i) Obtain information of a nature and in a manner permitted or required by the CCD Rule in order to identify each natural person who is a "beneficial owner" (as that term is defined in the CDD Rule) of a legal entity at the time that such legal entity seeks to open an account as a shareholder of the Fund, unless that legal entity is excluded from the CDD Rule or an exemption provided for in the CDD Rule applies; and (ii) Verify the identity of each beneficial owner so identified according to risk based procedures to the extent reasonable and practicable, in accordance with the minimum requirements of the CDD Rule. (C) Nothing in Section (3) shall be construed to require BNYM to perform any course of conduct that is not required for Fund compliance with the CIP Regulations or CDD Rule, including by way of illustration not limitation the collection of Data Elements or verification of identity for individuals opening Fund accounts through financial intermediaries which use the facilities of the NSCC. (D) BNYM agrees to permit inspections relating to the CIP services provided hereunder by U.S. Federal departments or regulatory' agencies with appropriate jurisdiction and to make available to examiners from such departments or regulatory agencies such information and records relating to the CIP services provided hereunder as such examiners shall reasonably request.

  • If Identified If the HSP is Identified it will: (a) work towards applying the principles of Active Offer in the provision of services; (b) provide services to the public in French in accordance with its existing French language services capacity; (c) develop, and provide to the Funder upon request from time to time, a plan to become Designated by the date agreed to by the HSP and the Funder; (d) continuously work towards improving its capacity to provide services in French and toward becoming Designated within the time frame agreed to by the parties; (e) provide a report to the Funder that outlines progress in its capacity to provide services in French and toward becoming Designated; (f) annually, provide a report to the Funder that outlines how it addresses the needs of its local Francophone community; and (g) collect and submit to the Funder, as requested by the Funder from time to time, French language services data.