Data Sharing and Confidentiality Sample Clauses

Data Sharing and Confidentiality. The purpose of data sharing is to support the professional learning and improvement of stakeholders involved in Rhode Island clinical practice partnerships, and to support continuous improvement of the partnership. Data sharing may include reporting out to grant funders, state/federal offices, and/or the public on partnership effectiveness, successes, and areas of improvement. The critical role of confidentiality is a guiding principle of this agreement. LEAs (school/district leader(s) and/or data coordinator) will: ▪ Provide data—either publicly available or prepared as requested and appropriate—for iterative growth and improvement among stakeholders. ▪ Administer any survey (pre & post) to appropriate staff in the LEA partner schools via a virtual survey collection tool that maintains the anonymity of all respondents and helps to gather data on partnership effectiveness. XXXx will: ▪ Coach/facilitate and provide templates and tools for school leaders/teams to collect and visualize data. ▪ Analyze data collected and provide the LEAs with the results of these analyses. Confidentiality assurances: ▪ RIDE, XXXx, and XXXx shall comply with all Federal and State of Rhode Island laws, including the Family Educational Rights and Privacy Act (FERPA) and regulations governing the confidentiality of the data related to partnerships. ▪ All data will be reported aggregately to ensure confidentiality; no identifying characteristics of districts, schools, or participants will ever be used in reporting partnership effectiveness ▪ Data will never be released to a third party without permission from all EPP and LEA partners involved. Roles and Responsibilities Clinical Educator‌ Both LEAs and XXXx have the goal of creating a day-one ready, diverse, and highly skilled educator work- force. Here are selection criteria for clinical educators who support and guide a full time, credit-bearing clinical field placement. A Clinical Educator is a Rhode Island Educator who: ▪ Models practices consistent with the Rhode Island Leadership Standards and other appropriate standards, and assures that these standards drive decision-making for school leadership. ▪ Is willing to share practice and provide on-going feedback to the Principal Candidate while engaging the candidate in regular reflection. ▪ Demonstrates the capacity to have a positive impact on student learning through the use of ongoing, documented progress monitoring systems and assessment practices and by conveying the convic...
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Data Sharing and Confidentiality. 8.1 Each party shall retain in confidence and require its employees, agents and contractors, to retain in confidence all information contained in the Software and all information and know-how, regardless of form, transmitted to such party that the disclosing party has identified as being proprietary and/or confidential or which, by the nature of the circumstances surrounding the disclosure, ought in good faith to be treated as proprietary and/or confidential (“Confidential Information”). The receiving party shall retain Confidential Information in as secure a manner as reasonably possible, but in no event less secure than the receiving party retains its own Confidential Information. Confidential Information shall remain the sole property of the disclosing party and shall not be disclosed to any third party without the express written consent of the disclosing party (except, solely for the receiving party’s internal business needs, to consultants who are bound by a written agreement with the receiving party to maintain the confidentiality of such Confidential Information in a manner consistent with this Agreement).
Data Sharing and Confidentiality. The Parties must establish and implement policies and procedures to ensure that the minimum necessary Member information and data for accomplishing the goals of this MOU are exchanged timely and maintained securely and confidentially and in compliance with the requirements set forth below to the extent permitted under applicable state and federal law. The Parties will share protected health information (“PHI”) for the purposes of medical and behavioral health care coordination pursuant to Cal. Code Regs. tit. 9, Section 1810.370(a)(3), and to the fullest extent permitted under the Health Insurance Portability and Accountability Act and its implementing regulations, as amended (“HIPAA”) and 42 Code Federal Regulations Part 2, and other State and federal privacy laws. For additional guidance, the Parties should refer to the CalAIM Data Sharing Authorization Guidance.4
Data Sharing and Confidentiality. Parties do not anticipate Buyer providing Seller with any student information pursuant to this Agreement. Notwithstanding the foregoing, the parties expressly acknowledge that all student information not designated by Buyer as “directory information” is considered private and subject to protection. The parties further acknowledge that Buyer has implemented polices and guidelines which describe when and how protected student information may be obtained, shared or otherwise disseminated and that Seller and its agents are subject to such policies and guidelines and will comply with same. Any student information that Seller or its agents receives is confidential and may only be used for providing services under this Agreement. Seller agrees to maintain the confidentiality of information that it may have access to under this Agreement and further agrees not to disclose any such information gained during the course of providing services under this Agreement to any person or entity other than the student, parent, guardian, or Buyer, as applicable, without the express agreement of Buyer.
Data Sharing and Confidentiality. Contractor shall use data sharing and confidentiality forms provided by the Department and shall have all new clients sign the forms during the intake process.
Data Sharing and Confidentiality. The Parties must implement policies and procedures to ensure that the minimum necessary Member information and data for accomplishing the goals of this MOU are exchanged timely and maintained securely and confidentially and in compliance with the requirements set forth below. The Parties must share information in compliance with applicable law, which may include the Health Insurance Portability and Accountability Act and its implementing regulations, as amended (“HIPAA”), 42 Code of Federal Regulations Part 2, and other State and federal privacy laws. For additional guidance related to sharing Members’ data and information, the Parties may reference the CalAIM Data Sharing Authorization Guidance.5
Data Sharing and Confidentiality. RAS and Self-Insurer each agree to maintain the confidentiality of information that it may have access to under this Agreement and further agree not to disclose any such information gained during the course of providing services under this Agreement to any person or entity other than the employee, Self-Insurer or RAS as applicable without the express agreement of Self-Insurer or RAS, as applicable.
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Data Sharing and Confidentiality. 6.1 As part of the Due Diligence and planning process, the Parties acknowledge and agree that each may be required to disclose to others, information which is regarded as confidential or commercially sensitive. The Parties undertake for themselves and their respective Boards and employees:
Data Sharing and Confidentiality. The Parties must implement policies and procedures to ensure that the minimum necessary Member information and data for accomplishing the goals of this MOU are exchanged timely and maintained securely and confidentially and in compliance with the requirements set forth below. The Parties must share information in compliance with applicable law, which may include the Health Insurance Portability and Accountability Act and its implementing regulations, as amended (“HIPAA”), 42 Code of Federal Regulations Part 2, and other State and federal privacy laws.
Data Sharing and Confidentiality 
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