Personal Identifiers Clause Samples

Personal Identifiers. If NC STATE provides the Craft Instructor with personal identifiers as listed in N.C.G.S. §132-1.10 and in N.C.G.S. §14-113.20(b) or any other legally confidential information, Craft Instructor hereby certifies that collection of this information from NC STATE is necessary for the performance of Craft Instructor’s duties and responsibilities on behalf of NC STATE under this Contract. Craft Instructor further certifies that it shall maintain the confidential and exempt status of any social security number information, as required by N.C.G.S. §132-1.10(c)(1), and that it shall not re-disclose personally identifiable information as directed by State and Federal laws. Failure to abide by legally applicable security measures and disclosure restrictions may result in the interruption, suspension and/or termination of the relationship with Craft Instructor for a period of at least five (5) years from date of violation. If Craft Instructor experiences a security breach, as defined in N.C.G.S. §75.61(14), relating to this information, in addition to the Craft Instructor’s responsibilities under the NC Identity Theft Protection Act, Craft Instructor shall immediately notify NC STATE with the information listed in N.C.G.S. §75-65(d)(1-4) and shall fully cooperate with NC STATE. Craft Instructor shall indemnify NC STATE for any breach of confidentiality or failure of its responsibilities to protect confidential information. Specifically, these costs may include, but are not limited to, the cost of notification of affected persons as a result of its unauthorized release of NC STATE data provided to Craft Instructor pursuant to the Contract.
Personal Identifiers. 1) The Researcher shall remove personal identifiers from the Health Information and replace them with a study code to protect the confidentiality of the Study Participant.
Personal Identifiers. The System will allow the designated CTDOC staff to search the offender database using a variety of search fields, including but not limited to, offender ID, name, alias, FBI numbers, Social Security Number, date of birth, driver’s license number.
Personal Identifiers. Examples of Data Collected Name, address, email address, telephone number, identifiers assigned to you for our internal use, signature, publically available images Why Do We Collect This Data? Account opening, communicating with you, providing products and services to you, carrying out operational and administrative functions, marketing, meeting our regulatory and compliance obligations and preventing financial crime Where Do We Collect Data From? You, your authorized representatives and agents, internally generated information, third party vendors that provide information to assist with marketing, meeting our regulatory and compliance obligations and preventing financial crime Who Do We Share Data With GS affiliates, non-affiliated companies that perform support services for your account or process your transactions with us or our affiliates, vendors who assist with preventing financial crime, GS lawyers, auditors, accountants and others providing professional advice, regulators and law enforcement authorities, your authorized agents and representatives to whom you instruct or authorize us to disclose your data, any person or entity to whom GS is obliged by applicable law to disclose your data and any other party where we have first obtained your prior consent Category: Device and Online Identifiers and Related Information Examples of Data Collected Internet Protocol (“IP”) address, account user name / log-in, device information, device type Why Do We Collect This Data Providing products and services to you, communicating with you, carrying out operational and administrative functions, identifying products that may be of interest to you, helping us improve our products, services and operations, preventing financial crime Where Do We Collect Data From? You, your device, data we collect by placing a cookie on your browser or application
Personal Identifiers. Personal identifiers are a means through which Company provides and invoices you for Service, and they include telephone numbers, e-mail addresses and other personal identifiers which are assigned to you by Company at Company's discretion. It is not Company's policy to change arbitrarily personal identifiers; however, Company may be required by a governmental authority, regulation, or otherwise to change or transfer personal identifiers, which do not belong to you and are not considered to be your property. (For example, in the case of an area code split, a state utility commission may require that Company change your area code.) Company may change personal identifiers upon reasonable notice to you, including notice of any associated transfer charges or fees.
Personal Identifiers. Mother’s First Name Mother’s Last Name Mother’s Date of Birth Mother’s SSN Mother’s Address Mother’s Zip Code Mother’s Phone number
Personal Identifiers. The System will provide the capability to search, collect, update and display ethnicity, national origin, religion, known SRG affiliation, scars, tattoos, body marking descriptions, primary language, place of birth and date of birth and note if the offender is one from a multiple birth.
Personal Identifiers. The employer has exclusive rights to photographs taken of the player in the team's playing uniform and other similar personal identifiers. The employer can use such photos and identifiers in its and its partners' marketing, conducted in any form of printed or electronic media. The employer also has the right to produce, sell, and market products featuring the player's name, image, or other similar personal identifier without separate compensation. The player can use his image taken in the employer's team jersey for their own non-commercial purposes, and, with employer’s explicit permission, also for other purposes.

Related to Personal Identifiers

  • Indirect Identifiers Any information that, either alone or in aggregate, would allow a reasonable person to be able to identify a student to a reasonable certainty Information in the Student’s Educational Record Information in the Student’s Email

  • 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.

  • Personal Information 23.1 Subject to any applicable laws, the Licensee authorises ▇▇▇▇▇ to: 23.1.1 use any Personal Information that SAMRO for the purposes of processing, executing and administering the Agreement; calculating Licence Fees; collecting the Licence Fees; 23.1.2 informing the Licensee of any SAMRO news and information or information relating to the Agreement; 23.1.3 informing the Licensee of any amendment, Tariff amendment or General Amendment to this Agreement. 23.1.4 access the Licensees Personal Information from credit bureaux relating to the Licensees payment profile for purposes of financial risk assessment, fraud prevention and debtor tracing and that we may disclose the necessary Personal Information to any such credit bureaux. 23.1.5 obtain, capture store, process, analyse and use the Licensees personal information for SAMRO marketing purposes in relation to ▇▇▇▇▇’s business of managing its Repertoire.

  • Personal Items 15.6.1 We shall not be responsible in any way for your personal furniture, jewellery, other valuables, cash, credit cards, cheques, documents or other personal possessions unless we have been fraudulent or breached this Agreement in respect of your belongings. 15.6.2 If you wish to bring in large personal items (for example, furniture), into the Residence, you must ask the General Manager in writing before you move in. Any decision to allow personal items to be brought into, and used in, the Residence is at the discretion of the General Manager. 15.6.3 Your personal items must not constitute a fire hazard or a health and safety risk, or disturb the peaceful enjoyment of the Residence by other residents and employees.

  • 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.