Customer Proprietary Network Information (CPNI). 8.4.1 QuantumShift will not access CenturyLink’s pre-order functions to view CPNI of another carrier’s customer unless QuantumShift has obtained an authorization for release of CPNI from the customer. QuantumShift will not be required to provide CenturyLink with individual written Letter(s) of Authorization prior to accessing CPNI information but will be required to provide and operate under a Blanket Letter of Authorization that includes appropriate certifications and restrictions as to the ability to access and use CPNI consistent with applicable law.
8.4.2 QuantumShift must maintain records of individual End User Customers’ authorizations for change in local Telephone Exchange Service and/or release of CPNI, which adhere to all requirements of State and federal law.
8.4.3 QuantumShift is solely responsible for determining whether proper authorization has been obtained. QuantumShift shall indemnify, defend, and hold CenturyLink and other applicable indemnified persons harmless pursuant to Article III, Section 30 from any Claim arising out of or relating to QuantumShift’s failure to obtain proper CPNI consent from a customer.
8.4.4 QuantumShift understand that any OSS access to obtain CPNI that is made without prior customer permission to access the information or for QuantumShift to become the customer’s service provider shall be both a violation of Applicable Law and a material breach of this agreement. QuantumShift agrees to provide proof of customer permission retained pursuant to Section 8.4.2 if a CenturyLink audit pursuant to Section 8.3 shows evidence of possible violation of Section 8.4.1 and Applicable Law.
Customer Proprietary Network Information (CPNI). 8.4.1 BullsEye will not access CenturyLink’s pre-order functions to view CPNI of another xxxxxxx’s customer unless XxxxxXxx has obtained an authorization for release of CPNI from the customer. BullsEye will not be required to provide CenturyLink with individual written Letter(s) of Authorization prior to accessing CPNI information but will be required to provide and operate under a Blanket Letter of Authorization that includes appropriate certifications and restrictions as to the ability to access and use CPNI consistent with applicable law. The template for a valid Blanket Letter of Authorization can be found in the CenturyLink Service Guide.
Customer Proprietary Network Information (CPNI). 8.4.1 Charter will not access CenturyTel’s pre-order functions to view CPNI of another xxxxxxx’s customer unless Xxxxxxx has obtained an authorization for release of CPNI from the customer. Consistent with Section 29 of Article III, Charter will not be required to provide CenturyTel with individual written Letter(s) of Authorization prior to accessing CPNI information but will be required to provide and operate under a Blanket Letter of Authorization that includes appropriate certifications and restrictions as to the ability to access and use CPNI consistent with applicable law.
8.4.2 Charter must maintain records of individual End User Customers’ authorizations for change in local Telephone Exchange Service and/or release of CPNI, which adhere to all requirements of State and federal law.
8.4.3 Charter is solely responsible for determining whether proper authorization has been obtained. To the extent required by Article III, Section 30, Charter shall indemnify, defend, and hold CenturyTel and other applicable indemnified persons harmless from any Claim arising out of or relating to Xxxxxxx’s failure to obtain proper CPNI consent from a customer.
8.4.4 [Intentionally left blank]
Customer Proprietary Network Information (CPNI). Under federal law, Customer has a right, and Cincinnati Xxxx Inc. ("Cincinnati Xxxx") has a duty, to protect the confidentiality of information regarding the telecommunications services Customer buys from Cincinnati Xxxx, including the amount, type, and destination of Customer's service usage; the way Cincinnati Xxxx provides services to Customer; and Customer's calling and billing records (together, this confidential information is described as Customer Propriety Network Information (CPNI)). Customer hereby consents to Cincinnati Xxxx sharing its CPNI with Cincinnati Xxxx affiliates, subsidiaries and any other current or future direct or indirect subsidiaries of the Cincinnati Xxxx parent company, as well as Cincinnati Xxxx agents and authorized sales representatives, to develop or bring new products or services to Customer's attention. This consent survives the termination of services provided to Customer and is valid until Customer affirmatively revokes or limits such consent.
Customer Proprietary Network Information (CPNI). 8.4.1 VCom will not access CenturyLink’s pre-order functions to view CPNI of another carrier’s customer unless VCom has obtained an authorization for release of CPNI from the customer. VCom will not be required to provide CenturyLink with individual written Letter(s) of Authorization prior to accessing CPNI information but will be required to provide and operate under a Blanket Letter of Authorization that includes appropriate certifications and restrictions as to the ability to access and use CPNI consistent with applicable law.
