Manage Legal Entity vLEI Credentials and Legal Entity Official Organizational Role vLEI Credentials Sample Clauses

Manage Legal Entity vLEI Credentials and Legal Entity Official Organizational Role vLEI Credentials. Service Name Manage Legal Entity vLEI Credentials and Legal Entity Official Organizational Role vLEI Credentials Tag Line Qualified vLEI Issuers management of Legal Entity vLEI Credentials and Legal Entity Official Organizational Role vLEI Credentials Description Qualified vLEI Issuers are required on a regular basis to check the status of XXXx for which Legal Entity vLEI Credentials have been issued. These XXXx must maintain an EntityStatus = “ACTIVE” and a RegistrationStatus = “ISSUED”, “PENDING_TRANSFER” or “PENDING_ARCHIVAL”. A process to notify a Legal Entity that the Legal Entity’s Legal Entity vLEI Credential would be in danger of being revoked if its LEI is not renewed as required annually also must be put in place. Qualified vLEI Issuers revoke a Legal Entity vLEI Credential if the LEI check shows that the Legal Entity’s LEI is not in compliance with the above entity and LEI registration status requirements. Revocation of the vLEI Legal Entity Credential causes verification to fail for all the Legal Entity Official Organizational Role vLEI Credentials issued by a Qualified vLEI Issuer and the Legal Entity Engagement Context Role vLEI Credentials that the Legal Entity, or the Qualified vLEI Issuer, have issued. For the avoidance of doubt, digital signatures previous to the revocation of the Legal Entity vLEI Credential will retain their validity. Qualified vLEI Issuers maintain Legal Entity Official Organizational Role vLEI Credentials until notified by the Legal Entity that OOR Credentials need to be revoked due to a change in role or status of OOR Persons. The Legal Entity Authorized Representatives must use the Qualified vLEI Issuer Authorization vLEI Credential that authorized the issuance of the OOR vLEI Credential as authorization to the Qualified vLEI Issuer to revoke the OOR vLEI Credential. Qualified vLEI Issuers manage their public and private keys according to Key Event Receipt Infrastructure (KERI) technical requirements for key management and for credential management according to KERI technical requirements. Access Group(s) • Legal Entities via the contract with Qualified vLEI Issuers
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Related to Manage Legal Entity vLEI Credentials and Legal Entity Official Organizational Role vLEI Credentials

  • Legal Entity Contributor If Contributor is a corporation (or other form of artificial legal entity or juristic person) and is therefore a Legal Entity Contributor (defined in Table 1 above and in the IPR Policy), it will be represented in OpenID by Representatives (defined in the IPR Policy). In such case, Contributor’s initial Representatives are identified in Table 1 above, and in a supplemental exhibit (if attached). Contributor will, as soon as commercially practicable (and in any case before the next Work Group meeting attended by any of its Representatives), notify OIDF in writing of any change of status of its Representatives.

  • Professional Organizations During the Term, Executive shall be reimbursed by the Company for the annual dues payable for membership in professional societies associated with subject matter related to the Company's interests. New memberships for which reimbursement will be sought shall be approved by the Company in advance.

  • Tax Status Non Jurisdictional Entities Tax Status.‌‌ Each Party shall cooperate with the other Parties to maintain the other Parties’ tax status. Nothing in this Agreement is intended to adversely affect the tax status of any Party including the status of NYISO, or the status of any Connecting Transmission Owner with respect to the issuance of bonds including, but not limited to, Local Furnishing Bonds. Notwithstanding any other provisions of this Agreement, LIPA, NYPA and Consolidated Edison Company of New York, Inc. shall not be required to comply with any provisions of this Agreement that would result in the loss of tax-exempt status of any of their Tax-Exempt Bonds or impair their ability to issue future tax-exempt obligations. For purposes of this provision, Tax-Exempt Bonds shall include the obligations of the Long Island Power Authority, NYPA and Consolidated Edison Company of New York, Inc., the interest on which is not included in gross income under the Internal Revenue Code. Non-Jurisdictional Entities. LIPA and NYPA do not waive their exemptions, pursuant to Section 201(f) of the FPA, from Commission jurisdiction with respect to the Commission’s exercise of the FPA’s general ratemaking authority.

  • Contractor Certification regarding Business with Certain Countries and Organizations Pursuant to Subchapter F, Chapter 2252, Texas Government Code], Contractor certifies Contractor is not engaged in business with Iran, Sudan, or a foreign terrorist organization. Contractor acknowledges this Agreement may be terminated and payment withheld if this certification is inaccurate.

  • Official Personnel File Only one (1) official personnel file shall be kept for each employee at the appropriate personnel office. Records of previous discipline not found in the official personnel file cannot be used against an employee in any future disciplinary proceeding. Grievances shall not be kept in the employee’s official personnel file. Employees shall be informed as to where their personnel file is maintained.

  • Professional Development; Adverse Consequences of School Exclusion; Student Behavior The Board President or Superintendent, or their designees, will make reasonable efforts to provide ongoing professional development to Board members about the adverse consequences of school exclusion and justice-system involvement, effective classroom management strategies, culturally responsive discipline, appropriate and available supportive services for the promotion of student attendance and engagement, and developmentally appropriate disciplinary methods that promote positive and healthy school climates, i.e., Senate Bill 100 training topics. Board Self-Evaluation The Board will conduct periodic self-evaluations with the goal of continuous improvement. New Board Member Orientation The orientation process for newly elected or appointed Board members includes:

  • Appropriate Technical and Organizational Measures SAP has implemented and will apply the technical and organizational measures set forth in Appendix 2. Customer has reviewed such measures and agrees that as to the Cloud Service selected by Customer in the Order Form the measures are appropriate taking into account the state of the art, the costs of implementation, nature, scope, context and purposes of the processing of Personal Data.

  • Technical and Organizational Measures The following sections define SAP’s current technical and organizational measures. SAP may change these at any time without notice so long as it maintains a comparable or better level of security. Individual measures may be replaced by new measures that serve the same purpose without diminishing the security level protecting Personal Data.

  • Project Organization A summary organization chart showing the interrelationships between Owner, Construction Contractor and Design Professional, and other supporting organizations and permitting review agencies. Detailed charts, one each for Construction Contractor and Design Professional, showing organizational elements participating in the Project shall be included.

  • Special Rules Regarding Related Entities and Branches That Are Nonparticipating Financial Institutions If a Finnish Financial Institution, that otherwise meets the requirements described in paragraph 1 of this Article or is described in paragraph 3 or 4 of this Article, has a Related Entity or branch that operates in a jurisdiction that prevents such Related Entity or branch from fulfilling the requirements of a participating FFI or deemed-compliant FFI for purposes of section 1471 of the U.S. Internal Revenue Code or has a Related Entity or branch that is treated as a Nonparticipating Financial Institution solely due to the expiration of the transitional rule for limited FFIs and limited branches under relevant U.S. Treasury Regulations, such Finnish Financial Institution shall continue to be in compliance with the terms of this Agreement and shall continue to be treated as a deemed- compliant FFI or exempt beneficial owner, as appropriate, for purposes of section 1471 of the U.S. Internal Revenue Code, provided that:

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