Summary of the Data Protection Impact Assessment Sample Clauses

Summary of the Data Protection Impact Assessment. The project has been carefully designed to place the interests of patients uppermost.
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Summary of the Data Protection Impact Assessment. The project has been carefully designed to place the interests of individuals uppermost. Concepts of informed consent and compliance with the Caldicott and Data Protection Principles have been incorporated into the software design.
Summary of the Data Protection Impact Assessment. Access to FHFT’s electronic patient system – Epic by partner organisations with a legitimate requirement has been in implemented in 2022 when FHFT’s electronic patient system – Epic was introduced as the Trust’s main clinical system. There have been no material breaches of records by Partner users detected by reactive or proactive auditing processes, introduction of this framework provides a robust, GDPR article 26 compliant formal agreement between partner organisations for the usage of this system. It sets a template and standard for partner organisations also allowing Partner parties access to their clinical systems should they also have a requirement for a formal, robust framework to support this. Access to information is granted for direct care purposes only and as part of this framework creation a review of the access request, approval and account creation processes has been undertaken to ensure only those with a legitimate clinical need, are approved. The system operates on a robust security matrix basis and there are robust housekeeping processes in place to ensure timely removal of unused accounts, there are also responsibilities with employing organisations administrators to notify the Trust of leavers, etc.
Summary of the Data Protection Impact Assessment. The project has been carefully designed to place the interests of patients uppermost. Concepts of informed consent and compliance with the Caldicott and Data Protection Principles have been incorporated into the software design. There is sharing of data through multiple stakeholders who utilise appropriately secured communication channels. The users of this information would normally be expected to have access to this level of personal information as part of their normal working environment. A data protection impact assessment has been conducted. The data protection impact assessment for the sharing of clinical documentation through the EMISweb solution has identified 12 privacy and information security related risk topic areas. Following the implementation of appropriate mitigation measures for each privacy-related risk topic area the residual risk for all of these topic areas is now assessed as low. The IG steering group is satisfied that all appropriate technical and physical measures against unauthorised or unlawful access, accidental loss or destruction of care data are in place. It is the recommendation of the IG Steering Group that the proposed solution is appropriate for making clinical information and documentation available to Thames Hospice through the EMISweb sharing functionality.
Summary of the Data Protection Impact Assessment. The project has been carefully designed to place the interests of patients uppermost. There is sharing of data through multiple stakeholders who utilise appropriately secured communication channels. The users of the information covered by this schedule would normally be expected to have access to this level of information as part of their normal working environment. Please see the current DPIA for the Connected Care Clinical Portal (xxxx://xxx.xxxxxx.xx/documents/DPIA2001current.pdf) and the current DPIA for the Connected Care Analytics Platform (xxxx://xxx.xxxxxx.xx/documents/DPIA2002current.pdf), the current DPIA for the Personal Health Record solution (xxxx://xxx.xxxxxx.xx/documents/DPIA2008current.pdf), and the current DPIA for the Docobo XXX@XXXX solution (xxxx://xxx.xxxxxx.xx/documents/DPIA2003current.pdf) that between them incorporate the remote monitoring and virtual xxxx functionality. The Data Protection Impact Assessments for Connected Care project have identified privacy and information security related risk topic areas. Following the implementation of appropriate mitigation measures for each privacy-related risk topic area the residual risk for all of these topic areas is now assessed as low. Representatives from each of the participating partner organisations acting together as the IG Steering Group covering Connected Care have completed a thorough review of the Data Protection Impact Assessment and the IG steering group is satisfied that all appropriate technical and physical measures against unauthorised or unlawful access, accidental loss or destruction of care data are in place. It is also the recommendation of the IG Steering Group that the proposed Connected Care Analytics for Direct Care capability based on GraphNet’s Azure platform is appropriate for its purpose from an information governance perspective. The key risks and mitigations for this arrangement are presented in Schedule L, below. On behalf of the Sharing Organisation I confirm that the information sharing arrangements described in this schedule are agreed and the information described in this schedule is to be made available to the User Organisations and individuals identified in this schedule starting on the Sharing Requirement Start Date and ending on the Sharing Requirement End Date. Agreed by {{!guardian_es_:font(name=calibri,size=10) }} as Caldicott Guardian / Designated Officer / Data Protection Officer, for and on behalf of {{!org_es_:font(name=calibri,size=10) }} {{...

Related to Summary of the Data Protection Impact Assessment

  • Data Protection Impact Assessment If, pursuant to Data Protection Law, Customer (or its Controllers) are required to perform a data protection impact assessment or prior consultation with a regulator, at Customer’s request, SAP will provide such documents as are generally available for the Cloud Service (for example, this DPA, the Agreement, audit reports or certifications). Any additional assistance shall be mutually agreed between the Parties.

  • Periodic Review of Costs of Environmental Compliance In the ordinary course of its business, the Company conducts a periodic review of the effect of Environmental Laws on the business, operations and properties of the Company and its subsidiaries, in the course of which it identifies and evaluates associated costs and liabilities (including, without limitation, any capital or operating expenditures required for clean-up, closure of properties or compliance with Environmental Laws or any permit, license or approval, any related constraints on operating activities and any potential liabilities to third parties). On the basis of such review and the amount of its established reserves, the Company has reasonably concluded that such associated costs and liabilities would not, individually or in the aggregate, result in a Material Adverse Change.

  • Office of Inspector General Investigative Findings Expert Review In accordance with Senate Bill 799, Acts 2021, 87th Leg., R.S., if Texas Government Code, Section 531.102(m-1)(2) is applicable to this Contract, Contractor affirms that it possesses the necessary occupational licenses and experience.

  • Information Technology Enterprise Architecture Requirements If this Contract involves information technology-related products or services, the Contractor agrees that all such products or services are compatible with any of the technology standards found at xxxxx://xxx.xx.xxx/iot/2394.htm that are applicable, including the assistive technology standard. The State may terminate this Contract for default if the terms of this paragraph are breached.

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