Marketing and Fundraising Sample Clauses

Marketing and Fundraising. Business Associate will not use or disclose PHI for marketing or fundraising purposes, except with the prior written authorization of the Covered Entity and consistent with the requirements of 45 C.F.R. §§ 164.514(f) and 164.508(a)(3).
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Marketing and Fundraising. The School treats marketing and seeking donations for the future growth and development of the School as an important part of ensuring that the School continues to provide a quality learning environment in which both pupils and staff thrive. Personal information held by the School may be disclosed to organisations that assist in the School's fundraising, for example, the School's Foundation or alumni organisation (or, on occasions, external fundraising organisations). Parents, staff, contractors and other members of the wider School community may from time to time receive fundraising information. School publications, like newsletters and magazines, which include personal information, may be used for marketing purposes. Who might the School disclose personal information to and store your information with? The School may disclose personal information, including sensitive information, held about an individual to:  school service providers, including the Catholic Education Commission of Victoria, (CECV), Catholic Education Melbourne, specialist visiting teachers, counsellors and sports coaches, and other dioceses;  third party service providers that provide educational support services to schools and school systems such as the Integrated Catholic Online Network system (ICON);  another school to facilitate the transfer of a student;  government departments;  medical practitioners;  recipients of School publications, such as newsletters and magazines;  students’ parents or guardians;  anyone you authorise the School to disclose information to; and  anyone to whom we are required or authorised to disclose the information to by law. Sending and storing information overseas: The School may disclose personal information about an individual to overseas recipients, for instance, to facilitate a school exchange. However, the School will not send personal information about an individual outside Australia without:  obtaining the consent of the individual (in some cases this consent will be implied); or  otherwise complying with the Australian Privacy Principles or other applicable privacy legislation. The School may also store personal information in the 'cloud' which may mean that it resides on servers which are situated outside Australia. The countries or regions that the school discloses personal and sensitive information to are:  Google Apps for Education: United Sates of America, or any other country Google uses to provide these services.  Survey Monkey...
Marketing and Fundraising. Business Associate agrees to comply with the HIPAA requirements and prohibitions regarding marketing and fundraising - including any opt-out requirements.
Marketing and Fundraising. Contractor agrees to comply with the HIPAA requirements and prohibitions applicable to Covered Entities and Business Associates regarding marketing and fundraising, including but not limited to opt-out, notice and authorization requirements. Notwithstanding the foregoing, Contractor shall not engage in any marketing and fundraising activities relating to PHI without the express advance written agreement of UTHSC.
Marketing and Fundraising. The Community Asset Committee must be consulted on all promotional and fundraising activities occurring at the venue. The Committee shall have the power, in consultation with Council, to approve such events. The sale of items by the user groups as a fundraising tool is similarly to be approved by the Community Asset Committee.
Marketing and Fundraising. We may use or disclose protected health information for limited marketing activities, including face-to-face communications with you about our services. Fundraising communications will include information on how to stop (out-out) of further communications and how to start (opt-in) again if wanted. ● Minors. We may use or disclose protected health information as required by state laws to parents, guardians, and persons acting in a similar legal status. We will act consistently with the laws of Idaho and will make disclosures consistent with such laws. ● Emergency Situations. We may use or disclose protected health information to your family and/or friends in the event of an emergency, as needed, for your health and safety.
Marketing and Fundraising. Specific rules apply to the use of protected health information for the purposes of marketing and fundraising. These rules will be observed by the departments responsible for those activities.
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Marketing and Fundraising. The Facility Manager must approve all promotional and fundraising activities and collateral occurring and on display within the Centre and the immediate environs. • Users cannot sell or hire out equipment without prior approval by the Centre Manager. • The facility will display generic information (provided by the user groups) to customers on user groups and their activities. User groups are requested to provide an up to date contact list for staff at MARS.

Related to Marketing and Fundraising

  • Marketing and Sales A. Provide a detailed plan beginning from award date of the Master Agreement describing the strategy to immediately implement the Master Agreement as supplier’s primary go to market strategy for Public Agencies to supplier’s teams, to include, but not limited to:

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