Additional Permissible Use Sample Clauses
Additional Permissible Use. This section sets forth additional permissible uses that apply to many, but not all, Use Cases. Each Exhibit specifically identifies which of the below additional permissible uses do not apply to that Use Case in the corresponding section 4.2 of the Exhibit.
4.2.1. TPO. Message Content may be used by Health Providers for Treatment, Payment and/or Healthcare Operations consistent with the requirements set forth in HIPAA;
Additional Permissible Use. The following sections of the MUCA are not permissible uses under this Exhibit: 4.2.5 (“Archiving”), 4.2.7 (“Pilot Activities”).
Additional Permissible Use. The following uses of the data from the customer are permissible unless otherwise specified in the Exhibit:
4.2.1 HIN may use Message Content for any other Use Cases that require use of the Message Content.
Additional Permissible Use. During the term of this Pilot Activity there is no additional permissible use of the Message Content by Participant Organization or PO Participant(s). Additional permissible use, if mutually agreed in writing by the Parties, may be specified during the term of the Pilot Activity.
Additional Permissible Use. The Parties may make additional use of the Message Content, provided that such additional use is consistent with Applicable Laws and Standards, as defined in Section 1.1 of the Data Sharing Agreement, including, without limitation, the Platform Requirements, to the extent such requirements are applicable to a Party, and provided that NJHIN and the Parties reach written agreement to any such additional use. This Use Case Agreement prohibits non-NJHIN Participating Organizations from storing or persisting copies of Message Content longer than the period necessary to successfully transmit the information to the healthcare provider or consumer. A person’s immunization history/forecast retrieved via this Use Case Agreement is accurate only at the time of the query and is considered obsolete after the query transaction is completed. The state immunization registry is to be considered the primary record of immunization data and all queries for immunization history should be made via HIN.
