Uses and Disclosures Prohibited by Policies and Procedures Sample Clauses

Uses and Disclosures Prohibited by Policies and Procedures. Any use or disclosure that is prohibited by the Policies and Procedures.
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Uses and Disclosures Prohibited by Policies and Procedures. Any use or disclosure that is prohibited by the Policies and Procedures. 5755 The HIO may wish to impose specified requirements upon Data Providers with respect to the measures they must take to assure the quality of the Patient Data they provide. These measures may include, for example, requiring Data Providers to adopt benchmark practices for increasing and maintaining data quality and/or requiring Participants to conduct a data quality assessment and improvement project either before or after becoming a Participant. 58 Under Model #1, under which the HIO will not be establishing or applying privacy, security or other standards for health information exchange, Section 7.4 (Grant of License to Use Patient Data) will be unnecessary. 59 For example, the Policies and Procedures may generally permit Data Recipients to use Patient Data obtained through the System and Services for any purpose that does not require patient authorization pursuant to HIPAA or applicable state law. In the interests of clarity, however, the Policies and Procedures can describe certain permitted uses including limitations, e.g., for treatment, quality improvement activities, and/or evaluation by private accrediting organizations.56 Under Model #1, under which the HIO will not be establishing or applying privacy, security or other standards for health information exchange, Section 7.4 (Grant of License to Use Patient Data) will be unnecessary. 57 For example, the Policies and Procedures may generally permit Data Recipients to use Patient Data obtained through the System and Services for any purpose that does not require patient authorization pursuant to HIPAA or applicable state law. In the interests of clarity, however, the Policies and Procedures can describe certain permitted uses including limitations, e.g., for treatment, quality improvement activities, and/or evaluation by private accrediting organizations. 6058 Under Model #1, under which the HIO will not be establishing or applying privacy, security or other standards for health information exchange, Section 7.5 (Limitations on Use of Patient Data) will be unnecessary.

Related to Uses and Disclosures Prohibited by Policies and Procedures

  • Permitted Uses and Disclosures of Phi by Business Associate Except as otherwise indicated in this Agreement, Business Associate may use or disclose PHI, inclusive of de-identified data derived from such PHI, only to perform functions, activities or services specified in this Agreement on behalf of DHCS, provided that such use or disclosure would not violate HIPAA or other applicable laws if done by DHCS.

  • Permitted Uses and Disclosures by Business Associate Except as otherwise limited by this Agreement, Business Associate may make any uses and disclosures of Protected Health Information necessary to perform its services to Covered Entity and otherwise meet its obligations under this Agreement, if such use or disclosure would not violate the Privacy Rule if done by Covered Entity. All other uses or disclosures by Business Associate not authorized by this Agreement or by specific instruction of Covered Entity are prohibited.

  • Permitted Uses and Disclosure by Business Associate (1) General Use and Disclosure Provisions Except as otherwise limited in this Section of the Contract, Business Associate may use or disclose PHI to perform functions, activities, or services for, or on behalf of, Covered Entity as specified in this Contract, provided that such use or disclosure would not violate the HIPAA Standards if done by Covered Entity or the minimum necessary policies and procedures of the Covered Entity.

  • COMPLIANCE WITH POLICIES AND PROCEDURES During the period that Executive is employed with the Company hereunder, Executive shall adhere to the policies and standards of professionalism set forth in the policies and procedures of the Company and IAC as they may exist from time to time.

  • Use and Disclosure of Protected Health Information The Business Associate must not use or further disclose protected health information other than as permitted or required by the Contract or as required by law. The Business Associate must not use or further disclose protected health information in a manner that would violate the requirements of HIPAA Regulations.

  • Compliance with Consensus Policies and Temporary Policies Registry Operator shall comply with and implement all Consensus Policies and Temporary Policies found at <xxxx://xxx.xxxxx.xxx/general/consensus-­‐policies.htm>, as of the Effective Date and as may in the future be developed and adopted in accordance with the ICANN Bylaws, provided such future Consensus Polices and Temporary Policies are adopted in accordance with the procedure and relate to those topics and subject to those limitations set forth in Specification 1 attached hereto (“Specification 1”).

  • Permitted Uses and Disclosures of PHI and the third party notifies the Business Associate of any instances of which it is aware in which the confidentiality of the information has been breached.

  • Company Policies and Procedures 7.1.1 The Company will ensure that Employees are able to readily access Company policies and procedures that apply to the Employees. 7.1.2 The Employees will observe and act in accordance with Company policies and procedures that apply to the Employees, as implemented and amended from time to time.

  • COMPLIANCE WITH GOVERNMENTAL RULES AND REGULATIONS; RECORDS The Trust assumes full responsibility for its compliance with all securities, tax, commodities and other laws, rules and regulations applicable to it.

  • PERMITTED USES AND DISCLOSURES BY CONTRACTOR Except as otherwise limited in this Schedule, Contractor may use or disclose Protected Health Information to perform functions, activities, or services for, or on behalf of, County as specified in the Agreement; provided that such use or disclosure would not violate the Privacy Rule if done by County.

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