Conflicts Policy Sample Clauses
A Conflicts Policy clause establishes procedures for identifying, disclosing, and managing conflicts of interest that may arise during the course of a contractual relationship. Typically, it requires parties to promptly notify each other if a potential or actual conflict is identified, and may outline steps such as recusal from certain decisions or seeking consent to proceed. This clause ensures transparency and helps maintain trust by preventing situations where personal or organizational interests could improperly influence contractual obligations or outcomes.
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Conflicts Policy. We are required to have arrangements in place to manage conflicts of interest between us and our clients and between different clients. We operate in accordance with a conflicts of interest policy we have put in place for this purpose in which we have identified those situations in which there may be a conflict of interest, and in each case, the steps we have taken to manage that conflict. A summary of our conflicts policy is available on our website (▇▇▇.▇▇▇▇▇▇▇▇▇.▇▇▇).
Conflicts Policy. We are required to have arrangements in place to manage conflicts of interest between us and our clients and between different clients. We operate in accordance with a conflicts of interest policy we have put in place for this purpose in which we have identified those situations in which there may be a conflict of interest, and in each case, the steps we have taken to manage that conflict. A summary of our conflicts policy is available on the website of ▇▇▇▇▇.▇▇▇ UK [▇▇▇.▇▇▇▇▇.▇▇▇/▇▇] [Retail Clients only]. 冲突。我们将作出安排以管理我们和客户与客户和客户之间的利益冲突。相应地,我们的营运亦跟随有关利益冲突的政策。我们的利益冲突政策有列出某些俱有利益冲突的情况和相应的处理手段。如欲阅读我们利益冲突政策的总结,请浏览[▇▇▇.▇▇▇▇▇.▇▇▇/uk/cns][零售顾客专用]
Conflicts Policy. Does the Supplier maintain and enforce policy and procedures that are in compliance with 42 CFR 50? Yes No URL (if yes): If Yes, provide the URL of the applicable policy. If No, the Supplier agrees to abide by the current policy1 of the University including disclosure and reporting requirements and any necessary corrective actions for the duration of this Agreement. Disclosure and reporting of identified conflicts of interest related to this contract must be submitted to the Conflict of Interest Program of the University, in writing, no later than 30 calendar days after identification. Documentation, pursuant to this requirement, should be sent to: Conflict of Interest Program ▇▇▇▇ ▇▇▇▇▇▇ ▇▇▇▇ ▇▇▇▇ ▇▇▇▇▇ ▇▇▇▇▇ ▇▇▇▇▇▇ University of Louisville ▇▇▇▇▇▇▇▇▇▇, ▇▇ ▇▇▇▇▇
Conflicts Policy. The Board of Directors of LEGPLLC shall have adopted the Conflicts Policy.
Conflicts Policy. The Manager operates a conflicts of interest policy in relation to identifying, preventing and managing conflicts of interest that may adversely affect clients. In summary, the Manager’s policy is to seek in the first instance to prevent conflicts from arising. Where conflicts are unavoidable, the Manager seeks to identify them in advance and to take steps to manage them so that no client is disadvantaged. The steps taken will depend on the nature of the conflict. As a last resort, where the Manager is not reasonably confident that it is able to manage conflicts to adequately protect the interests of a client, the Manager clearly discloses the conflict in advance so that the Client can decide how to proceed. Further details of the Manager’s conflicts policy are available on request.
Conflicts Policy. This Agreement and each party’s performance hereunder shall at all times be in compliance with and subject to the Statement of Policies Relating To Potential Conflicts Among Energy Transfer Partners, L.P., Energy Transfer Equity, L.P. and Regency Energy Partners, LP dated August 10, 2010, and as may be amended from time to time (the “Conflicts Policy”) to the extent applicable. Operator represents and warrants that (a) Operator will not use any information obtained in the course of its performance hereunder regarding Owner or Owner’s current, past or future plans and operations in a manner that is adverse to Owner, and (b) Operator will take all necessary measures to ensure that Owner’s competitively sensitive information is only disclosed to employees of Operator who have a need to know in order to perform the Services hereunder.
