Fair and Transparent Sample Clauses

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Fair and Transparent. In order to comply with the principles of the DPA/ GDPR the processing must be fair to the data subject; therefore all partners must process personal information in ways which the data subject would reasonably expect. However, there are certain exemptions to the fairness and transparency aspect of principle (a) which may be utilised in order to support the purpose of this agreement. In order to assist with this agreement, information may be shared that has a negative impact on the data subject which may not be fair and transparent. However the adverse impact can be justified on the grounds of, select one or more of the following:  Protection of health or morals Where an exemption does not apply, partners should provide individuals with concise, accurate and easy to understand information about how their personal information will be used in relation to the purpose. In order to support transparency the named parties have a Privacy Notice in place which is available on the respective websites. This Information Sharing Agreement will be made publically available on the force website.
Fair and Transparent. In order to comply with the principles of the DPA/ UK GDPR the processing must be fair to the data subject; therefore all partners must process personal information in ways which the data subject would reasonably expect. However, there are certain exemptions to the fairness and transparency aspect of principle (a) which may be utilised in order to support the purpose of this agreement. In order to assist with this agreement, information may be shared that has a negative impact on the data subject which may not be fair and transparent. However the adverse impact can be justified on the grounds of: • Prevention of disorder or crime • Protection of rights and freedoms of others Where an exemption does not apply, partners should provide individuals with concise, accurate and easy to understand information about how their personal information will be used in relation to the purpose. In order to support transparency Lincolnshire Police and Lincoln BIG have Privacy Notices in place which is available on their respective websites. This Information Sharing Agreement will be made publicly available on the force website.
Fair and Transparent. In order to comply with the principles of the DPA/ UK GDPR the processing must be fair to the data subject; therefore, all partners must process personal information in ways which the data subject would reasonably expect. However, there are certain exemptions to the fairness and transparency aspect of principle (a) which may be utilised in order to support the purpose of this agreement. In order to assist with this agreement, information may be shared that has a negative impact on the data subject which may not be fair and transparent. However, the adverse impact can be justified on the grounds of: • Public safety • Prevention of disorder or crime • Protection of health or morals Where an exemption does not apply, partners should provide individuals with concise, accurate and easy to understand information about how their personal information will be used in relation to the purpose. In order to support transparency Lincolnshire Police have a Privacy Notice in place which is available on the police website. Lost Ventures have a Privacy Policy in place which is available to view via the Company’s website (▇▇▇▇▇▇▇▇▇▇▇▇▇▇▇▇▇▇▇.▇▇▇/▇▇▇▇▇▇▇▇▇▇▇) This Information Sharing Agreement will be made publicly available on the force website.
Fair and Transparent. In order to comply with the principles of the DPA/ GDPR the processing must be fair to the data subject; therefore all partners must process personal information in ways which the data subject would reasonably expect. However, there are certain exemptions to the fairness and transparency aspect of principle (a) which may be utilised in order to support the purpose of this agreement. In order to assist with this agreement, information may be shared that has a negative impact on the data subject which may not be fair and transparent. However the adverse impact can be justified on the grounds of: • Protection of health or morals Where an exemption does not apply, partners should provide individuals with concise, accurate and easy to understand information about how their personal information will be used in relation to the purpose. In order to support transparency the named parties have a Privacy Notice in place which is available on the respective websites. This Information Sharing Agreement will be made publically available on the force website.
