Processes and Procedures Sample Clauses

Processes and Procedures. The Seller shall disclose its non-proprietary security processes and technical limitations to the State so that the State can determine if and how adequate protection and flexibility can be attained between the State and the Seller. For example: virus checking and port sniffing — the State and the Seller shall understand each other’s roles and responsibilities.
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Processes and Procedures. The Contractor must have in place and operate throughout the carrying out of the Works: (a) ongoing hazard and risk identification and mitigation processes; (b) proper procedures for dealing with emergencies; (c) adequate supervision of all workers and other persons under the Contractor’s control; and (d) an effective drug and alcohol policy that applies to its workers.
Processes and Procedures. Processes and procedures for use of the ISSIS system are maintained by LCC and where relevant ELHT will be provided with revised and updated processes to ensure safe and effective use of the system.
Processes and Procedures. 7.2.1 ADOT will ensure that it has appropriate processes and procedures in place that provide for proactive and timely consultation, coordination, and communication with applicable Federal agencies in order to carry out the responsibilities assumed under this MOU, including the submission of all XXXx together with comments and responses to the Environmental Protection Agency (EPA) as required by 40 C.F.R. 1506.9 and for EPA's review as required by section 309 of the Clean Air Act, 42 U.S.C. 7609. These processes and procedures shall be documented. Documentation may be a formally executed interagency agreement or other format as appropriate.
Processes and Procedures. In carrying out its duties set forth in Article II, Sections 8 – 11, above, Cigna Health and Life Insurance Company will implement the Standard Business Associate Processes and Procedures (the “Processes and Procedures”) attached hereto for requests from Individuals, including the requirement that requests be made in writing, the creation of forms for use by Individuals in making such requests, and the setting of time periods for the Plan to forward to Cigna Health and Life Insurance Company any such requests made directly to the Plan or Plan Sponsor. In addition, Cigna Health and Life Insurance Company will implement the Processes and Procedures relating to disclosure of PHI to Plan Sponsor or designated third parties.
Processes and Procedures. In carrying out its duties set forth in Article III, Sections 8 – 11, above, Cigna will implement the Standard Business Associate Processes and Procedures (the “Processes and Procedures”) attached hereto for requests from Individuals, including the requirement that requests be made in writing, the creation of forms for use by Individuals in making such requests, and the setting of time periods for Plan to forward to Cigna any such requests made directly to the Plan or Plan Sponsor. In addition, Cigna will implement the Processes and Procedures relating to disclosure of PHI to Plan Sponsor or designated third parties.
Processes and Procedures. 7.2.1 Caltrans will ensure that it has appropriate processes and procedures in place that provide for proactive and timely consultation, coordination, and communication with all appropriate Federal agencies in order to carry out any of the responsibilities assumed under this MOU, including the submission of all environmental impact statements together with comments and responses to the Environmental Protection Agency (EPA) as required at 40 CFR 1506.9 and for EPA’s review as required by Section 309 of the Clean Air Act. These processes and procedures shall be formally documented. Such formal documentation may be in the form of a formal executed interagency agreement or in other such form as appropriate.
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Processes and Procedures. 7.2.1 The DOT&PF will ensure that it has appropriate processes and procedures in place that provide for proactive and timely consultation, coordination, and communication with applicable Federal agencies in order to carry out the responsibilities assumed under this MOU, including the submission of all XXXx together with comments and responses to the Environmental Protection Agency (EPA) as required by 40 CFR 1506.10 and for EPA's review as required by Section 309 of the Clean Air Act, 42 U.S.C. 7609. These processes and procedures shall be formally documented. Documentation may be a formally executed interagency agreement or other format as appropriate.
Processes and Procedures. The potential distribution is the extent (in kilometres) of coast that may potentially be inhabited by hosts of a disease agent, i.e. ‘length of coastline affected’. Noting item 5.2 of this attachment, the following process is recommended to determine the total length of coastline for Australia and for each relevant state/territory: a) Identify the disease/infectious agent. b) Identify the potential host(s). c) Determine the minimum and maximum significant environmental tolerances for the disease agent. i. The most accurate environmental tolerance range of a disease agent should be used when determining the potential distribution. Dependent on the species information available, this will be determined by combining environmental tolerance data on a species, noting that the environmental tolerance data used may still overestimate the potential range. ii. Only if the abovementioned option is not available should low confidence data be used (in order of preference). iii. Environmental data should be sourced from a literature review process using both high and low confidence data. iv. Other variables that are considered driving factors in the distribution of a disease, may be incorporated into the formula, as decided by the NBMCC on a case-by- case basis. v. Where additional layers of data are to be used in the analysis they will also need to be scientifically determined. Any modifiers that are used must be incontrovertible and fully documented. d) Determine the minimum and maximum significant environmental tolerances for the hosts. i. The most accurate environmental tolerance range of a potential host/s should be used when determining the potential distribution. Dependent on the species information available, this will be determined by combining environmental tolerance data on a species, noting that the environmental tolerance data used may still overestimate the potential range. ii. Only if the abovementioned option is not available should low confidence data be used (in order of preference). iii. Environmental data should be sourced from a literature review process using both high and low confidence data. iv. Other variables that are considered driving factors in the distribution of host/s, may be incorporated into the formula, as decided by the NBMCC on a case-by-case basis. v. Where additional layers of data are to be used in the analysis they will also need to be scientifically determined. Any modifiers that are used must be incontrovertible and fully doc...
Processes and Procedures. 7.2.1 TxDOT will ensure that it has appropriate processes and procedures in place that provide for proactive and timely consultation, coordination, and communication with all appropriate Federal agencies in order to carry out any of the responsibilities assumed under this MOU, including the submission of all environmental impact statements together with comments and responses to the Environmental Protection Agency as required at 40 CFR 1506.9 and for EPA's review as required by section 309 of the Clean Air Act, 42 U.S.C. 7609. These processes and procedures shall be formally documented. Such formal documentation may be in the form of a formal executed interagency agreement or in other such form as appropriate.
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