Common use of GENERAL OFFER OF TERMS Clause in Contracts

GENERAL OFFER OF TERMS. Provider may, by signing the attached Form of General Offer of Privacy Terms (General Offer, attached hereto as Exhibit “E”), be bound by the terms of this to any other school district who signs the acceptance in said Exhibit. [Signature Page Follows] Xxxxx X. Xxxxxxx (Jun 8, 2020 12:46 EDT) Xxxxx X. Xxxxxxx Director of Technology E XHIBIT “A” 1166732v1 E XHIBIT “C” removes or obscures any Personally Identifiable Information (“PII”) from student records in a way that removes or minimizes the risk of disclosure of the identity of the individual and information about them. The Provider’s specific steps to de-identify the data will depend on the circumstances, but should be appropriate to protect students. Some potential disclosure limitation methods are blurring, masking, and perturbation. De-identification should ensure that any information when put together cannot indirectly identify the student, not only from the viewpoint of the public, but also from the vantage of those who are familiar with the individual. 800-63-3 Digital Authentication Guideline. gathered by Provider or provided by LEA or its users, students, or students’ parents/guardians. PII includes, without limitation, at least the following: First Name Home Address Last Name Subject Telephone Number Email Address Discipline Records Test Results Special Education Data Juvenile Dependency Records Grades Evaluations Criminal Records Medical Records Health Records Social Security Number Biometric Information Disabilities Socioeconomic Information Food Purchases Political Affiliations Religious Information Text Messages Documents Student Identifiers Search Activity Photos Voice Recordings Videos Date of Birth Grade Classes Place of birth Social Media Address Unique pupil identifier Credit card account number, insurance account number, and financial services account number Name of the student's parents or other family members General Categories:

Appears in 2 contracts

Samples: Student Data Privacy Agreement, Student Data Privacy Agreement

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GENERAL OFFER OF TERMS. Provider may, by signing the attached Form of General Offer of Privacy Terms (General Offer, attached hereto as Exhibit “E”), be bound by the terms of this to any other school district who signs the acceptance in said Exhibit. [Signature Page Follows] Xxxxx X. Xxxxxxx Xxxxxx Xxxxxx (Jun 8May 25, 2020 12:46 20:28 EDT) Xxxxx X. Xxxxxxx May 25, 2020 Xxxxxx Xxxxxx Director of Technology E XHIBIT “A” 1166732v1 E XHIBIT “C” Enriching Students School Scheduling Software, a Response to Intervention (RTI) tool for scheduling middle and high school students for regular RTI sessions 1182185v1 De-Identifiable Information (DII): De-Identification refers to the process by which the Vendor removes or obscures any Personally Identifiable Information (“PII”) from student records in a way that removes or minimizes the risk of disclosure of the identity of the individual and information about them. The Provider’s specific steps to de-identify the data will depend on the circumstances, but should be appropriate to protect students. Some potential disclosure limitation methods are blurring, masking, and perturbation. De-identification should ensure that any information when put together cannot indirectly identify the student, not only from the viewpoint of the public, but also from the vantage of those who are familiar with the individual. 800Information cannot be de-63-3 Digital Authentication Guidelineidentified if there are fewer than twenty (20) students in the samples of a particular field or category, i.e., twenty students in a particular grade or less than twenty students with a particular disability. gathered by Provider or provided by LEA or its users, students, or students’ parents/guardians. PII includes, without limitation, at least the following: First Name Home Address Last Name Subject Telephone Number Email Address Discipline Records Test Results Special Education Data Juvenile Dependency Records Grades Evaluations Criminal Records Medical Records Health Records Social Security Number Biometric Information Disabilities Socioeconomic Information Food Purchases Political Affiliations Religious Information Text Messages Documents Student Identifiers Search Activity Photos Voice Recordings Videos Date of Birth Grade Classes Place of birth Social Media Address Unique pupil identifier Credit card account number, insurance account number, and financial services account number Name of the student's parents or other family members General Categories:

