CONSTRAINTS ON USE OF DATA. The Office of the Washington State Auditor agrees to strictly limit use of information obtained under this Agreement to the purpose of carrying out our audits, investigations and related statutory responsibilities as described in RCW 43.09.
CONSTRAINTS ON USE OF DATA. 1. Services Provider agrees that the services shall be provided in a manner that does not permit personal identification of parents and students by individuals other than representatives of Services Provider that have legitimate interests in the information.
2. Services Provider will not contact the individuals included in the data sets without obtaining advance written authorization from JCPS.
3. Services Provider shall not re-disclose any individual–level data with or without identifying information to any other requesting individuals, agencies, or organizations without prior written authorization by JCPS.
4. Services Provider shall use the data only for the purpose described in Paragraph
CONSTRAINTS ON USE OF DATA. 4.1. The Data being shared/accessed is owned and belongs to HCA.
4.2. This Contract does not constitute a release of the Data for the Contractor’s discretionary use. Contractor must use the Data received or accessed under this Contract only to carry out the purpose of this Contract. Any analyses, use, or reporting that is not within the Purpose of this Contract is not permitted without HCA’s prior written consent.
4.3. Any disclosure of Data contrary to this Contract is unauthorized and is subject to penalties identified in law.
CONSTRAINTS ON USE OF DATA a. The Data being shared/accessed is owned and belongs to HCA.
b. This Contract does not constitute a release of the Data for the Contractor’s discretionary use. Contractor must use the Data received or accessed under this Contract only to carry out the purpose of this Contract. Any analyses, use, or reporting that is not within the Purpose of this Contract is not permitted without HCA’s and the County’s written consent.
c. Data collected and shared under this Contract includes data protected by 42 C.F.R. Part 2. In accordance with 42 C.F.R. § 2.32, this Data has been disclosed from records protected by federal confidentiality rules (42 C.F.R. Part 2). The federal rules prohibit Receiving Party from making any further disclosure of the Data that identifies a patient as having or having substance use disorder either directly, by reference to publicly available information, or through verification of such identification by another person unless further disclosure is expressly permitted by the written consent of the individual whose information is being disclosed or as otherwise permitted by 42 C.F.R. Part 2. A general authorization for the release of medical or other information is NOT sufficient for this purpose (42 C.F.R. § 2.31). The federal rules restrict any use of the SUD Data to investigate or prosecute with regard to a crime any patient with a substance use disorder, except as provided at 42 C.F.R. § 2.12(c)(5) and §2.65.
d. Any disclosure of Data contrary to this Contract is unauthorized and is subject to penalties identified in law.
CONSTRAINTS ON USE OF DATA. This DSA does not constitute a release of the data to any organization, other than as identified in Article 35, Union Security and the Data Sharing Agreement MOU, for discretionary use, but may be accessed only for the purposes described herein. Any ad hoc analyses or other use of the data, not specified in this DSA, CBA or MOU is not permitted without the prior written agreement of the Employer. The WPEA is not authorized to update or change any data in the employee status reports.
CONSTRAINTS ON USE OF DATA. A. The Data being shared/accessed is owned and belongs to HCA.
B. This Agreement does not constitute a release of the Data for the Contractor’s discretionary use. Contractor must use the Data received or accessed under this Agreement only to carry out the purpose identified in Section 2(1)(a), Data Use
C. Any disclosure of Data contrary to this Agreement is unauthorized and is subject to penalties identified in law.
D. The Contractor must comply with the Minimum Necessary Standard, which means that Contractor will use the least amount of PHI necessary to accomplish the Purpose of this Agreement.
E. Contractor must identify:
CONSTRAINTS ON USE OF DATA. Data supplied by the parties to this Agreement or collected by on behalf of the parties’ students, prospective students, employees or alumni is the property of the parties to this Agreement and shall not be shared with third parties without the written permission of the parties to this Agreement. Data shall not be sold or used, internally or externally, for any purpose not directly related to the scope of work defined in this Agreement without the written permission of the parties to this Agreement.
CONSTRAINTS ON USE OF DATA. 7.1. The Data being shared/accessed is owned and belongs to HCA.
7.2. This DSA does not constitute a release of the Data for the Receiving Party’s discretionary use. Receiving Party must use the Data received or accessed under this DSA only to carry out the purpose and justification of this agreement as set out in sections 2, Purpose of the Data Sharing, and 3, Justification and Authority for Data Sharing. Any analysis, use, or reporting that is not within the Purpose of this DSA is not permitted without HCA’s prior written consent.
7.3. Any disclosure of Data contrary to this DSA is unauthorized and is subject to penalties identified in law.
CONSTRAINTS ON USE OF DATA. 1. Research Organization agrees that the research shall be conducted in a manner that does not permit personal identification of parents and students by individuals other than representatives of Research Organization that have legitimate interests in the information.
2. Research Organization will report only aggregate data and will not report any individual data, nor will data be reported in a manner that permits indirect identification of any individual.
3. Research Organization will not contact the individuals included in the data sets without obtaining advance written authorization from Data Provider.
4. Research Organization shall not re-disclose any individual–level data with or without identifying information to any other requesting individuals, agencies, or organizations without prior written authorization by Data Provider.
5. Research Organization shall use the data only for the purpose described in Paragraph B.1 above. The data shall not be used for personal gain or profit.
CONSTRAINTS ON USE OF DATA. 1. Services Provider agrees that the services shall be provided in a manner that does not permit personal identification of parents and students by individuals other than representatives of Services Provider that have legitimate interests in the information.
2. Services Provider will not contact the individuals included in the data sets without obtaining advance written authorization from JCPS, except that for teachers and administrators who have not opted out of receiving such communications, Zearn may send email communications to teachers and administrators to provide information regarding the contracted services and Service Provider’s products.
3. Services Provider shall not re-disclose any individual–level data with or without identifying information to any other requesting individuals, agencies, or organizations without prior written authorization by JCPS.
4. Services Provider shall use student data only for the purpose described in Paragraph B.1 above. The data shall not be used for personal gain or profit.