Conflicts Policy. (a) The Parties agree and shall comply with the conflicts of interest policy ("Conflicts Policy") of NWEAB which is attached at Schedule 11 (Conflicts Policy) which sets out the guidelines and procedures for identifying, monitoring and managing actual and potential conflicts of interest.
(b) The Conflicts Policy is intended to complement, and work alongside, the Codes of Conduct. However, please report any discrepancy immediately to the NWEAB's Monitoring Officer in accordance with Schedule 11 (Conflicts Policy).
(c) It is acknowledged and agreed that:
(i) in the event of any discrepancy between the relevant Council Code of Conduct and the Conflicts Policy, the relevant Council Code of Conduct shall take precedence; and
(ii) in the event of any discrepancy between the GA Code of Conduct and the Conflicts Policy, the Conflicts Policy shall take precedence.
Conflicts Policy. Advisor has subcontracted with CharterMac Capital LLC (“CharterMac Capital”) to provide the services which Advisor is required to provide under Advisory Agreement. Under Advisory Agreement, Advisor and CharterMac Capital are permitted to act as advisor to any other person or entity who has investment policies similar to the Company’s, including CharterMac Mortgage Capital Corporation , CharterMac Mortgage Partners Corp. and ARCap Real Estate Special Situations Mortgage Fund, L.L.C. (“ARESS”) as well as other affiliates of Advisor and CharterMac Capital. In order to clarify Advisor’s and CharterMac Capital’s obligations in the event an investment opportunity presents a potential conflict, the Board of Trustee has adopted the following policy with regard to investment opportunities that present potential conflicts: • With respect to ARESS, the Board of Trustees, including a majority of the independent trustees, has adopted the Participation Arrangement as set forth on Exhibit 1. • With respect to other affiliates of Advisor and CharterMac Capital, if the making of an investment appears equally appropriate for the Company and the affiliated entities, the investment either will be (i) allocated to one of such entities on a basis of rotation with the initial order of priority determined by the dates of formation of the entities or (ii) the subject of a programmatic participation agreement approved by the independent trustees. Subject to the limitations contained in this Investment and Conflicts Policy, Advisor shall be protected in taking for its own account or recommending to others any such particular investment opportunity. American Mortgage Acceptance Company (“AMAC”) and ARCap Real Estate Special Situations Mortgage Fund, L.L.C. (“ARESS”, and together with AMAC, the “Companies”) pursue overlapping real estate finance investment opportunities. Both AMAC and ARESS will be advised or managed by affiliates of CharterMac when CharterMac completes its proposed acquisition of ARCap Investors, L.L.C. (the “Transaction”). The advisor of AMAC (the “Advisor”) and the managing member of ARESS (the “Managing Member”) are each required, subject to certain exceptions, to show investment opportunities to their respective Companies on an exclusive or first-look basis. In light of the foregoing, AMAC and ARESS propose to enter into an arrangement for participation in investments which meet the investment criteria of each of the Companies, subject to the closing of the Trans...
Conflicts Policy. We are required to have arrangements in place to manage conflicts of interest between us and our clients and between different clients. We operate in accordance with a conflicts of interest policy we have put in place for this purpose in which we have identified those situations in which there may be a conflict of interest, and in each case, the steps we have taken to manage that conflict. A summary of our conflicts policy is available on the website of Gain Capital UK: ▇▇▇.▇▇▇▇▇.▇▇▇/▇▇. 冲突政策。我们将作出安排以管理我们和客户与客户和客户之间的利益冲突。相应地,我们的营运亦符合有关利益冲突的政策。我们制定利益冲突政策旨在识别各种可能产生利益冲突的情形,并界定了各情形下我们为管理冲突采取的措施。如欲阅读我们利益冲突政策摘要,请浏览 ▇▇▇.▇▇▇▇▇.▇▇▇/▇▇/▇▇▇