Appears in 1 contract

Samples: Rhode Island Student Data Privacy Agreement

GENERAL OFFER OF TERMS. Provider may, by signing the attached Form of General Offer of Privacy Terms (General Offer, attached hereto as Exhibit “E”), be bound by the terms of this to any other school district who signs the acceptance in said Exhibit. [Signature Page Follows] Xxxxx X. Xxxxxxx Xxxxxxxx Xxxxxx (Jun 8Jul 21, 2020 12:46 05:30 EDT) Xxxxx X. Xxxxxxx Jul 21, 2020 Xxxxxxxx Xxxxxx Technology Director of Technology E XHIBIT “A” 1166732v1 E XHIBIT “C” De-Identifiable Information (DII): De-Identification refers to the process by which the Vendor removes or obscures any Personally Identifiable Information (“PII”) from student records in a way that removes or minimizes the risk of disclosure of the identity of the individual and information about them. The Provider’s specific steps to de-identify the data will depend on the circumstances, but should be appropriate to protect students. Some potential disclosure limitation methods are blurring, masking, and perturbation. De-identification should ensure that any information when put together cannot indirectly identify the student, not only from the viewpoint of the public, but also from the vantage of those who are familiar with the individual. 800Information cannot be de-63-3 Digital Authentication Guidelineidentified if there are fewer than twenty (20) students in the samples of a particular field or category, i.e., twenty students in a particular grade or less than twenty students with a particular disability. gathered by Provider or provided by LEA or its users, students, or students’ parents/guardians. PII includes, without limitation, at least the following: First Name Home Address Last Name Subject Telephone Number Email Address Discipline Records Test Results Special Education Data Juvenile Dependency Records Grades Evaluations Criminal Records Medical Records Health Records Social Security Number Biometric Information Disabilities Socioeconomic Information Food Purchases Political Affiliations Religious Information Text Messages Documents Student Identifiers Search Activity Photos Voice Recordings Videos Date of Birth Grade Classes Place of birth Social Media Address Unique pupil identifier Credit card account number, insurance account number, and financial services account number Name of the student's parents or other family members General Categories:

Appears in 1 contract

Samples: Rhode Island Student Data Privacy Agreement

GENERAL OFFER OF TERMS. Provider may, by signing the attached Form of General Offer of Privacy Terms (General Offer, attached hereto as Exhibit “E”), be bound by the terms of this to any other school district who signs the acceptance in said Exhibit. [Signature Page Follows] Xxxxx X. Xxxxxxx Xxxxxx (Jun 8Dec 2, 2020 12:46 EDT2019) Xxxxx X. Xxxxxxx Xxxxxx 12/2/19 Director of Technology Digital Learning E XHIBIT “A” 1166732v1 1081011v1 Category of Data Elements Check if used by your system Transportation Student bus assignment Student pick up and/or drop off location Student bus card ID number Category of Data Elements Check if used by your system Other transportation data - Please specify: Other Please list each additional data element used, stored or collected by your application E XHIBIT “C” De-Identifiable Information (DII): De-Identification refers to the process by which the Vendor removes or obscures any Personally Identifiable Information (“PII”) from student records in a way that removes or minimizes the risk of disclosure of the identity of the individual and information about them. The Provider’s specific steps to de-identify the data will depend on the circumstances, but should be appropriate to protect students. Some potential disclosure limitation methods are blurring, masking, and perturbation. De-De- identification should ensure that any information when put together cannot indirectly identify the student, not only from the viewpoint of the public, but also from the vantage of those who are familiar with the individual. 800Information cannot be de-63-3 Digital Authentication Guidelineidentified if there are fewer than twenty (20) students in the samples of a particular field or category, i.e., twenty students in a particular grade or less than twenty students with a particular disability. gathered by Provider or provided by LEA or its users, students, or students’ parents/guardians. PII includes, without limitation, at least the following: First Name Home Address Last Name Subject Telephone Number Email Address Discipline Records Test Results Special Education Data Juvenile Dependency Records Grades Evaluations Criminal Records Medical Records Health Records Social Security Number Biometric Information Disabilities Socioeconomic Information Food Purchases Political Affiliations Religious Information Text Messages Documents Student Identifiers Search Activity Photos Voice Recordings Videos Date of Birth Grade Classes Place of birth Social Media Address Unique pupil identifier Credit card account number, insurance account number, and financial services account number Name of the student's parents or other family members General Categories:

