Facility Security Plan Sample Clauses

Facility Security Plan. Owner is subject to the requirements found in 33 CFR Part 105, and has developed a facility security plan (“Facility Security Plan” or “FSP”), which will require modification due to the addition of the Stage 2 Liquefaction Facility. Contractor shall assist Owner in the revision of the existing FSP as required, and will structure all training programs for Owner to comply with this FSP. Applicable Contractor personnel shall also be trained to comply with this FSP for the period up to Substantial Completion of Subproject 4.
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Facility Security Plan. Owner is subject to the requirements found in 33 CFR Part 105, and will develop a facility security plan (“Facility Security Plan” or “FSP”), which will require modification due to the addition of the Phase 1
Facility Security Plan. (Addressable) A. First element B. Second element
Facility Security Plan. As part of the contractor’s overall security program, the contractor shall submit a written security plan (in their proposal) to the Contracting Officer to be evaluated by the Technical Evaluation Panel (TEP), which will include a member of BARDA’s Program Protection Office. Performance of work under the BARDA contract will be in accordance with the contractor’s approved security plan. The contractor’s security plan will include the following processes and procedures at a minimum:
Facility Security Plan. As part of the partner facility’s overall security program, they shall submit a written security plan with their proposal to BARDA for review and approval by the BARDA PPO. Performance of work under the BARDA contract will be in accordance with the approved security plan. The security plan will include the following processes and procedures at a minimum: Security Administration Organization and responsibilities; security risk assessment for site; threat levels identification matrix; security procedures during elevated threats; liaison with law enforcement; security education and training Personnel Security Policies and Procedures Candidate recruitment process; background investigations; employment suitability policy; access determination; rules of behavior/ conduct; termination procedures; non-disclosure agreements. Physical Security Policies and Procedures Internal/external access control; protective services; identification/badging; visitor access controls; parking areas and access control; perimeter fencing/barriers; shipping, receiving and transport; security lighting; restricted areas; signage; intrusion detection systems; alarm monitoring/response; closed circuit television; product storage security; other control measures. Information Security Identification of sensitive information; access control; storage of information; document control; retention/ destruction requirements. Information Technology/Cyber Security Policies and Procedures Intrusion detection and prevention systems; threat identification; employee training; encryption systems; identification of sensitive information/media; password policy; removable media policy; laptop policy; access control and determination; system document control; system backup; system disaster recovery; incident response; system audit procedures; property accountability.
Facility Security Plan. GCHD shall establish a plan to safeguard all facilities and equipment from unauthorized physical access, tampering or theft. a. GCHD will employ security personnel, security equipment, appropriate locking mechanisms, and/or alarms to protect all GCHD facilities during non-business hours. b. All employees will wear GCHD issued identification. c. Any sensitive equipment (servers, etc.) will be housed in a secure location and access to such equipment will be restricted to certain authorized personnel. d. Off-site equipment or files will be maintained in a secure location by GCHD or by an approved contractor who will certify that adequate security is maintained. e. Asset tags will be placed on all equipment and a log of all equipment shall be kept and updated quarterly by the department’s designated asset custodian. f. Paper files containing sensitive or confidential information shall be securely retained in file cabinets, rooms, or off-site storage facilities. g. Only authorized maintenance personnel will be allowed to service electronic equipment. h. Appropriate documentation or logging protocols will be completed whenever hardware is transported. i. Only hardware, software and equipment authorized by the Information Technology department shall be used within GCHD facilities. j. Maintenance records on all equipment shall be kept and in accordance with record retention guidelines.
Facility Security Plan. North End acknowledges that the Terminal facilities may be Maritime Transportation Security Act (MTSA)-controlled facilities and therefore may be required to be operated in accordance with a U.S. Coast Guard-approved Facility Security Plan (FSP). North End agrees to fully abide by any/ all applicable security measures that may be required by the FSP and/or any additional security measures required by the USCG Captain of the Port. North End shall be financially responsible for any additional security obligation required at the Terminal facility as a result of its use.
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Facility Security Plan. Owner is subject to the requirements found in 33 C.F.R. Part 105, and is required to develop and submit a Facility Security Plan (“FSP”) to the cognizant Coast Guard Captain of the Port (“COTP”) for review and approval. All submitted security plans will be initially reviewed by a contractor at the National FSP Review Center. Final FSP review and approval will be made by the cognizant COTP. Owner will submit the FSP to the COTP approximately twelve (12) months prior to Ready for Cool Down of the Facility so that adequate time is available for review and revision and for training of personnel. Operator shall assist Owner in the development of this FSP as required. The EPC Contractor will structure all training programs for Owner to comply with the FSP. O&M Employees shall be trained to comply with the FSP.
Facility Security Plan. Owner is subject to the requirements found in 33 CFR Part 105, and is required to develop and submit a Facility security plan (“Facility Security Plan” or “FSP”) to the cognizant U.S. Coast Guard Captain of the Port (“COTP”) for review and approval. All submitted security plans will be initially reviewed by a contractor at the National FSP Review Center. Final FSP review and approval will be made by the cognizant COTP. Owner will submit the FSP to the COTP approximately 12 months prior to Ready for Cool Down of the Facility so that adequate time is available for review and revision and for training of personnel. Contractor shall assist Owner in the development of this FSP as required, and will structure all training programs for Owner to comply with this FSP. Applicable Contractor personnel shall also be trained to comply with this FSP for the period up to Substantial Completion.
Facility Security Plan. The Company will safeguard the Company and its equipment from unauthorized physical Access, tampering and theft, using, among other things, appropriate physical security safeguards.
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