Permissible Requests by Covered Entity Clause Samples
The 'Permissible Requests by Covered Entity' clause defines the types of actions or requests that a covered entity is allowed to make under an agreement, typically in the context of data sharing or service provision. This clause outlines the boundaries within which the covered entity can request information, services, or actions from another party, such as a business associate, often specifying that such requests must comply with applicable laws and the terms of the agreement. By clearly delineating what is and is not permitted, the clause helps prevent unauthorized or inappropriate requests, ensuring compliance and reducing the risk of legal or contractual violations.
Permissible Requests by Covered Entity. Covered Entity shall not request Business Associate to use or disclose PHI in any manner that would not be permissible under the HIPAA Standards if done by the Covered Entity, except that Business Associate may use and disclose PHI for data aggregation, and management and administrative activities of Business Associate, as permitted under this Section of the Contract.
Permissible Requests by Covered Entity. Covered entity shall not request business associate to use or disclose protected health information in any manner that would not be permissible under Subpart E of 45 CFR Part 164 if done by covered entity.
Permissible Requests by Covered Entity. Covered Entity shall not request Business Associate to use or disclose PHI in any manner that would not be permissible under the Privacy Rule or the Security Rule if done by Covered Entity.
Permissible Requests by Covered Entity. 6.1. Covered Entity shall not request Business Associate to use or disclose Protected Health Information in any manner that would not be permissible under the Privacy Rule if done by Covered Entity.
Permissible Requests by Covered Entity. 5.1 Covered Entity shall not request Business Associate to use or disclose PHI in any manner that would not be permissible under Subpart E of 45 CFR Part 164 if done by Covered Entity, except if there is a written agreement by and between Business Associate and Covered Entity for the Business Associate to use or disclose PHI for data aggregation or management and administrative and legal responsibilities of the Business Associate.
Permissible Requests by Covered Entity. Covered Entity shall not request Business Associate to use or disclose PHI in any manner that would not be permissible under the Privacy or Security Rule, if done by Covered Entity.
Permissible Requests by Covered Entity. 6.1 The Plan shall not request Business Associate to use or disclose PHI in any manner that would not be permissible under Subpart E of 45 CFR Part 164 if done by covered entity.
Permissible Requests by Covered Entity. Except as set forth in Section 2 of this Agreement, Covered Entity shall not request Business Associate to use or disclose PHI in any manner that would not be permissible under Subpart E of 45 CFR Part 164 if done by Covered Entity.
Permissible Requests by Covered Entity. (a) Covered Entity shall not request Business Associate to use or disclose Protected Health Information in any manner that would not be permissible under HIPAA, the Privacy Rule, the HITECH Act and of the laws of the State of Florida, if done by Covered Entity.
(b) Covered Entity shall not provide Business Associate with more Protected Health Information than that which is minimally necessary for Business Associate to provide the services and, where possible, Covered Entity shall provide any Protected Health Information needed by Business Associate to perform the services in the form of a Limited Data Set, in accordance with the HIPAA regulations.
Permissible Requests by Covered Entity. Covered Entity shall not request Business Associate to Use or Disclose Protected Health Information in any manner that would not be permissible under Subpart E of 45 CFR Part 164 if done by Covered Entity. If necessary in order to meet the Business Associate’s obligations under the Agreement, the Business Associate may Use or Disclose Protected Health Information for Data Aggregation, management and administrative activities, or contractual or legal responsibilities of Business Associate.