Appears in 1 contract

Samples: Student Data Privacy Agreement

GENERAL OFFER OF TERMS. Provider may, by signing the attached Form of General Offer of Privacy Terms (General Offer, attached hereto as Exhibit “E”), be bound by the terms of this to any other school district who signs the acceptance in said Exhibit. [Signature Page Follows] Xxxxx X. Xxxxxxx Xxxxxxxx (Jun 8Nov 21, 2020 12:46 EDT2019) Xxxxx X. 11/21/19 Xxxxxxx Director of Technology Xxxxxxxx Assistant Superintendent for Teaching & Learning E XHIBIT “A” 1166732v1 1081011v1 E XHIBIT “C” removes or obscures any Personally Identifiable Information (“PII”) from student records in a way that removes or minimizes the risk of disclosure of the identity of the individual and information about them. The Provider’s specific steps to de-identify the data will depend on the circumstances, but should be appropriate to protect students. Some potential disclosure limitation methods are blurring, masking, and perturbation. De-identification should ensure that any information when put together cannot indirectly identify the student, not only from the viewpoint of the public, but also from the vantage of those who are familiar with the individual. 800Information cannot be de-63-3 Digital Authentication Guidelineidentified if there are fewer than twenty (20) students in the samples of a particular field or category, i.e., twenty students in a particular grade or less than twenty students with a particular disability. gathered by Provider or provided by LEA or its users, students, or students’ parents/guardians. PII includes, without limitation, at least the following: First Name Home Address Last Name Subject Telephone Number Email Address Discipline Records Test Results Special Education Data Juvenile Dependency Records Grades Evaluations Criminal Records Medical Records Health Records Social Security Number Biometric Information Disabilities Socioeconomic Information Food Purchases Political Affiliations Religious Information Text Messages Documents Student Identifiers Search Activity Photos Voice Recordings Videos Date of Birth Grade Classes Place of birth Social Media Address Unique pupil identifier Credit card account number, insurance account number, and financial services account number Name of the student's parents or other family members General Categories:

Appears in 1 contract

Samples: Student Data Privacy Agreement

GENERAL OFFER OF TERMS. Provider may, by signing the attached Form of General Offer of Privacy Terms (General Offer, attached hereto as Exhibit “E”), be bound by the terms of this to any other school district who signs the acceptance in said Exhibit. [Signature Page Follows] Xxxxx X. Xxxxxxx Xxxxxx XxXxxx (Jun 8Feb 25, 2020 12:46 EDT2020) Xxxxx X. Xxxxxxx 2/25/2020 Xxxxxx XxXxxx Director of Technology Xxxxxx X. Xxxxx Owner E XHIBIT “A” Photography services. For the avoidance of doubt, this DPA does not apply to, and Student Data does not include (a) information collected from customers who opt to purchase products directly from Provider and/or establish a Provider family account; or (b) Provider photographs sold to such customers. In all cases, Provider is and remains the copyright owner of its photographic images. 1166732v1 X X X X X X Category of Data Elements Check if used by your system Other student work data - Please specify: Transcript Student course grades Student course data Student course grades/performance scores Other transcript data -Please specify: Category of Data Elements Check if used by your system Transportation Student bus assignment Student pick up and/or drop off location Student bus card ID number Other transportation data - Please specify: Other Please list each additional data element used, stored or collected by your application E XHIBIT “C” removes or obscures any Personally Identifiable Information (“PII”) from student records in a way that removes or minimizes the risk of disclosure of the identity of the individual and information about them. The Provider’s specific steps to de-identify the data will depend on the circumstances, but should be appropriate to protect students. Some potential disclosure limitation methods are blurring, masking, and perturbation. De-identification should ensure that any information when put together cannot indirectly identify the student, not only from the viewpoint of the public, but also from the vantage of those who are familiar with the individual. 800-63-3 Digital Authentication Guideline. gathered by Provider or provided by LEA or its users, students, or students’ parents/guardians. PII includes, without limitation, at least the following: First Name Home Address Last Name Subject Telephone Number Email Address Discipline Records Test Results Special Education Data Juvenile Dependency Records Grades Evaluations Criminal Records Medical Records Health Records Social Security Number Biometric Information Disabilities Socioeconomic Information Food Purchases Political Affiliations Religious Information Text Messages Documents Student Identifiers Search Activity Photos Voice Recordings Videos Date of Birth Grade Classes Place of birth Social Media Address Unique pupil identifier Credit card account number, insurance account number, and financial services account number Name of the student's parents or other family members General Categories:

Appears in 1 contract

Samples: Student Data Privacy Agreement

GENERAL OFFER OF TERMS. Provider may, by signing the attached Form of General Offer of Privacy Terms (General Offer, attached hereto as Exhibit “E”), be bound by the terms of this to any other school district who signs the acceptance in said Exhibit. [Signature Page Follows] Xxxxx Xxxx X. Xxxxxxx (Jun 89, 2020 12:46 12:34 EDT) Xxxxx Xxxx X. Xxxxxxx Director 6/9/2020 Superintendent of Technology Schools E XHIBIT “A” 1166732v1 1081011v1 E XHIBIT “C” removes or obscures any Personally Identifiable Information (“PII”) from student records in a way that removes or minimizes the risk of disclosure of the identity of the individual and information about them. The Provider’s specific steps to de-identify the data will depend on the circumstances, but should be appropriate to protect students. Some potential disclosure limitation methods are blurring, masking, and perturbation. De-identification should ensure that any information when put together cannot indirectly identify the student, not only from the viewpoint of the public, but also from the vantage of those who are familiar with the individual. 800Information cannot be de-63-3 Digital Authentication Guidelineidentified if there are fewer than twenty (20) students in the samples of a particular field or category, i.e., twenty students in a particular grade or less than twenty students with a particular disability. gathered by Provider or provided by LEA or its users, students, or students’ parents/guardians. PII includes, without limitation, at least the following: First Name Home Address Last Name Subject Telephone Number Email Address Discipline Records Test Results Special Education Data Juvenile Dependency Records Grades Evaluations Criminal Records Medical Records Health Records Social Security Number Biometric Information Disabilities Socioeconomic Information Food Purchases Political Affiliations Religious Information Text Messages Documents Student Identifiers Search Activity Photos Voice Recordings Videos Date of Birth Grade Classes Place of birth Social Media Address Unique pupil identifier Credit card account number, insurance account number, and financial services account number Name of the student's parents or other family members General Categories:

Appears in 1 contract

Samples: Student Data Privacy Agreement

GENERAL OFFER OF TERMS. Provider may, by signing the attached Form of General Offer of Privacy Terms (General Offer, attached hereto as Exhibit “E”), be bound by the terms of this to any other school district who signs the acceptance in said Exhibit. [Signature Page Follows] Xxxxxxx X. Xxxxx (Apr 28, 2020) 4-28-2020 Xxxxxxx X. Xxxxxxx (Jun 8, 2020 12:46 EDT) Xxxxx X. Xxxxxxx Director of Technology Superintendent E XHIBIT “A” 1166732v1 1081011v1 E XHIBIT “C” removes or obscures any Personally Identifiable Information (“PII”) from student records in a way that removes or minimizes the risk of disclosure of the identity of the individual and information about them. The Provider’s specific steps to de-identify the data will depend on the circumstances, but should be appropriate to protect students. Some potential disclosure limitation methods are blurring, masking, and perturbation. De-identification should ensure that any information when put together cannot indirectly identify the student, not only from the viewpoint of the public, but also from the vantage of those who are familiar with the individual. 800Information cannot be de-63-3 Digital Authentication Guidelineidentified if there are fewer than twenty (20) students in the samples of a particular field or category, i.e., twenty students in a particular grade or less than twenty students with a particular disability. gathered by Provider or provided by LEA or its users, students, or students’ parents/guardians. PII includes, without limitation, at least the following: First Name Home Address Last Name Subject Telephone Number Email Address Discipline Records Test Results Special Education Data Juvenile Dependency Records Grades Evaluations Criminal Records Medical Records Health Records Social Security Number Biometric Information Disabilities Socioeconomic Information Food Purchases Political Affiliations Religious Information Text Messages Documents Student Identifiers Search Activity Photos Voice Recordings Videos Date of Birth Grade Classes Place of birth Social Media Address Unique pupil identifier Credit card account number, insurance account number, and financial services account number Name of the student's parents or other family members General Categories:

