Use of Artificial Intelligence Sample Clauses
The 'Use of Artificial Intelligence' clause defines the rules and limitations regarding the deployment of AI technologies within the scope of an agreement. It typically outlines whether parties are permitted to use AI tools for tasks such as data analysis, content creation, or decision-making, and may specify requirements for transparency, data privacy, or human oversight. This clause serves to manage risks associated with AI, ensure compliance with relevant laws, and clarify expectations about the role of AI in fulfilling contractual obligations.
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Use of Artificial Intelligence. Without RTI’s prior written consent, Vendor will not, and shall ensure that its own subcontractors do not, (1) use any artificial intelligence (“AI”) software, tools, or technologies including, without limitation, natural language processing, deep learning algorithms, machine learning models or other generative AI in the performance of the Services in the creation of any Deliverables or (2) use AI to analyze, process, or store any RTI proprietary or confidential information. Subject to any such consent, Vendor represents and warrants that (1) Services and Deliverables are or will be the result of independent, original efforts by Vendor and its subcontractors without the use of any AI for any purpose, (2) Vendor and its subcontractors have used due diligence and best practices when employing AI tools and methods to produce such Services and Deliverables, and (3) Vendor has a reasonable belief that the AI tools and methods used to produce such Services and Deliverables are fair, secure, private, unbiased, trustworthy, and reliable.”
Use of Artificial Intelligence a. The Provider may use artificial intelligence (AI) and machine learning algorithms to improve the Services and support the educational purposes for which the Services are used. The Provider shall ensure that any use of AI is transparent, fair, and consistent with the privacy and security obligations set forth in this DPA.
b. The Provider shall implement technical and organizational measures to ensure that AI systems used in connection with the Services are designed and operated in a manner that protects the privacy and security of student data. Such measures may include, but are not limited to, data minimization, transparency, and human oversight.
c. The Provider shall not use AI in a manner that may result in unfair, biased, or discriminatory treatment of students or that may have a negative impact on students' rights or well-being. The Provider shall not use AI to make automated decisions about students without human intervention unless such use is expressly authorized by the LEA and is consistent with applicable law.
Use of Artificial Intelligence. 17.1 Any use of AI including, but not limited to generative AI, via platforms, tools, and software must be consistent with Authority Policies, Standard Procedures, Rules and Regulations and applicable laws.
17.2 To maintain the security of Authority Data and IT systems, Company is prohibited from attempting to gain access to unapproved AI applications when using Authority Data. To avoid potential data leaks or security incidents, Company is prohibited from inputting,
17.3 Company acknowledges and agrees that any Authority Data obtained using AI technology is the property of the Authority, and the Company shall not use such data for any purpose other than to provide Services to the Authority. Specifically, the Company shall not use Authority Data as training data for any AI models or algorithms that will be used by any third‐party organization or individual outside of the Company, without the express written consent of the Authority. The Company shall take reasonable measures to ensure that Authority Data is not inadvertently used as training data for any third‐party AI models or algorithms and shall promptly notify the Authority in the event of any unauthorized use or disclosure of Authority Data.
17.4 Company’s request for approval to use AI must be submitted in writing and contain the following:
A. The specific Authority Data to be used;
B. The purpose and intended use of the AI;
C. The potential benefits and risks associated with using the AI;
D. The measures in place to ensure data security and confidentiality;
E. The mechanisms in place for ensuring compliance with applicable laws including but not limited to data privacy and data protection laws; and
F. A dataflow diagram which illustrates the flow of data within the Services as well as detailed identification of data sources, data stores, data processing, networks and AI utilized.
17.5 Authority shall have sole and absolute discretion to approve or deny the use of AI for any aspect of the Services.
17.6 To maintain the confidentiality of Authority Data, Company must only share information with approved Personnel and must not input Sensitive Security Information (SSI) into AI systems. Company should not input Authority intellectual property into non‐approved generative AI applications or enter PII for Authority employees, customers, or other third‐ parties into any non‐approved AI application. Company should contact the Vice President of Information Technology Services if it is unsure whether it shou...
Use of Artificial Intelligence. 5.1. Students are expected to adhere to the College’s Use of Artificial Intelligence policy.
5.2. Students who are permitted to use Artificial Intelligence platforms as part of their learning are strictly required to use it in accordance with the recommendations as set out by their teacher only.