Fair and Transparent. In order to comply with the principles of the DPA/ GDPR the processing must be fair to the data subject; therefore all partners must process personal information in ways which the data subject would reasonably expect. However, there are certain exemptions to the fairness and transparency aspect of principle (a) which may be utilised in order to support the purpose of this agreement. In order to assist with this agreement, information may be shared that has a negative impact on the data subject which may not be fair and transparent. However the adverse impact can be justified on the grounds of the following:  Prevention of disorder or crime  The disclosure is required by law or in connection with legal proceedings Where an exemption does not apply, partners should provide individuals with concise, accurate and easy to understand information about how their personal information will be used in relation to the purpose. In order to support transparency Lincolnshire Police and Lincolnshire County Council have Privacy Noticesin place which are available on their respective websites. This Information Sharing Agreement will be made publically available on the force website.
Fair and Transparent. In order to comply with the principles of the DPA/ UK GDPR the processing must be fair to the data subject; therefore all partners must process personal information in ways which the data subject would reasonably expect. However, there are certain exemptions to the fairness and transparency aspect of principle (a) which may be utilised in order to support the purpose of this agreement. In order to assist with this agreement, information may be shared that has a negative impact on the data subject which may not be fair and transparent. However the adverse impact can be justified on the grounds of; • Public safety • Prevention of disorder or crime • Protection of health or morals • Protection of rights and freedoms of others Where an exemption does not apply, partners should provide individuals with concise, accurate and easy to understand information about how their personal information will be used in relation to the purpose. In order to support transparency Lincolnshire Police and Fire & Rescue have a Privacy Notice in place which is available on their respective websites. This Information Sharing Agreement will be made publicly available on the force website.
Fair and Transparent. In order to comply with the principles of the DPA/ GDPR the processing must be fair to the data subject; therefore all partners must process personal information in ways which the data subject would reasonably expect. However, there are certain exemptions to the fairness and transparency aspect of principle (a) which may be utilised in order to support the purpose of this agreement. In order to assist with this agreement, information may be shared that has a negative impact on the data subject which may not be fair and transparent. However the adverse impact can be justified on the grounds of:  Prevention of disorder or crime. Where an exemption does not apply, partners should provide individuals with concise, accurate and easy to understand information about how their personal information will be used in relation to the purpose. In order to support transparency Lincolnshire Police and Lincoln College have published their Privacy Notice’s on their respective websites. This Information Sharing Agreement will be made publically available on the Lincolnshire Police website.
Fair and Transparent. In order to comply with the principles of the DPA/ GDPR the processing must be fair to the data subject; therefore all parties must process personal information in ways which the data subject would reasonably expect. However, there are certain exemptions to the fairness and transparency aspect of principle (a) which may be utilised in order to support the purpose of this agreement. In order to assist with this agreement, information may be shared that has a negative impact on the data subject which may not be fair and transparent. However the adverse impact can be justified on the grounds of: ➢ Prevention of disorder or crime Where an exemption does not apply, parties should provide individuals with concise, accurate and easy to understand information about how their personal information will be used in relation to the purpose. In order to support transparency Lincolnshire Police and the Lincolnshire Co-op have Privacy Notice’s in place which are publically available on the internet. This Information Sharing Agreement will be made publically available on the force website.
Fair and Transparent. In order to comply with the principles of the DPA/ GDPR the processing must be fair to the data subject; therefore all partners must process personal information in ways which the data subject would reasonably expect. However, there are certain exemptions to the fairness and transparency aspect of principle (a) which may be utilised in order to support the purpose of this agreement. In order to assist with this agreement, information may be shared that has a negative impact on the data subject which may not be fair and transparent. However the adverse impact can be justified on the grounds of:  Prevention of disorder or crime. Where an exemption does not apply, partners should provide individuals with concise, accurate and easy to understand information about how their personal information will be used in relation to the purpose. In order to support transparency Lincolnshire Police and Lincoln College have published their Privacy Notice’s on their respective websites. This Information Sharing Agreement will be made publically available on the Lincolnshire Police website.