Appears in 1 contract

Samples: Student Data Privacy Agreement

GENERAL OFFER OF TERMS. Provider may, by signing the attached Form of General Offer of Privacy Terms (General Offer, attached hereto as Exhibit “E”), be bound by the terms of this to any other school district who signs the acceptance in said Exhibit. [Signature Page Follows] Xxxxx X. Xxxxxxx Xxxxxx (Jun 8Jan 29, 2020 12:46 EDT2020) 01/29/20 Xxxxx X. Xxxxxxx Xxxxxx Director of Technology Digital Learning E XHIBIT “A” 1166732v1 1081011v1 E XHIBIT “C” De-Identifiable Information (DII): De-Identification refers to the process by which the Vendor removes or obscures any Personally Identifiable Information (“PII”) from student records in a way that removes or minimizes the risk of disclosure of the identity of the individual and information about them. The Provider’s specific steps to de-identify the data will depend on the circumstances, but should be appropriate to protect students. Some potential disclosure limitation methods are blurring, masking, and perturbation. De-De- identification should ensure that any information when put together cannot indirectly identify the student, not only from the viewpoint of the public, but also from the vantage of those who are familiar with the individual. 800Information cannot be de-63-3 Digital Authentication Guidelineidentified if there are fewer than twenty (20) students in the samples of a particular field or category, i.e., twenty students in a particular grade or less than twenty students with a particular disability. gathered by Provider or provided by LEA or its users, students, or students’ parents/guardians. PII includes, without limitation, at least the following: First Name Home Address Last Name Subject Telephone Number Email Address Discipline Records Test Results Special Education Data Juvenile Dependency Records Grades Evaluations Criminal Records Medical Records Health Records Social Security Number Biometric Information Disabilities Socioeconomic Information Food Purchases Political Affiliations Religious Information Text Messages Documents Student Identifiers Search Activity Photos Voice Recordings Videos Date of Birth Grade Classes Place of birth Social Media Address Unique pupil identifier Credit card account number, insurance account number, and financial services account number Name of the student's parents or other family members General Categories:

Appears in 1 contract

Samples: Student Data Privacy Agreement

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GENERAL OFFER OF TERMS. Provider may, by signing the attached Form of General Offer of Privacy Terms (General Offer, attached hereto as Exhibit “E”), be bound by the terms of this to any other school district who signs the acceptance in said Exhibit. [Signature Page Follows] Xxxxx X. Xxxxxxx Xxxxxx (Jun 8Jan 29, 2020 12:46 EDT2020) 01/29/20 Xxxxx X. Xxxxxxx Xxxxxx Director of Technology Digital Learning E XHIBIT “A” 1166732v1 Online and mobile educational applications xxx.XxxxxxxxXxxxxxxxx.xxx xxx.XxxxXxxx.xxx xxx.XxxxXxxxxxxxx.xxx xxx.XxxxxXxxxxxxx.xxx 1081011v1 Category of Data Elements Check if used by your system Other transcript data -Please specify: Transportation Student bus assignment Student pick up and/or drop off location Student bus card ID number Category of Data Elements Check if used by your system Other transportation data - Please specify: Other Please list each additional data element used, stored or collected by your application E XHIBIT “C” De-Identifiable Information (DII): De-Identification refers to the process by which the Vendor removes or obscures any Personally Identifiable Information (“PII”) from student records in a way that removes or minimizes the risk of disclosure of the identity of the individual and information about them. The Provider’s specific steps to de-identify the data will depend on the circumstances, but should be appropriate to protect students. Some potential disclosure limitation methods are blurring, masking, and perturbation. De-De- identification should ensure that any information when put together cannot indirectly identify the student, not only from the viewpoint of the public, but also from the vantage of those who are familiar with the individual. 800Information cannot be de-63-3 Digital Authentication Guidelineidentified if there are fewer than twenty (20) students in the samples of a particular field or category, i.e., twenty students in a particular grade or less than twenty students with a particular disability. gathered by Provider or provided by LEA or its users, students, or students’ parents/guardians. PII includes, without limitation, at least the following: First Name Home Address Last Name Subject Telephone Number Email Address Discipline Records Test Results Special Education Data Juvenile Dependency Records Grades Evaluations Criminal Records Medical Records Health Records Social Security Number Biometric Information Disabilities Socioeconomic Information Food Purchases Political Affiliations Religious Information Text Messages Documents Student Identifiers Search Activity Photos Voice Recordings Videos Date of Birth Grade Classes Place of birth Social Media Address Unique pupil identifier Credit card account number, insurance account number, and financial services account number Name of the student's parents or other family members General Categories:

