Data Sharing and Privacy. The Practice authorizes the CTO to have access to all clinical data available in the electronic medical records or shared through the State-Designated Health Information Exchange (“HIE”), including personal health information, of MDPCP Beneficiaries attributed to the Practice. The Practice authorizes the CTO to have access via CRISP to quality and utilization reports available to the Practice. The CTO will include a Business Associate Agreement (“BAA”) for the Practice to approve. The BAA will govern their data sharing, use, and confidentiality, a copy of which is in Appendix B. Each Party will comply with HIE policies and regulations, including patient education requirements, and will execute any separate agreement that may be required by CRISP.
Data Sharing and Privacy. The FQHC authorizes the CTO to have access to all clinical data available in the electronic medical records or shared through the State-Designated Health Information Exchange (“HIE”), including personal health information, of MDPCP Beneficiaries attributed to the FQHC. The FQHC authorizes the CTO to have access via CRISP to quality and utilization reports available to the FQHC. The CTO will include a Business Associate Agreement (“BAA”) for the FQHC to approve. The BAA will govern their data sharing, use, and confidentiality, a copy of which is in Appendix C. Each Party will comply with HIE policies and regulations, including patient education requirements, and will execute any separate agreement that may be required by CRISP.
Data Sharing and Privacy. OP-SII participants’ data will be shared with a number of stakeholders for reporting, verification, evaluation, research and service improvement. A privacy information sheet will be provided to OP-SII providers for distribution among participants. This sheet includes information on what information is being collected and why. A consent form will also be provided to OP-SII providers which must be signed by participants and a copy must be returned to DCJ. By signing this form, participants authorise the collection, use and sharing of their personal information for reasons outlined in the privacy information sheet. Participants must be given a copy of privacy information sheet and consent form to keep.
Data Sharing and Privacy. The Owner/Manager agrees to allow the RCD to provide information collected in the Work Area to permitting agencies and funding agencies as required. This includes general descriptions and photographs of project progress, maps and acreages of treated areas, results of water quality testing, and lists of plant and animal species discovered during surveys and monitoring. The RCD will not divulge landowner and/or Owner/Manager names, addresses, or APNs when reporting this information. The RCD will not report any information outside the scope of the Project, including observations, maps, photographs, or video of cultivated land and farming operations, except as otherwise required by law.
Data Sharing and Privacy. 1. Data to be Shared: The following types of student data will be shared under this MOU: • Student Demographic Information, for example, but not limited to: o Name o Address o Unique Student ID o Grade level o Interdistrict Status o Language Preference • Parent/Guardian Demographic Information, for example, but not limited to: o Name o Address o Mobile Phone o Language Preference
Data Sharing and Privacy. 17.1 When sharing data about the student, the institution and the organization that provides work experience will observe the General Data Protection Regulation (in Dutch: Algemene Verordening Gegevensbescherming) and other regulations with regard to privacy. This includes that they will carefully handle the student’s personal data and that they will be transparent about such use towards the participant. The institution’s privacy regulations state that the participant’s data may be provided to the organization that provides work experience based on a statutory obligation, or, as the case may be, following consent by the participant.
Data Sharing and Privacy. 17.1 The student is entitled access to his/her personal student file, and more specifically, to all data processed by the institution regarding BPV.
17.2 When sharing data about the student, Xxxxx and the organization that provides work experience will observe the General Data Protection Regulation (in Dutch: Algemene Verordening Gegevensbescherming (AVG)) and other regulations with regard to privacy. This includes that they will carefully handle the student’s personal data and that they will be transparent about such use towards the student. The institution’s privacy regulations state that the student’s data may be provided to the organization that provides work experience based on a statutory obligation, or, as the case may be, following consent by the student.
Data Sharing and Privacy. 11.1 The student has the right to inspect his or her own student file and more in particular the BPV data processed by the educational institution.
11.2 When exchanging information about the student, the educational institution and the training company observes the Personal Data Protection Act. This means, among other things, that they handle the student's personal data with care and that they are transparent about it are towards the student. It is included in the privacy regulations of the educational institution which data of the student is provided to the work placement company under which conditions and when the student's permission is required.
Data Sharing and Privacy. 11.1. The student has the right to inspect his own student file and, more specifically, the WBL data processed by the educational institute.
11.2. When sharing data about the student, the educational institute and the work-placement company shall observe the General Data Protection Regulation (GDPR). This means, among other things, that the student's personal data is handled in a careful, secure and confidential manner and that they are transparent about this in respect of the student.
11.3. The educational institute's privacy regulations specify which student data will be provided to the work-placement company as well as the conditions and when the student's consent is required.
11.4. If the student follows the vocational training pathway (BBL), the student agrees that the work-placement company is entitled to inspect the student's results statement and attendance records in the student-tracking system.
Data Sharing and Privacy