Toll Fraud Sample Clauses

Toll Fraud. Dealer is forbidden from stating or implying that AltiGen Products provide immunity from fraudulent intrusion (Toll Fraud). Dealer must use this language on all sales materials and contract involving AltiGen Products.
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Toll Fraud. Nu-Tel disclaims any express or implied warranty regarding security against any unauthorized use of or access to all intrastate, interstate or international long-distance services or such access, for the use of voice mail, direct inward system access (DISA), auto- attendant or 800 and 900 services by any users of this equipment. Customer is responsible for payment of all calls made through the system associated with there account. CUSTOMER ACKNOWLEDGES THAT IT IS AWARE OF THESE EXCLUSIONS AND RISKS AND HAS DETERMINED THEY ARE ACCEPTABLE FOR ITS APPLICATION OF THE PRODUCT. THE ABOVE WARRANTIES ARE IN LIEU OF AND EXCLUDE ALL OTHER EXPRESS OR LIMITED WARRANTIES, INCLUDING ANY WARRANTY OF MERCHANTABILITY OR FITNESS FOR A PARTICULAR PURPOSE. IN NO EVENT SHALL NU-TEL BE LIABLE FOR LOSS OF PROFITS, BENEFITS, INDIRECT, CONSEQUENTIAL OR ANY OTHER DAMAGES, EVEN IF NU-TEL HAS BEEN ADVISED OF THE POSSIBILITY OF SUCH DAMAGES. IN NO EVENT SHALL NU-TEL’S LIABILITY EXCEED THE TOTAL PURCHASE PRICE FOR THE EQUIPMENT IN QUESTION REGARDLESS OF THE FORM IN WHICH ANY LEGAL OR EQUITABLE ACTION OR CLAIM MAY BE BROUGHT AGAINST NU-TEL.
Toll Fraud. Fiserv is forbidden from stating or implying that AltiGen Products provide immunity from fraudulent intrusion (Toll Fraud). Fiserv must use this language on all sales materials and contracts involving AltiGen Products. AltiGen will not accept liability for any damages, including long distance charges, which result from unauthorized and/or unlawful use.
Toll Fraud. In the event that either: A) Customer installs its own terminal communications equipment, such as a PBX, on its premises or B) subscribes to a cloud based and/or a managed telephony solution, such as Cisco Webex Calling or FirstLight Cloud Communications, which may access FirstLight’s toll services, it is expressly agreed and understood that the security of, and fraud controls within, such terminal equipment/services, are the sole responsibility of Customer. It is expressly understood that such terminal equipment/services may have the capability to allow calls to be originated from remote locations, routed through such equipment, and connected to FirstLight’s toll service, in the same manner as a call originated from Customer’s premises. Any arrangement, commonly known in the industry as “remote calling or remote PBX access,” could create opportunities for outside third persons to have toll calls appear to originate on and be charged as originating from such terminal equipment. The obligation to provide appropriate security to protect against unauthorized calls rests solely with Customer. It is expressly understood that the Customer is responsible for all charges attributable to use of Customer’s terminal equipment even if incurred as a result of fraudulent or unauthorized use of the Customer’s terminal communications.
Toll Fraud. In the event that Customer installs its own terminal communications equipment including, but not limited to, PBX on its premises which may access FirstLight’s toll services, it is expressly agreed and understood that the security of, and fraud controls within, such terminal equipment are the sole responsibility of Customer. It is expressly understood that such terminal equipment may have the capability to allow calls to be originated from remote locations, routed through such equipment, and connected to FirstLight’s toll service, in the same manner as a call originated from Customer’s premises. Any arrangement, commonly known in the industry as “remote calling or remote PBX access,” could create opportunities for outside third persons to have toll calls appear to originate on, and be chargedas originating from, such terminal equipment. The obligation to provide appropriate security to protect against unauthorized calls rests solely with Customer. It is expressly understood that Customer is responsible for all charges attributable to use of Customer’s terminal equipment even if incurred as a result of fraudulent or unauthorized use of Customer’s terminal communications.
Toll Fraud. Company will adhere to the manufacturer’s specifications to secure the system to prevent toll fraud. In no way is Company liable for any toll fraud that may occur.
Toll Fraud. VAR agrees not to expressly state or imply that Mitel PRODUCTS provide technical immunity from fraudulent intrusion or toll fraud, and VAR agrees to include in its agreement with its customer a warning concerning the possibility of toll fraud occurring and a written disclaimer regarding responsibility for same. VAR also agrees to follow the recommendations in the Mitel Technical Service Bulletin series entitled "PABX--CDE Programming Pertaining to Unauthorised Toll Calling Access".
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Toll Fraud. SUPPLIER'S SOLUTION DESCRIPTION: During the Transition Period, Supplier shall work with PacifiCare to understand the current toll fraud environment. This shall include PacifiCare's specific requirements and the tools, processes, and procedures that are currently in place for monitoring toll fraud. Once this is completed, Supplier shall continue monitoring toll fraud at the current levels.
Toll Fraud. While DataTalk will provide toll restriction per customer’s database requests, DataTalk will not be Liable for hacking or toll fraud. .
Toll Fraud. 7.1 The Buyer shall not use or permit the SaaS Service or Inbound Service to be used to generate artificially high voice or data traffic or to commit toll fraud. 7.2 The Buyer shall comply with the safeguarding requirements and use restrictions relevant to security and fraud prevention as described in the Documentation and 8x8 Use Policy (such as, without limitation, setting robust password combinations, password management and disclosure restrictions, and not taking any action or making an omission that would reasonably be expected to disrupt or compromise the integrity or security of the 8x8 System). 7.3 The Supplier (or its Key Subcontractor) may apply an outbound calling bar on any part of the SaaS Service or Inbound Service if it suspects either service is being used for any unauthorized, unusual or suspicious purpose. 7.4 The Supplier may monitor the profile of calls made through use of the Services by Users for potential fraudulent or dishonest use and take reasonable steps to prevent such use.
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