Appears in 1 contract

Samples: Student Data Privacy Agreement

GENERAL OFFER OF TERMS. Provider may, by signing the attached Form of General Offer of Privacy Terms (General Offer, attached hereto as Exhibit “E”), be bound by the terms of this to any other school district who signs the acceptance in said Exhibit. [Signature Page Follows] Xxxxx X. Xxxxxxx Xxx (Jun 8Mar 2, 2020 12:46 EDT2020) Xxxxx X. Xxxxxxx Director 03/02/2020 DeltaMath allows teachers to create assignments by selecting from a variety of Technology E XHIBIT “A” 1166732v1 problem types. The students need to register accounts using the teacher’s code in order to see the assignments. The students then work on the problems, which are automatically graded and given students detailed solutions for problems they got wrong. The students keep working until they develop mastery. The teacher will be able to see which students completed the assignments, including how many problem attempts were required to reach mastery. E XHIBIT “C” removes or obscures any Personally Identifiable Information (“PII”) from student records in a way that removes or minimizes the risk of disclosure of the identity of the individual and information about them. The Provider’s specific steps to de-identify the data will depend on the circumstances, but should be appropriate to protect students. Some potential disclosure limitation methods are blurring, masking, and perturbation. De-identification should ensure that any information when put together cannot indirectly identify the student, not only from the viewpoint of the public, but also from the vantage of those who are familiar with the individual. 800-63-3 Digital Authentication Guideline. gathered by Provider or provided by LEA or its users, students, or students’ parents/guardians. PII includes, without limitation, at least the following: First Name Home Address Last Name Subject Telephone Number Email Address Discipline Records Test Results Special Education Data Juvenile Dependency Records Grades Evaluations Criminal Records Medical Records Health Records Social Security Number Biometric Information Disabilities Socioeconomic Information Food Purchases Political Affiliations Religious Information Text Messages Documents Student Identifiers Search Activity Photos Voice Recordings Videos Date of Birth Grade Classes Place of birth Social Media Address Unique pupil identifier Credit card account number, insurance account number, and financial services account number Name of the student's parents or other family members General Categories:

Appears in 1 contract

Samples: Student Data Privacy Agreement

GENERAL OFFER OF TERMS. Provider may, by signing the attached Form of General Offer of Privacy Terms (General Offer, attached hereto as Exhibit “E”), be bound by the terms of this to any other school district who signs the acceptance in said Exhibit. [Signature Page Follows] Xxxxx X. Xxxxxxx Xxxxxxxx (Jun 8Feb 13, 2020 12:46 EDT2020) Xxxxx X. 2/13/2020 Xxxxxxx Director of Technology Xxxxxxxx Assistant Superintendent for Teaching & Learning E XHIBIT “A” 1166732v1 DeltaMath Plus 1081011v1 E XHIBIT “C” removes or obscures any Personally Identifiable Information (“PII”) from student records in a way that removes or minimizes the risk of disclosure of the identity of the individual and information about them. The Provider’s specific steps to de-identify the data will depend on the circumstances, but should be appropriate to protect students. Some potential disclosure limitation methods are blurring, masking, and perturbation. De-identification should ensure that any information when put together cannot indirectly identify the student, not only from the viewpoint of the public, but also from the vantage of those who are familiar with the individual. Information cannot be de-identified if there are fewer than twenty (20) students in the samples of a particular field or category, i.e., twenty students in a particular grade or less than twenty students with a particular disability. 800-63-3 Digital Authentication Guideline. gathered by Provider or provided by LEA or its users, students, or students’ parents/guardians. PII includes, without limitation, at least the following: First Name Home Address Last Name Subject Telephone Number Email Address Discipline Records Test Results Special Education Data Juvenile Dependency Records Grades Evaluations Criminal Records Medical Records Health Records Social Security Number Biometric Information Disabilities Socioeconomic Information Food Purchases Political Affiliations Religious Information Text Messages Documents Student Identifiers Search Activity Photos Voice Recordings Videos Date of Birth Grade Classes Place of birth Social Media Address Unique pupil identifier Credit card account number, insurance account number, and financial services account number Name of the student's parents or other family members General Categories:

