Data Gathering. PROVIDER will cooperate with COUNTY and other providers to define common data elements to be reported to COUNTY to assist in developing baseline data about program delivery, efficiency, and effectiveness.
Data Gathering. A. Student evaluations shall be conducted in a manner that protects student anonymity and employee confidentiality. Such protection, as a minimum, shall include third party collection of completed evaluations. The information will be typed before it is shared to ensure confidentiality.
B. To assist the professional development of the adjunct instructor, the supervising administrator will consult with the department chair, and director or professional partner as appropriate, to review the student data and offer input to the supervising administrator prior to their sharing the information with the adjunct academic employee. The information will be shared by the end of the second week of instruction of the following quarter.
C. The original data will be placed in locked confidential files with access limited to the appropriate administrators. Academic employees may inspect their individual files.
D. As a result of this review, the appropriate supervising administrator may request a conference between the administrator and the employee to discuss the results. Conferences for adjunct academic employees with the appropriate supervising administrator may be held at the request of either party.
Data Gathering. During the last three weeks prior to the final examination week of the quarter, the eLearning staff will place electronic district evaluation forms into the appropriate courses within the learning management system. Student evaluations will be conducted in a manner that protects student anonymity and employee confidentiality. The appropriate supervising administrator shall have access to the student data prior to returning the processed forms to the academic employee by the end of the second week of instruction of the following quarter. The summary data will be stored in a secure location with access limited to the appropriate administrators. Academic employees may inspect their individual files.
Data Gathering. The information contained in the evaluation should be based on (observed &) documented behaviors. The evaluator or administrator must gather data via visits to the school, over an extended period, observing a variety of situations, i.e., student, staff, parent interactions, a review of various procedural aspects of the school’s operation, and so on.
Data Gathering. Where the Services require Comply Direct to gather data on behalf of the Client for any purpose, including submission to HMRC, the Environment Agency, the Northern Ireland Environment Agency, Companies House, The Conduct Committee of the Financial Reporting Council, DEFRA or another authority, Comply Direct is not responsible for verifying such data or identifying or recognising errors in such data. For clarity, this does not affect Comply Direct's responsibility for any errors introduced by any calculation, packaging or operation which Comply Direct performs on such data.
Data Gathering. During the last three weeks prior to the final examination week of the quarter, the academic employee shall initiate the completion and collection of the district evaluation form from all classes taught during the quarter. Student evaluations will be conducted in a manner that protects student anonymity and employee confidentiality. The appropriate supervising administrator shall have access to the student data prior to returning the processed forms to the academic employee by the end of the second week of instruction of the following quarter. The summary data will be placed in locked confidential files in the Office of Instruction with access limited to the appropriate administrators. Academic employees may inspect their individual files.
Data Gathering. As soon as reasonably practicable on or after the Effective Date, the Local Authority will transfer to Uisce Éireann all updates to the data requested, created between the data transfer date and the Effective Date.
Data Gathering. Where the Services require Beyondly to gather data on behalf of the Client for any purpose, including submission to HMRC, the Environment Agency, the Northern Ireland Environment Agency, Companies House, The Con- duct Committee of the Financial Reporting Council, DEFRA or another authority, Beyondly is not responsible for verifying such data or identifying or recognising errors in such data. For clarity, this does not affect Beyondly’s responsibility for any errors introduced by any calculation, packaging or operation which Beyondly performs on such data.
Data Gathering. Project scoping documentation
2.1 Kick-Off Meeting (1) 2.2 Early Coordination for Environmental Document
Data Gathering. After the key Stakeholders are identified, we will develop a set of questions and discussion topics that will be used as a foundation at the first Stakeholder meeting. The questionnaire will serve to capture concerns, issues, interests, objectives, and willingness to participate. The questionnaire will be administered in the form of a mail survey as well as in HTML format for posting on the County’s web page. After the questionnaires are returned, follow-up focus group interviews with like-minded Stakeholders will be conducted to establish a baseline of knowledge on the project and identify common interests and potential concerns. It is important to document their attitudes, perceptions, interest in participation, communication channels, and level of knowledge on the water resource management issues.