Incident Response Policy Clause Samples

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Incident Response Policy. Sema4 will implement an incident response policy that specifies how Sema4 will respond in the event of a Security Incident, as defined in the BAA, as amended by the Amendment.
Incident Response Policy. Kronologic maintains an incident response policy with steps to follow in the case of a suspected breach which Kronologic regularly reviews and updates.
Incident Response Policy. Rubrik’s Incident Response Policy includes directions to be followed in the event of any action deemed a security incident. This policy includes the roles and responsibilities of personnel assigned to the security incident, the leadership responsibilities, command and control methods, and guidance on developing and implementing corrective action plans. Tel.: ; e-mail: Other information needed to identify the organisation …………………………………………………………… (the data exporter) And Tel.: +▇ ▇▇▇ ▇▇▇ ▇▇▇▇; e-mail: ▇▇▇@▇▇▇▇▇▇.▇▇▇ Other information needed to identify the organisation: ………………………………………………………………… (the data importer) each a “party”; together “the parties”, HAVE AGREED on the following Contractual Clauses (the Clauses) in order to adduce adequate safeguards with respect to the protection of privacy and fundamental rights and freedoms of individuals for the transfer by the data exporter to the data importer of the personal data specified in Appendix 1.
Incident Response Policy. Vayu’s Incident Response Policy includes directions to be followed in the event of any action deemed to be a security incident. This policy includes the roles and responsibilities of personnel assigned to the security incident, the leadership responsibilities, command and control methods, and guidance on developing and implementing corrective action plans.
Incident Response Policy. Rubrik’s Incident Response Policy includes directions to be followed in the event of any action deemed a security incident. This policy includes the roles and responsibilities of personnel assigned to the security incident, the leadership responsibilities, command and control methods, and guidance on developing and implementing corrective action plans. This Additional Safeguards Addendum (“Safeguards Addendum”) is in response to the Schrems II case and provides information regarding Rubrik’s data access and additional safeguards for Customer’s benefit. This Safeguards Addendum supplements and is made part of, but is not in variation or modification of, the Standard Contractual Clauses (“SCC”). Rubrik remains committed to securing a strong privacy posture and is actively reviewing global privacy trends and guidelines. Current guidance on the use of SCC as a transfer tool post-Schrems II, including the guidance outlined in the EDPB recommendation 01/2020, makes it clear that each data transfer must be reviewed on a case-by-case basis in order to evaluate the effectiveness of the transfer tool. Rubrik’s assessment of the use of SCC post-Schrems II takes into account the additional safeguards set forth in this Safegaurds Addendum. While Rubrik is a U.S. company and is subject to U.S. laws, to date Rubrik has not received a U.S. law enforcement request regarding any Customer Personal Data. In the event Rubrik receives such a request going forward, Rubrik will abide by the terms of this Safeguards Addendum and the DPA.

Related to Incident Response Policy

  • Incident Response Operator shall have a written incident response plan that reflects best practices and is consistent with industry standards and federal and state law for responding to a data breach, breach of security, privacy incident or unauthorized acquisition or use of any portion of Data, including PII, and agrees to provide LEA, upon request, an executive summary of the written incident response plan.

  • Client Responsibility For clarity, the parties agree that in reviewing the documents referred to in clause (b) above, Patheon’s role will be limited to verifying the accuracy of the description of the work undertaken or to be undertaken by Patheon. Subject to the foregoing, Patheon will not assume any responsibility for the accuracy of any application for receipt of an approval by a Regulatory Authority. The Client is solely responsible for the preparation and filing of the application for approval by the Regulatory Authority and any relevant costs will be borne by the Client.

  • Security Incident Response Upon becoming aware of a Security Incident, MailChimp shall notify Customer without undue delay and shall provide timely information relating to the Security Incident as it becomes known or as is reasonably requested by Customer.

  • Client Responsibilities You are responsible for (a) assessing each participants’ suitability for the Training, (b) enrollment in the appropriate course(s) and (c) your participants’ attendance at scheduled courses.

  • Student Responsibilities The school provided Chromebook for the student is an important learning tool to be used for educational purposes. In order to use the device each day, the student must be willing to accept the following responsibilities: ● I understand that district officials have the ability to monitor my use of the device AT ALL TIMES IN AND OUT OF SCHOOL and that communications, files, internet search activities, and any other actions using the device are not considered to be private. Note: RCCSD does not have the ability to and will not remotely operate the camera on the device. However, students can cover it when not in use to ensure others are not. ● I understand that the device assigned to me is on loan from Red Clay Consolidated School District. All accounts, programs, and files are subject to inspection at any time without notice. ● I will be responsible for ALL damage or loss of the device due to NEGLECT OR ABUSE including dropping it, getting it wet, and spills of food or drink. ● I will not try to repair my Chromebook. ● At ALL times when using my Chromebook, I will follow the Acceptable Use, Internet Safety Policy, and Student Code of Conduct, and related policies adopted by the Board of Education, and abide by all local, state, and federal laws. ● I will talk with my parent/guardian about their ground rules for going online when not at school. ● I will notify the school principal and my parents of any damage to the device as soon as possible. ● I will charge the Chromebook battery each night and will bring my Chromebook to school every day or be prepared for remote learning. ● I will keep my Chromebook clean. ● I will not lend my device to anyone. This includes family members and friends. Note: I could be held responsible for any inappropriate content on the District issued Chromebook. ● I will keep all passwords assigned to me secure. ● I will only use my account credentials to sign into my Chromebook. ● I am allowed to connect to non-district printers and wireless networks at home and in public places. ● I agree that e-mail or any other computer communication should be used only for appropriate, legitimate, and responsible communication. ● I agree not to share personal information about myself (full name, address, etc.) or about my family, friends or anyone else. ● I agree not to search for, download, display, post, or distribute vulgar, offensive material or images described in applicable district policies. (See the student handbook and/or the district's Acceptable Use Agreement.) ● I agree to abide by all school rules that address electronic device procedures. ● I will return the device when requested, at the end of the school year or upon my withdrawal. ● I agree to not deface or destroy this property in any way. Inappropriate use of the machine may result in the student losing their right to use the Chromebook. ● I understand that identification labels have been placed on the Chromebook. These labels are not to be removed or modified. Additional stickers, labels, tags, or markings of any kind are NOT to be added to the machine.