5.3. Students must not enter any personal information onto any AI platform. Student data and privacy must remain protected, therefore, uploading identifiable information into generative AI tools or software that integrates generative AI tools is strictly prohibited.
Use of Artificial Intelligence. RA may infrequently use Artificial Intelligence (AI) tools in its research services to enhance the quality and efficiency of the recommendations provided to clients. In accordance with Regulation 24(7) of the SEBI (Research Analyst) Regulations, 2014:
1. RA take full responsibility for the security, confidentiality, and integrity of client data used in conjunction with AI tools
2. RA ensure compliance with applicable laws regarding the use of AI tools
Use of Artificial Intelligence. Without RTI’s prior written consent, Subcontractor will not, and shall ensure that its own subcontractors do not, (1) use any artificial intelligence (“AI”) software, tools, or technologies including, without limitation, natural language processing, deep learning algorithms, machine learning models or other generative AI in the performance of the Services or Work or in the creation of any Deliverables or (2) use AI to analyze, process, or store any RTI proprietary or confidential information. Subject to any such consent, Subcontractor represents and warrants that (1) Services, Work, and Deliverables are or will be the result of independent, original efforts by Subcontractor and its subcontractors without the use of any AI for any purpose, (2) Subcontractor and its subcontractors have used due diligence and best practices when employing AI tools and methods to produce such Services, Work, and Deliverables, and (3) Subcontractor has a reasonable belief that the AI tools and methods used to produce such Services, Work, and Deliverables are fair, secure, private, unbiased, trustworthy, and reliable.
Use of Artificial Intelligence. Artificial Intelligence (AI) is a system of machine learning that is capable of performing complex and original tasks such as problem solving, learning, reasoning, understanding natural language, and recognizing patterns in data. AI is becoming more prevalent in our daily lives and is being integrated in a variety of technical applications. The district recognizes that the use of AI can enhance student learning experiences and be a resource for staff and teachers. The district authorizes the ethical and legal use of AI as a tool to support and expand on classroom instruction, increase learning opportunities, and as a general tool for staff and teachers subject to limitations listed within this policy and any other applicable Board Policies. The district may consider whether the adoption of a particular Open AI tool may have a significant impact on the terms and conditions of employment for its staff, such that the district may be obligated to negotiate the effects with a collective bargaining unit. The district has developed the following guidelines and protocols for employee use of AI:
Use of Artificial Intelligence. The use of generative AI in research has been discussed, and the AUT AI guidelines for PG research has been reviewed. Refer to the Artificial Intelligence section of the AUT Postgraduate Handbook ☐ Yes ☐ No Ethics Approval Will an ethics application be required? Supervisors are required to undertake the ethics application process and are responsible for the application content. ☐ Yes ☐ No Data Management Data refers to any information gained from research participants or through other research activity associated with the thesis. Please refer to Research Data Management for more information. Issues of data access and storage, during and subsequent to the research completion, have been agreed between student and supervisors. ☐ Yes ☐ No The student will have full access to the data generated by their work. ☐ Yes ☐ No The student will ensure that all data are stored appropriately and in accordance with any specifications from relevant ethics committees. ☐ Yes ☐ No Authorship, IP, and Copyright Authorship The student and their supervisors should reach agreement about authorship of any published results of the research. All contributors should be consulted about any planned dissemination in advance. You can view the University’s Co-Authorship Protocol for more information. The inclusion of published work within a thesis is encouraged at AUT. Please see the relevant guidelines for including publications in a thesis in the Postgraduate Handbook. We have both reviewed the University’s Co-Authorship Protocol and have agreed on how we will manage this in publications arising from the thesis. ☐ Yes ☐ No Intellectual Property Intellectual Property (IP) is defined as any discovery, innovation, invention, form, shape, sound, image, expression, technique or process which is the product of skill, effort or intellect.
Use of Artificial Intelligence. Use of Artificial Intelligence: Our Services may incorporate artificial intelligence (AI) technologies to enhance functionality and user experience. By using our Services, you acknowledge and agree that AI may be used to process data, provide recommendations, and improve service performance. You also understand that AI outcomes are based on algorithms and data inputs, which may not always be accurate or error-free. We disclaim any liability for decisions made based on AI-generated outputs. To learn more about Sidekick, Origin’s AI-powered tool, please see here.
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