Appears in 1 contract

Samples: Student Data Privacy Agreement

GENERAL OFFER OF TERMS. Provider may, by signing the attached Form of General Offer of Privacy Terms (General Offer, attached hereto as Exhibit “E”), be bound by the terms of this to any other school district who signs the acceptance in said Exhibit. [Signature Page Follows] Xxxxx X. Xxxxxxx 5/21/2020 Xxxx Xxxxxx (Jun 8May 22, 2020 12:46 10:06 EDT) Xxxxx X. Xxxxxxx Director Xxxx Xxxxxx Director, Dept of Innovation & Technology E XHIBIT “A” 1166732v1 1135664v1 E XHIBIT “C” removes or obscures any Personally Identifiable Information (“PII”) from student records in a way that removes or minimizes the risk of disclosure of the identity of the individual and information about them. The Provider’s specific steps to de-identify the data will depend on the circumstances, but should be appropriate to protect students. Some potential disclosure limitation methods are blurring, masking, and perturbation. De-identification should ensure that any information when put together cannot indirectly identify the student, not only from the viewpoint of the public, but also from the vantage of those who are familiar with the individual. 800-63-3 Digital Authentication Guideline. gathered by Provider or provided by LEA or its users, students, or students’ parents/guardians. PII includes, without limitation, at least the following: First Name Home Address Last Name Subject Telephone Number Email Address Discipline Records Test Results Special Education Data Juvenile Dependency Records Grades Evaluations Criminal Records Medical Records Health Records Social Security Number Biometric Information Disabilities Socioeconomic Information Food Purchases Political Affiliations Religious Information Text Messages Documents Student Identifiers Search Activity Photos Voice Recordings Videos Date of Birth Grade Classes Place of birth Social Media Address Unique pupil identifier Credit card account number, insurance account number, and financial services account number Name of the student's parents or other family members General Categories:

Appears in 1 contract

Samples: Student Data Privacy Agreement

GENERAL OFFER OF TERMS. Provider may, by signing the attached Form of General Offer of Privacy Terms (General Offer, attached hereto as Exhibit “E”), be bound by the terms of this to any other school district who signs the acceptance in said Exhibit. [Signature Page Follows] Xxxxx X. Xxxxxxx (Jun 8, 2020 12:46 EDT) Xxxxx X. Xxxxxxx Director of Technology E XHIBIT “A” 1166732v1 Online student assessment application 1081011v1 E XHIBIT “C” removes or obscures any Personally Identifiable Information (“PII”) from student records in a way that removes or minimizes the risk of disclosure of the identity of the individual and information about them. The Provider’s specific steps to de-identify the data will depend on the circumstances, but should be appropriate to protect students. Some potential disclosure limitation methods are blurring, masking, and perturbation. De-identification should ensure that any information when put together cannot indirectly identify the student, not only from the viewpoint of the public, but also from the vantage of those who are familiar with the individual. 800Information cannot be de-63-3 Digital Authentication Guidelineidentified if there are fewer than twenty (20) students in the samples of a particular field or category, i.e., twenty students in a particular grade or less than twenty students with a particular disability. gathered by Provider or provided by LEA or its users, students, or students’ parents/guardians. PII includes, without limitation, at least the following: First Name Home Address Last Name Subject Telephone Number Email Address Discipline Records Test Results Special Education Data Juvenile Dependency Records Grades Evaluations Criminal Records Medical Records Health Records Social Security Number Biometric Information Disabilities Socioeconomic Information Food Purchases Political Affiliations Religious Information Text Messages Documents Student Identifiers Search Activity Photos Voice Recordings Videos Date of Birth Grade Classes Place of birth Social Media Address Unique pupil identifier Credit card account number, insurance account number, and financial services account number Name of the student's parents or other family members General Categories:

Appears in 1 contract

Samples: Student Data Privacy Agreement

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