Privacy Disclosure. The payment information collected to administer your membership account is treated confidentially and will not be shared with anyone except financial institutions and those employees used to process payments. Your payment information is NOT shared, sold, or made public in any way.
Privacy Disclosure. Client acknowledges receipt of BGA’ privacy notice, which is provided as Supplement 2 to this agreement.
Privacy Disclosure. A copy of our Privacy Policy is attached as Appendix B and is a part of this Agree- ment. Our Privacy Policy governs our use and protection of the information you provide to us about yourself and your Cardholder Account.
Privacy Disclosure. The transfer of data includes the risk of data being accessed improperly, either by accident or through a security breach. Such instances are rare with appropriate safeguards in place, but important to consider. Misinterpretations of Data: Since these data are originally collected for administrative rather than analytic purposes, data can be misinterpreted without careful understanding and consideration of fields. Such misinterpretations could include an inappropriate analytic plan (e.g., use of predictive tools with data of poor quality), misuse of a variable (e.g., incorrect assumption that PRGENT refers to date of program entry, rather than program entrance exam), or the inclusion of incorrect assumptions when explaining outcomes (e.g., explaining a reduction in out-of-school suspensions as being a positive indicator of climate, without knowing of a code of conduct revision that changed reporting of suspensions). BENEFITS, LIMITATIONS, AND RISKS TO DATA SHARING AND INTEGRATION Replicating Structural Racism: Since administrative data are collected during the administration of programs and services for individuals in need of social services, the data represented includes people who are disproportionately living in poverty, and, as a result of the historical legacy of race in America, disproportionately Black, Indigenous, and people of color (BIPOC). Seeing these data as race-neutral is inaccurate, and such views could lead to system-level data use that unintentionally replicates structural racism. Harming Individuals: Certain individual-level uses of administrative data carry particularly high risks of causing personal harm. These include uses that provide case workers, service providers, teachers, law enforcement, etc., with personal information that could lead to biased treatments or punitive action and/or lengthen system involvement. Because of the complexity of these benefits, limitations, and risks, it is essential that each potential use of integrated data be carefully considered by all relevant stakeholders. First and foremost, the benefit to the individual/community/society at large must outweigh the risks when sharing or integrating data. (See A Toolkit for Centering Racial Equity Throughout Data Integration for a more nuanced discussion of balancing risk versus benefit.) WHY ARE YOU INTERESTED IN DATA SHARING? Each data sharing and integration effort is driven by a unique set of stakeholders and their shared risk/benefit assessment and rationale...
Privacy Disclosure. The Trustees of the IWA–Forest Industry Pension and LTD Plans (Plans) and their respective agents and employees, collect, use, disclose and exchange your personal information in order to administer the Plans including to process benefits, enforce the Plans’ terms (including to collect overpayments or to investigate potential fraud), to audit employers’ records and claims and to communicate with third parties such as employers, insurers, health care providers and financial institutions when reasonably necessary to administer the Plans. By signing this form you consent to such collection, use, disclosure and exchanges for these purposes, any other purposes set out in the Plans’ respective Privacy Policies and as permitted or required by law.
Privacy Disclosure. Client acknowledges receipt and consent to Epic’s privacy policy and related disclosures, which were provided as a supplement to this agreement.
Privacy Disclosure. 24.1. Client acknowledges receipt and consent to Banorte Asset Management’s privacy policy and related disclosures, which were provided as a supplement to this agreement.
Privacy Disclosure. Devices installed in your home that are connected to the Internet, including the Smart Home Technology, may collect information about you and your use of the device. This automated information is collected, used and analyzed by the third-party providers of the devices and is governed by the terms, conditions, policies and practices of such third-party providers only. X.X. Xxxxxx recommends that you carefully review your agreements with, and other terms and conditions published by, these third-party providers. X.X. Xxxxxx does not collect any information from these devices about you or your use of the devices. I acknowledge and agree that X.X. Xxxxxx does not make any representations or warranties that any or all of the Smart Home Technology is secure, will meet any of my needs or will provide any level of physical or cyber security for my home even if the Smart Home Technology is working as intended. Cell Phone #: (000) 000-0000 Work Phone #: Home Phone #: Email Address (primary): xxxxx.xxxxxx00@xxxxx.xxx Email Address (secondary): xxxxxxxx000@xxxxx.xxx My New Home Address /Direct Mail: 0000 Xxxxxxxx Xxxx, XXXXXXX, XX 00000 Projected Closing Date: 02/02/2020 Community/Subdivision Name: Cedarbrook Street # & Name: 0000 Xxxxxxxx Xxxx Date Date *X.X. Xxxxxx reserves the right, without prior notice, to substitute other products for the Smart Home Technology products listed above.
Privacy Disclosure. 8.1. We may request and collect from you specific non-sensitive personal data to fulfil our contractual obligations according to the Client Agreement, including the Terms of Use of the website.
8.2. Your data collected by us will be stored, processed, and protected under the rules of the EU’s General Data Protection Regulation.
8.3. We will use your details only to identify you as our customer, for delivering our products and services to you and for other purposes described in our Privacy Policy.
8.4. We may disclose your data to independent third-party data processors and controllers within or outside the EU who are involved in serving you as a client of Findilao only based on applicable legislation and contractual agreements we have with such third-parties as per the provisions of clause 8.5.
8.5. Our company has the right to disclose your personal information (including recordings and documents of a confidential nature, card details) in the following circumstances: ● Where required by law or a competent court. ● Where requested by any regulatory authority having control or jurisdiction over our company, you, your or our associates, or in whose territory we have clients. ● To relevant authorities to investigate or prevent fraud, money laundering or other illegal activity. ● To credit reference and fraud prevention agencies, third authentication service providers and other financial institutions for credit reference agencies, fraud prevention agencies, third authentication service providers and other financial institutions for credit checking, fraud prevention, anti-money laundering purposes, identification or due diligence checks of you. To do so, they may check your details supplied against any particulars on any database (public or otherwise) to which they have access. They may also use your details in the future to assist other companies for verification purposes. They will retain a record of the search. ● To our professional advisers, provided that in each case the relevant professional shall be informed about the confidential nature of such information and commit to the confidential obligations in this document as well. ● To other service providers who create, maintain or process databases (whether electronic or not), offer recordkeeping services, email transmission services, messaging services or similar services which aim to assist us collect, store, process and use your information or get in touch with you or improve the provision of the services...
Privacy Disclosure. Each Party warrants and represents that: (a) It will not disclose, nor reserve the right to disclose, any non-public personal information about the other's agents, employees, affiliates, Resellers, and/or customers or former customers ("information") to anyone except as permitted by law; (b) It will restrict access to the information to only its employees who need to know the information in order to provide the other parties with the product and/or service which it has agreed to provide pursuant to this Agreement; (c) It will comply with the Xxxxx-Xxxxx-Xxxxxx (the "Act") and similar laws, and all applicable corresponding state statutes; and (d) If there is any conflict between the terms of this Privacy provision and any of the other terms of this Agreement, the terms of this Privacy provision shall control.