Organizing Information Security Sample Clauses

Organizing Information Security. 2.1 Each Party will identify individuals who will be responsible for managing communications and confirming the implementation of and ongoing compliance with these Protocols on behalf of their respective organizations, namely the Accountable Managing Directors, Information Security Leads and Data Protection Officers. These individuals for each Party will be named and set forth in each SOW. 2.2 Any communications related to these Protocols or the Partiesrespective obligations regarding the security and privacy of Client Personal Data should be communicated in writing via e-mail or other written notice to each of the Accountable Managing Directors listed in the applicable SOW. Further, the Accountable Managing Director or their designees will jointly review these Protocols no less frequently than once annually to determine whether any updates or revisions are recommended. 2.3 Any changes to these Protocols are subject to the change control process set forth in the Agreement or the applicable SOW. 2.4 Each Party will be responsible for complying with each control designated as its responsibility in the table below, as the control relates to a Party’s personnel and owned-equipment in its control and used to perform its respec- tive obligations under each applicable SOW. Control Responsible Party Avanade Client
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Organizing Information Security. 2.1 Each Party will identify individuals who will be responsible for managing communications and confirming the implementation of and ongoing compliance with these Protocols on behalf of their respective organizations, namely the Ac- countable Managing Directors, Information Se- curity Leads and Data Protection Officers. These individuals for each Party will be named in the SOW. 2.2 Any communications related to these Protocols or the Partiesrespective obligations regarding 2.3 Any changes to these Protocols are subject to the change control process set forth in the SOW. 2.4 Each Party will be responsible for complying with each control designated as its responsibil- ity in the table below, as the control relates to a Party’s personnel and owned-equipment in its control and used to perform its respective obli- gations under the SOW. Control Responsible Party Avanade Client
Organizing Information Security. 2.1 Each party will identify individuals who will be responsible for managing communications and confirming the implementation of and ongoing compliance with these Protocols on behalf of their respective organizations, namely the Accountable Managing Directors, Information Security Leads and Data Protection Officers. 2.2 Any communications related to these Protocols or the partiesrespective obligations regarding the security and privacy of Client Personal Data should be communicated in writing via e- mail or other written notice to each of the Accountable Managing Directors listed in this Agreement. 2.3 Any changes to these Protocols are subject to the change control process set forth in the Agreement. 2.4 Each party will be responsible for complying with each control designated as its responsibility in the table below, as the control relates to a party’s personnel and owned- equipment in its control and used to perform its respective obligations under this Agreement.

Related to Organizing Information Security

  • Information Security IET information security management practices, policies and regulatory compliance requirements are aimed at assuring the confidentiality, integrity and availability of Customer information. The UC Xxxxx Cyber-safety Policy, UC Xxxxx Security Standards Policy (PPM Section 310-22), is adopted by the campus and IET to define the responsibilities and key practices for assuring the security of UC Xxxxx computing systems and electronic data.

  • Information Security Program (1) DTI shall implement and maintain a comprehensive written information security program applicable to the Personal Information ("Information Security Program") which shall include commercially reasonable measures, including, as appropriate, policies and procedures and technical, physical, and administrative safeguards that are consistent with industry standards, providing for (i) the security and confidentiality of the Personal Information, (ii) protection of the Personal Information against reasonably foreseeable threats or hazards to the security or integrity of the Personal Information, (iii) protection against unauthorized access to or use of or loss or theft of the Personal Information, and (iv) appropriate disposal of the Personal Information. Without limiting the generality of the foregoing, the Information Security Program shall provide for (i) continual assessment and re-assessment of the risks to the security of Personal Information acquired or maintained by DTI and its agents, contractors and subcontractors in connection with the Services, including but not limited to (A) identification of internal and external threats that could result in unauthorized disclosure, alteration or destruction of Personal Information and systems used by DTI and its agents, contractors and subcontractors, (B) assessment of the likelihood and potential damage of such threats, taking into account the sensitivity of such Personal Information, and (C) assessment of the sufficiency of policies, procedures, information systems of DTI and its agents, contractors and subcontractors, and other arrangements in place, to control risks; and (ii) appropriate protection against such risks. (2) The Information Security Program shall require encryption of any Personal Information in electronic format while in transit or in storage, and enhanced controls and standards for transport and disposal of physical media containing Personal Information. DTI shall, and shall require its agents, contractors and subcontractors who access or use Personal Information or Confidential Information to, regularly test key controls, systems and procedures relating to the Information Security Program ("ISP Tests"). DTI shall advise the Funds of any material issues identified in the ISP Tests potentially affecting the Information Security Program. (3) DTI shall comply with its Information Security Program.

  • Shareholder Information Services (i) Make information available to shareholder servicing unit and other remote access units regarding trade date, share price, current holdings, yields, and dividend information. (ii) Produce detailed history of transactions through duplicate or special order statements upon request. (iii) Provide mailing labels for distribution of financial reports, prospectuses, proxy statements or marketing material to current shareholders. (iv) Respond as appropriate to all inquiries and communications from shareholders relating to shareholder accounts.

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