Other Personal Data Sample Clauses
The 'Other Personal Data' clause defines how personal information not explicitly covered elsewhere in the agreement will be handled. It typically clarifies the types of additional personal data that may be collected, processed, or shared, such as user preferences, device identifiers, or behavioral data, and outlines the responsibilities of each party regarding this information. This clause ensures comprehensive coverage of all personal data, preventing gaps in privacy protection and compliance obligations.
Other Personal Data. In respect of the processing of Personal Data other than ChondroCelect Personal Data in the framework of or in connection with this Agreement, each of the Parties shall, as Data Controller, comply with applicable data protection (privacy) laws and regulations, including but not limited to national legislation and regulation implementing Directive 95/46/EC of the European Parliament [***] Certain information has been omitted and filed separately with the Commission. Confidential treatment has been requested with respect to omitted portions. and of the Council of 24 October 1995 on the protection of individuals with regard to the processing of personal data and on the free movement of such data.
Other Personal Data. For Support Services only and to the extent Customer, in its sole discretion, deems it necessary to provide to AAI any Customer Personal Data other than Support Authentication Data (for example, but not limited to, a screen shot containing Customer Personal Data related to any of Customer’s end users), Customer shall check the appropriate box when submitting a support ticket to indicate that it intends to disclose such Customer Personal Data to AAI. In the event Customer fails to comply with the preceding sentence, AAI shall have no obligation to assist Customer with Data Subject Requests under Section 2 above and AAI’s failure to assist under such circumstances shall not be considered a breach of this DPA.
Other Personal Data. Notwithstanding anything to the contrary in the Agreement (including this DPA), Licensee acknowledges that Licensor shall have a right to use and disclose data relating to the operation, support and/or use of the Offering for its legitimate business purposes, such as product development and sales and marketing. To the extent any such data is considered personal data under the GDPR, Licensor is the controller of such data and accordingly shall process such data in accordance with Licensor’s privacy policy and the GDPR. 1 Type of EU Personal Data may include: Name, company or institution, title, email address, work telephone number, mobile telephone number, work address, MAC address and hard drive number.
Other Personal Data. 2.1. Except as otherwise set out in clause 1 of this Schedule 8, the Parties acknowledge that for the purposes of the Data Protection Legislation, the DFE is the Controller and the Contractor is the Processor unless otherwise specified in Schedule 8 Annex 2. The only processing that the Processor is authorised to do is listed in Schedule 8 Annex 2 by the Controller and may not be determined by the Processor.
2.2. The Processor shall notify the Controller immediately if it considers that any of the Controller's instructions infringe the Data Protection Legislation
2.3. The Processor shall provide all reasonable assistance to the Controller in the preparation of any Data Protection Impact Assessment prior to commencing any processing. Such assistance may, at the discretion of the Controller, include:
2.3.1. a systematic description of the envisaged processing operations and the purpose of the processing;
2.3.2. an assessment of the necessity and proportionality of the processing operations in relation to the Services;
2.3.3. an assessment of the risks to the rights and freedoms of Data Subjects; and
2.3.4. the measures envisaged to address the risks, including safeguards, security measures and mechanisms to ensure the protection of Personal Data.
2.4. The Processor shall, in relation to any Personal Data processed in connection with its obligations under this Contract:
2.4.1. process that Personal Data only in accordance with Schedule 8 Annex 2 , unless the Processor is required to do otherwise by Law. If it is so required the Processor shall promptly notify the Controller before processing the Personal Data unless prohibited by Law;
2.4.2. ensure that it has in place Protective Measures, which are appropriate to protect against a Data Loss Event, which the Controller may reasonably reject (but failure to reject shall not amount to approval by the Controller of the adequacy of the Protective Measures), having taken account of the:
2.4.2.1. nature of the data to be protected;
2.4.2.2. harm that might result from a Data Loss Event;
2.4.2.3. state of technological development; and
2.4.2.4. cost of implementing any measures;
2.4.3. ensure that :
2.4.3.1. the Processor Personnel do not process Personal Data except in accordance with this Contract (and in particular Annex 2 to this Schedule 8);
2.4.3.2. it takes all reasonable steps to ensure the reliability and integrity of any Processor Personnel who have access to the Personal Data and ensure that they:
Other Personal Data. Notwithstanding anything to the contrary in the Customer Agreement (including this DPA), Customer acknowledges that the Company shall have a right to use and disclose data relating to the operation, support and/or use of the Service for its legitimate business purposes, such as product development and sales and marketing. To the extent any such data is considered personal data (as defined in, and regulated by the GDPR (as defined in Section 2)), the Company is the controller (as defined in the GDPR) of such data and accordingly shall process (as defined in the GDPR) such data in accordance with the Company’s privacy policy and the GDPR.
Other Personal Data. Data that Customer or its third party integrator has programmed the Crestron Cloudware to collect and transfer to data importer, such as employee badge numbers or similar company identification. The personal data transferred concern the following special categories of data (please specify): The personal data transferred will be subject to the following basic processing activities (please specify):
1. For all Crestron Cloudware products, data processing operations include:
Other Personal Data. 6.1 Each party may have access to, or be provided with, or otherwise process, Personal Data as a Controller in its own right (such as the names and contact details of the other party's staff which is necessary for the management of this Agreement) (Shared Personal Data).
6.2 Each party agrees that it will process Shared Personal Data in a manner consistent with applicable Data Protection Laws, information security laws and confidentiality laws and regulations.
Other Personal Data. 6.1 For the purposes of providing the Services to the Customer, the Vendor may have access to, or be provided with personal data as a Data Controller in its own right (such as the names and contact details of the Customer's staff which is necessary for the management of this Agreement) (Shared Personal Data).
6.2 The Vendor agrees that it will process Shared Personal Data in a manner consistent with the terms of this Privacy Addendum and applicable privacy, data protection, information security or confidentiality laws and regulations. Taking into account applicable privacy, data protection, information security or confidentiality laws and regulations, the Vendor will implement and maintain substantially similar safeguards and data handling practices for such Shared Personal Data to those the Vendor is required to maintain for Customer Personal Data under this Privacy Addendum.
Other Personal Data as may be provided by the Customers and Users when using the Services at their sole discretion.
Other Personal Data. 8.1 Notwithstanding anything to the contrary in the SaaS Agreement (including this DPA), Customer acknowledges that the Company shall have a right to use and disclose data relating to the operation, support and/or use of the Service for its legitimate business purposes, such as product development and sales and marketing.
8.2 To the extent any such data is considered Personal Data, the Company is the controller of such data and accordingly shall process such data in accordance with Data Protection Law.