Internal Policies and Procedures for all WIOA operations and administration shall be developed by the SUBRECIPIENT. All Policies and Procedures shall be reviewed with all staff to ensure full compliance.
Internal Policies and Procedures. Delta Dental has the right to amend its internal policies and procedures periodically and without notice to the Contractor to the extent the amendment does not affect the delivery of benefits to Members. Delta Dental will provide advance written notice, to the extent possible, to Contractor of any amendment to Delta Dental’s policies or procedures that affect the delivery of benefits to Members; if advance notice is not possible, Delta Dental will provide written notice as soon as possible after the amendment is adopted.
Internal Policies and Procedures for all WIA youth employment operations and administration shall be developed by the CONTRACTOR. All Policies and Procedures shall be reviewed with all staff to ensure full compliance.
Internal Policies and Procedures for all WIOA operations and administration shall be developed by the SUBRECIPIENT. All Policies and Procedures shall be reviewed with all staff to ensure full compliance. SUBRECIPIENT – shall provide all Policies and Procedures, in original Microsoft Word file format, to the County of OrangeCOUNTYOCDB administrative office by July 31, 2018 2019 for review and approval.
Internal Policies and Procedures for all OC Workforce Solutions Center operations and administration shall be developed by the Subrecipient. All current Policies and Procedures shall be reviewed to ensure full compliance with the WIOA. Subrecipient shall provide a copy of all Policies and Procedures to the County of Orange Program Manager by August 31, 2024.
Internal Policies and Procedures. 1. Subrecipient shall develop policies and procedures for the operations and administration of the CalWORKs/WTW programs of EPP, VTR, and WEX.
2. All current Policies and Procedures shall be reviewed to ensure full compliance. Subrecipient shall provide a copy of all Policies and Procedures to the OCCS administrative office by August 30, 2019.
Internal Policies and Procedures. Each of the Companies providing investment advice to the Registered Fund, the Non-Registered Funds and Non-Fund Clients or acting as a distributor for the Registered Fund, the Non-Registered Funds and Non-Fund Clients has adopted a formal code of ethics and a written policy regarding xxxxxxx xxxxxxx, a complete and accurate copy of each of which has been made available to the Buyer. Such codes of ethics and xxxxxxx xxxxxxx policies comply in all material respects with Section 17(j) of the Investment Company Act, Rule 17j-1 thereunder, Section 204A of the Investment Advisers Act and Section 15(f) of the 1934 Act. The policies of each of the Companies providing investment advice as of June 20, 2000 with respect to avoiding conflicts of interest are as set forth in the most recent Form ADV of the respective Company, as amended, which has been made available to the Buyer. There have been no violations of such codes of ethics or such xxxxxxx xxxxxxx policies that, individually or in the aggregate, have or have a significant risk of having a Material Adverse Effect on the Companies, taken as a whole.
Internal Policies and Procedures. Except as otherwise agreed between Wal-Mart and any Key Minority Shareholder or Key Minority Nominee Director, the Company shall ensure that the Fit Group, the Board and any committees of the Board, and the boards of directors (or similar governance bodies) of the Fit Group Companies (other than the Company) and any committees of such boards or bodies, shall, promptly following the date of this Agreement, adopt and comply with the following procedures, policies, guidelines, resolutions and charters, in each case as amended by Wal- Mart from time to time, with such amendments as Notified to the Company by Wal-Mart:
(a) Wal- Mart’s Disclosure Controls and Procedures; (b) Wal-Mart’s Investment Communications Policy; (c) Wal-Mart’s Conflicts Minerals Policy; (d) Wal-Mart’s Global Investigation Protocols and Procedures; 23
Internal Policies and Procedures. 1. CONTRACTOR shall develop policies and procedures for the operations and administration of the CalWORKs/WTW programs of EPP, VTR, and WEX.
2. All current Policies and Procedures shall be reviewed to ensure full compliance. CONTRACTOR shall provide a copy of all Policies and Procedures to the COUNTY by November 30, 2020.
Internal Policies and Procedures for all One-Stop Centers’ operations and administration shall be developed by the SUBRECIPIENT. All current Policies and Procedures shall be reviewed to ensure full compliance with the WIOA. SUBRECIPIENT shall provide a copy of all Policies and Procedures to the OCDB administrative office by August 31, 2016.