Customer Proprietary Network Information Sample Clauses

Customer Proprietary Network Information. Seller is required by Applicable Law to treat confidential account, usage, call detail and billing related information about the quantity, technical configuration, type, destination, location, and amount of use of Buyer’s telecommunications services (“CPNI”) confidentially. Buyer agrees that Seller may share CPNI within its business operations (e.g., broadband transport, colocation, direct internet access, IT services and broadband services divisions), and with businesses acting on Seller’s behalf (but not to third parties not acting on Sellers behalf), to determine if Buyer could benefit from the wide variety of Seller products and services, and in its marketing and sales activities, Buyer may withdraw its authorization at any time by informing Seller in writing. Buyer’s decision regarding Seller’s use of CPNI will not affect the quality of service Seller provides Buyer. CPNI does not include Buyer’s or any User’s name, address, or telephone number. To the extent that Buyer is utilizing a consultant in procuring its Services from Seller, Buyer authorizes Seller to discuss its account, including CPNI, with such Buyer consultant.
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Customer Proprietary Network Information. Prior to the placement of any order to change or establish a Customer’s service and/or prior to release of any Customer’s Customer Proprietary Network Information (“CPNI”), the CLEC must show that it is authorized to obtain CPNI and to place orders for telephone exchange service. Attachment 1 must be completed and signed by all parties prior to placement of orders and/or release of CPNI.
Customer Proprietary Network Information. With regard to Customer Proprietary Network Information, each party must: (i) implement a program that trains associates with access to the CPNI of the other party to avoid accessing or using CPNI of the other party; (ii) where economically reasonable, implement a conspicuous on-screen and hard-copy scripting program to remind associates with access to CPNI of the other party of their contractual and
Customer Proprietary Network Information. (CPNI)‌ The Contractor shall not use or share CPNI for any activity other than as permitted by applicable law or with the approval of the Customer. Any disclosure of CPNI to other parties (such as affiliates, vendors and agents) shall only occur if it is necessary to conduct a legitimate business activity related to the services provided by the Contractor to the Customer except in instances where the Contractor is required by law to disclose CPNI, such as through subpoenas or other request by law enforcement officials, or if the intended use is permitted by FCC Rules or approved by the Customer. The Contractor shall provide the Customer reasonable, written notification to the Customer prior to the disclosure of CPNI, except where expressly authorized by the Customer or where such disclosure of CPNI is permitted by applicable law. Such notification shall indicate the reason for the CPNI disclosure. The Contractor must authenticate a Customer prior to disclosing information by means of Customer- initiated telephone contact or requested access to any of the Contractor’s CPNI containing portals, websites or databases. The Contractor must obtain from all of its Customers (new and existing) that procure services offered under this Contract, a signed agreement to share their CPNI and any other account and usage information with the CALNET Program, Cal OES, or appropriate designated PSE needed to comply with the requirements specified in this Agreement. Within thirty (30) days of contract execution, the Contractor shall present a template of the agreement for approval by the State.
Customer Proprietary Network Information. As Sprint provides Products and Services to End User, Sprint develops information about the quantity, technical configuration, type and destination of Products and Services End User uses, and other information found on End User’s bill (“Customer Proprietary Network Information” or “CPNI”). Under federal law, End User has a right, and Sprint has a duty, to protect the confidentiality of CPNI. For example, Sprint implements safeguards that are designed to protect End User’s CPNI, including using authentication procedures when End User contacts Sprint. For some business accounts with a dedicated Sprint representative, Sprint may replace standard authentication measures with a pre-established point of contact for End User.
Customer Proprietary Network Information. (CPNI) means, for the purposes of these Requirements, information about a customer’s telecommunications service that is identifiable to that customer, such as call detail, usage, features, geo-location information associated with such service and service subscription information, and further including information contained in bills pertaining to telephone exchange service or telephone toll service and subject to Federal Communications Commission regulations at 47 U.S.C. Section 222(f)(1).
Customer Proprietary Network Information. One of the telecommunications laws PacketFabric must adhere to for Services within the United States involves PacketFabric’s protection of certain usage-related information about the Customer known as customer proprietary network information (“CPNI”) under US federal law. Under US federal law, Customer has the right, and PacketFabric has the duty, to protect the confidentiality of Customer's CPNI. PacketFabric agrees to use CPNI only in accordance with US law. PacketFabric currently provides Customer a dedicated account representative assigned to its account. Customer agrees that the PacketFabric dedicated account representative or its delegate may use any means to provide CPNI to any representative of Customer. Customer authorizes PacketFabric to share CPNI with other PacketFabric Affiliates for any lawful purpose, including without limitation for provisioning, supporting billing and collecting charges for the Services and to develop, identify, offer, and provide products and services that may benefit Customer; provided those Affiliates first agree to observe the confidentiality of the information in accordance with Section 10.1.
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Customer Proprietary Network Information. (CPNI). The UCS CPNI policy fully describes what Customer Proprietary Confidential Information is, how UCS and/or the UCS third party affiliates may contact Subscriber, and when, how and under what circumstances UCS can release a Subscriber’s information.
Customer Proprietary Network Information. XO, including all of its corporate Affiliates, desire to give you the best digital and connected experience and the most reliable Products and Services. XO protects all your Customer information, but may need to share your Customer information with our Affiliates, and with our partners, vendors, and agents, in order to offer and provide products and services to you, our Customer. The Federal Communications Commission, and various states, requires XO, and indeed all telecommunications providers, to protect Customer Proprietary Network Information (CPNI). CPNI is information that identifies the quantity, technical configuration, type, destination, location, and amount of use of a customer’s telecommunications and interconnected VoIP services purchased from a provider, and related local and toll billing information. XO respects our customers’ rights to the protections afforded by these laws.
Customer Proprietary Network Information. With respect to Domestic Communications, Inmarsat shall comply with all applicable FCC rules and regulations governing access to and storage of Customer Proprietary Network Information (“CPNI”), as defined in 47 U.S.C. § 222(h)(1).
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