Related to Fair and Transparent

  • Open and Transparent Consistent with ICANN’s expressed mission and core values, ICANN shall operate in an open and transparent manner.

  • Freedom of Information and Transparency 20.1 The Recipient acknowledges that the Commissioner is subject to the provisions of the FOIA and agrees to assist and co-operate with the Commissioner (at the Recipient’s expense) where necessary to enable the Commissioner to comply with any requests received under the FOIA relating to this Agreement. This includes, but is not limited to, transferring to the Commissioner any request received by the Recipient under the FOIA relating to this Agreement as soon as practicable following receipt and in any event within three working days of receipt. 20.2 In no event shall the Recipient respond to a request under the FOIA relating to this Agreement without obtaining the prior written consent of the Commissioner. 20.3 The Recipient acknowledges that the Commissioner may be obliged to disclose information under the FOIA: 20.3.1 Without consulting the Recipient; or 20.3.2 Following consultation with the Recipient and having taken into account its views. Provided that where clause 20.3.1 applies the Commissioner shall, in accordance with the recommendations of the Secretary of State for Constitutional Affairs’ Code of Practice on the discharge of a public authorities’ functions under Part 1 of FOIA, take reasonable steps, to give the Recipient advanced notice or to draw the disclosure to the Recipient’s attention after any such disclosure. 20.4 The Recipient shall ensure it retains for disclosure all information (as defined in the FOIA) produced in the course of this Agreement or relating to this Agreement and shall allow the Commissioner to inspect such records from time to time upon request. 20.5 The Recipient acknowledges that the Commissioner is subject to certain transparency and disclosure obligations set out in the Elected Local Policing Bodies Specified Information Order 2011 (as amended) (“Transparency Obligations”) 20.6 The Recipient consents to the Commissioner publishing the contents of this Agreement and information regarding any tender process related to the Purpose of the Agreement to enable the Commissioner to comply with their Transparency Obligations. 20.7 The Recipient acknowledges that: 20.7.1 The Commissioner shall be responsible for determining, at their absolute discretion, whether any information is exempt from disclosure or should be disclosed pursuant to the FOIA and/or the Transparency Obligations and to what extent any information disclosed shall be redacted; and 20.7.2 Any lists or schedules provided by the Recipient outlining confidential information are of an indicative value only and that the Commissioner may be obliged to disclose confidential information in accordance with Clause 20.3 and/or Clause 20.5.

  • Trunk Group Architecture and Traffic Routing 5.2.1 The Parties shall jointly establish Access Toll Connecting Trunks between CLEC and CBT by which they will jointly provide Tandem-transported Switched Exchange Access Services to Interexchange Carriers to enable such Interexchange Carriers to originate and terminate traffic from and to CLEC's Customers. 5.2.2 Access Toll Connecting Trunks shall be used solely for the transmission and routing of Exchange Access and non-translated Toll Free traffic (e.g., 800/888) to allow CLEC’s Customers to connect to or be connected to the interexchange trunks of any Interexchange Carrier that is connected to the CBT access Tandem. 5.2.3 The Access Toll Connecting Trunks shall be one-way or two-way trunks, as mutually agreed, connecting an End Office Switch that CLEC utilizes to provide Telephone Exchange Service and Switched Exchange Access Service in the given LATA to an access Tandem Switch CBT utilizes to provide Exchange Access in the LATA.

  • Regulation AB Compliance; Intent of Parties; Reasonableness The parties hereto acknowledge that interpretations of the requirements of Regulation AB may change over time, whether due to interpretive guidance provided by the Commission or its staff, consensus among participants in the asset-backed securities markets, advice of counsel, or otherwise, and agree to comply with requests made by the Depositor or the Master Servicer in good faith for delivery of information under these provisions on the basis of evolving interpretations of Regulation AB. In connection with the Trust, the Servicer shall cooperate fully with the Master Servicer and the Depositor to deliver to the Master Servicer and/or the Depositor (including its assignees or designees), any and all statements, reports, certifications, records and any other information available to such party and reasonably necessary in the good faith determination of the Depositor or the Master Servicer to permit the Depositor to comply with the provisions of Regulation AB, together with such disclosures relating to the Servicer reasonably believed by the Depositor or the Master Servicer to be necessary in order to effect such compliance.

  • Federal Funding Accountability and Transparency Act (FFATA Subrecipient shall comply with the requirements of 2 CFR part 25 Universal Identifier and System for Award Management (▇▇▇). Subrecipient must have an active registration in ▇▇▇, ▇▇▇▇▇://▇▇▇.▇▇▇.gov/▇▇▇/ in accordance with 2 CFR part 25, appendix A, and must have a Data Universal Numbering System (DUNS) number ▇▇▇▇▇://▇▇▇▇▇▇.▇▇▇.▇▇▇/webform/ Subrecipient must also comply with provisions of the Federal Funding Accountability and Transparency Act, which includes requirements on executive compensation, 2 CFR part 170 Reporting Subaward and Executive Compensation Information.