8.4.2 VCom must maintain records of individual End User Customers’ authorizations for change in local Telephone Exchange Service and/or release of CPNI, which adhere to all requirements of State and federal law.
8.4.3 VCom is solely responsible for determining whether proper authorization has been obtained. VCom shall indemnify, defend, and hold CenturyLink and other applicable indemnified persons harmless pursuant to Article III, Section 30 from any Claim arising out of or relating to VCom ’s failure to obtain proper CPNI consent from a customer.
8.4.4 VCom understand that any OSS access to obtain CPNI that is made without prior customer permission to access the information or for VCom to become the customer’s service provider shall be both a violation of Applicable Law and a material breach of this agreement. VCom agrees to provide proof of customer permission retained pursuant to Section 8.4.2 if a CenturyLink audit pursuant to Section 8.3 shows evidence of possible violation of Section 8.4.1 and Applicable Law.
Customer Proprietary Network Information (CPNI). 8.4.1 MetTel will not access CenturyTel's pre-order functions to view CPNI of another xxxxxxx's customer unless XxxXxx has obtained an authorization for release of CPNI from the customer. MetTel will not be required to provide CenturyTel with individual written Letter(s) of Authorization prior to accessing CPNI information but will be required to provide and operate under a Blanket Letter of Authorization that includes appropriate certifications and restrictions as to the ability to access and use CPNI consistent with applicable law. The template for a valid Blanket Letter of Authorization can be found in the CenturyTel Service Guide.
8.4.2 MetTel must maintain records of individual End User Customers' authorizations for change in local Telephone Exchange Service and/or release of CPNI, which adhere to all requirements of State and federal law.
8.4.3 MetTel is solely responsible for determining whether proper authorization has been obtained. MetTel shall indemnify, defend, and hold CenturyTel" and other applicable indemnified persons harmless pursuant to Article III, Section 30 from any Claim arising out of or relating to XxxXxx'x failure to obtain proper CPNI consent from a customer.
8.4.4 MetTel understand that any OSS access to obtain CPNI that is made without prior customer permission to access the information or for MetTel to become the customer's service provider shall be both a violation of Applicable Law and a material breach of this agreement. MetTel agrees to provide proof of customer permission retained pursuant to Section 8.4.2 if a CenturyTel audit pursuant to Section 8.3 shows evidence of possible violation of Section 8.4.1 and Applicable Law. Date Validation Files.
8.5.1 Upon request, CenturyTel will provide MetTel with any of the following Data Validation Files via, at CenturyTel's option, CD-ROM, downloadable, email, or other electronic format:
8.5.1.1 SAG (Street Address Guide)
8.5.1.2 Feature/Service Availability by Switch 8.5.1.3 Directory Names
Customer Proprietary Network Information (CPNI). 8.4.1 TWCIS (AL) will not access CenturyLink’s pre-order functions to view CPNI of another carrier’s customer unless TWCIS (AL) or its Customer has obtained an authorization for the release of CPNI. Consistent with Section 29 of Article III, TWCIS (AL) will not be required to provide CenturyLink with individual written Letter(s) of Authorization prior to accessing CPNI information but will be required to provide and operate under a Blanket Letter of Authorization that includes appropriate certifications and restrictions as to the ability to access and use CPNI consistent with Applicable Law.
8.4.2 CenturyLink and TWCIS (AL) or TWCIS (AL)’s Customer(s) must maintain records of individual customers’ authorizations for change in local Telephone Exchange Service and/or release of CPNI, which adhere to all requirements of State and federal law.
Customer Proprietary Network Information (CPNI). BT will comply with laws and regulations
Customer Proprietary Network Information (CPNI). Customer Proprietary Network Information" or "CPNI" shall have the meaning set forth in 47 U.S.C. § 222.
Customer Proprietary Network Information (CPNI). Under U.S. law, Customer has a right and CBTS has a duty to protect the confidentiality of information regarding the telecommunications services Customer buys from CBTS, including the amount, type, and destination of Customer's service usage; the way CBTS provides services to Customer; and Customer's calling and billing records (collectively, "Customer Propriety Network Information" or "CPNI"). Customer hereby consents to CBTS sharing its CPNI with the CBTS Legal Entities, as well as CBTS agents and authorized sales representatives, to develop or bring new products or services to Customer's attention; Customer further agrees that the foregoing parties may communicate these new products and services via email. This consent survives the termination of Services provided to Customer and is valid until Customer affirmatively revokes or limits such consent. In addition, CBTS may monitor Customer’s use of the Services as required for legal or regulatory purposes or as required to provide the Services.