EU BAM monitors Sample Clauses

EU BAM monitors. Mandate: The current mandate of EUBAM includes monitoring, capacity building, and evaluation of Palestinian performance at the crossing. It does not include the authority to implement law or regulations nor to suspend or shut down the crossing. • Extension: The current term of the EUBAM mandate ends on 25 May 2007. Discussions are currently underway regarding extension of the mandate. The EU has taken a position that unless the crossing is normalized (with the goal of opening the crossing to full operation – i.e. 7 days a week), the member states will not extend its mandate. • Location: Currently, Israel forces the crossing to close by refusing to allow the EU monitors access to Rafah through Kerem Shalom (in contravention of the agreement). EUBAM is currently housed in Ashkelon. As part of the renewal discussions, the EU is evaluating the option of relocating the monitors to Gaza, but is seeking assurances from the Palestinian side as to the safety of the monitors, evacuation procedures, etc.
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EU BAM monitors. Mandate: The current mandate of EUBAM includes monitoring, capacity building, and evaluation of Palestinian performance at the crossing. It does not include the authority to implement law or regulations nor to suspend or shut down the crossing. The only exception to that is when there is a technical malfunction in which case the EUBAM can suspend until the malfunction is fixed.

Related to EU BAM monitors

  • Program Monitoring The Contractor will make all records and documents required under this Agreement as outlined here, in OEC Policies and NHECC Policies available to the SRO or its designee, the SR Fiscal Officer or their designee and the OEC. Scheduled monitoring visits will take place twice a year. The SRO and OEC reserve the right to make unannounced visits.

  • Call monitoring We may occasionally monitor and record calls made to or by us relating to customer services and telemarketing calls made by us, for the purpose of training and improving customer care services, including complaint handling. We and/or our suppliers may also record 999 and 112 calls.

  • Service Monitoring Customer gives express consent for Vodafone to monitor Customer’s use of the Service (and disclose and otherwise use the information obtained) only to: (a) the extent allowed by Applicable Law; (b) comply with Applicable Law; (c) protect the Network from misuse; (d) protect the integrity of the public internet and/or Vodafone’s systems and Networks; (e) the extent necessary to determine if Customer has breached any conditions or restrictions on use of the Service; (f) provide the Service; and/or (g) take other actions agreed or requested by Customer.

  • Contract Monitoring The criminal background checks required by this rule shall be national in scope, and must be conducted at least once every three (3) years. Contractor shall make the criminal background checks required by Paragraph IV.G.1 available for inspection and copying by DRS personnel upon request of DRS.

  • System Monitoring to ensure safe and continuous operation, the Customer must monitor key services and resource use as recommended by Deswik, and provide Deswik with details of monitoring and any relevant alerts as needed. Services to be monitors include, without limitation, disk space, CPU usage, memory usage, database connectivity, and network utilization.

  • Program Monitoring and Evaluation (c) The Recipient shall prepare, or cause to be prepared, and furnish to the Association not later than six months after the Closing Date, a report of such scope and in such detail as the Association shall reasonably request, on the execution of the Program, the performance by the Recipient and the Association of their respective obligations under the Legal Agreements and the accomplishment of the purposes of the Financing.”

  • Quality Monitoring 4.2.1. To prepare a Quality Assurance (QA) Plan

  • Supply Chain Monitoring A copy of the supply chain monitoring process, which should include details of the process for monitoring the financial viability of the supply chain (including timing), together with any known risks to supply chain stability and material changes to the supply chain. This should include extracts from Board level meetings, risk registers etc where any of the above items have been discussed. Annex 1 1 Information from Contractors who are not required to submit form AR01 to Companies House

  • Independent Monitors 8.1 The BUYER has appointed Independent Monitors (hereinafter referred to as Monitors) for this Pact in consultation with the Central Vigilance to as Monitors) for this Pact in consultation with the Central Vigilance Commission (Names and Addresses of the Monitors to be given).

  • Account Monitoring Merchant acknowledges that Servicer will monitor Merchant’s daily deposit activity. Servicer may upon reasonable grounds suspend disbursement of Merchant's funds for any reasonable period of time required to investigate suspicious or unusual deposit activity. Servicer will make good faith efforts to notify Merchant promptly following suspension. Servicer is not liable to Merchant for any loss, either direct or indirect, which Merchant may attribute to any suspension of funds disbursement.

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