Identifying Purposes Sample Clauses
Identifying Purposes. (a) The Province and Summer Company Provider collect, use and disclose Personal Information as is necessary solely for the purposes of administering, promoting and advertising the Summer Company Initiative and contacting Participants about other initiatives of the Province.
(b) The Province and Summer Company Provider identify the purposes for which Personal Information is collected at or before the time the information is collected.
Identifying Purposes. We identify and document the purposes of collecting personal information of our clients at or before the time such information is collected. The information that we may request will depend on the product(s) or service(s) selected by you. Some examples of the types of information that we might collect are: • For deposit-related services like opening a deposit or business account, applying for credit cards,making money transfers, or purchasing a guaranteed investment certificate, you will be asked to provide information such as your name, date of birth, address and telephone number (business name and address in the case of business clients), occupation and acceptable identification documents required for establishing and verifying your identity under the Canadian anti-money laundering and anti-terrorist financing law. • If you are applying for credit in the form of a loan, credit card or a mortgage, you will also be asked for specific information about your current financial situation or the financial situation of your business, based on the credit evaluation requirements of the Bank. • If you have an account that earns interest or if you are buying registered investment products, we are required to keep a record of your social insurance number for income tax reporting purposes. • If you open an account then you may be also asked to provide your U.S. tax identification number to comply with Foreign Account Tax Compliance Act (FATCA) regulations, if applicable. Most of the information comes directly from you when you apply for financial products or services. We may also need information from credit bureaus, income sources and personal references you have provided to us. Obtaining additional information about you from such third parties helps us assess your eligibility for our products/services. Of course, we will obtain consent from you before we contact anyone for information about you and we will only request information that is required for providing the service or product selected by you. If you withhold your consent, the Bank may be unable to assess your application and complete the transaction.
Identifying Purposes. We will identify the purposes for which we collect, use and disclose personal information and will specify those purposes on all documents and other requests for information, the reason and purpose for personal information collected.
Identifying Purposes. The purposes for which personal information is collected shall be identified by Comapny before or at the time the information is collected.
2.1 Company will collect personal information only for the purposes of
Identifying Purposes. Before or at the time we ask you for personal information, we will identify the purposes for which it will be used or disclosed. We may ask for information about your identity, credit, transactions, your application, financial behaviour, or other details particular to the product or service. We only collect the Personal Information that is necessary for us to serve you as a Member, to administer our business, and to comply with application laws and regulatory requirements. If a new purpose for using or disclosing your Personal Information develops, we will ask you for your consent. We will only use or disclose your Personal Information for the reason(s) it was collected. For more details on the types of information collected and the purposes for collecting such information, please see the FAQ section below.
Identifying Purposes. The purposes for which the personal information is being collected must be identified by the organization before or at the time of collection.
Identifying Purposes. The Registration and Immunization Data stored within the Panorama Database shall only be collected, used and disclosed for the following authorized health purposes (the “Authorized Health Purposes”):
(a) to provide and support the provision of immunization services to the patient/client to whom the information relates (applies to Source and Accessing Trustees);
(b) to provide immunization management services for clients to reduce under- immunization/missed opportunities for immunization, prevent duplicate immunizations, and reduce adverse reactions (limited to Source Trustees only);
(c) to provide and support the provision of medical and health services other than immunization services to the patient/client to whom the information relates (applies to Source and Accessing Trustees – limited to physicians and nurses only);
(d) to provide and support treatment and provision of communicable disease related immunization services to the patient/client to whom the information relates (applies to Source and Accessing Trustees – limited to physicians and nurses only);
(e) to contain and/or manage communicable disease outbreaks as authorized under the PHA or DCR (limited to Ministry of Health and Source Trustees). De-identified and aggregated data may be used for monitoring, inventory control, evaluation and research to support the immunization programs and communicable disease prevention and control programs managed by the Ministry of Health. Collection, use and disclosure of the Registration and Immunization Data stored within Panorama for any other purpose must be approved in writing by the appropriate Source Trustee(s).
Identifying Purposes. The College is required, pursuant to the Act, to regulate the practice of paramedicine in the province of Nova Scotia with due regard to the public interest.
Identifying Purposes. RPIA will identify the purposes for which personal Information is collected at or before the time that the personal information is collected. The purposes for which RPIA collects personal information described in this Policy shall be those that a reasonable person would consider appropriate in the circumstances. RPIA will inform each investor in a meaningful way of the purposes for the collection, use or disclosure of personal data. RPIA will obtain documented consent before or at the time of collection, as well as when a new use is identified. In obtaining consent, RPIA will use reasonable efforts to ensure that the investor is advised of the identified purposes for which personal information will be used or disclosed. RPIA will seek consent to use and disclose personal information at the same time it collects the personal information as described in this Policy. However, RPIA may seek consent to use and disclose personal information after it has been collected, but before it is used or disclosed for a new purpose. By completing and submitting a subscription agreement to purchase units of one or more of the Funds, investors provide reasonable and explicit consent to the collection, use and disclosure of their personal information. Consent may be withdrawn at any time as described in the Policy but may result in material limitations to RPIA’s ability to continue providing professional services, maintain accounts or process transactions for such investors. RPIA will not collect personal information indiscriminately. RPIA will not deceive or mislead individuals about the reasons for collecting personal information and will limit the amount and type of information gathered to what is necessary for the identified purposes. Personal information will not be used or disclosed by RPIA for purposes other than those for which it was collected, except with the consent of the individual, or as required by law. Personal information will be retained only as long as necessary for the fulfillment of those purposes and as per RPIA’s internal recordkeeping and retention policies and procedures.
Identifying Purposes. Field Hockey Nova Scotia, orally or in writing, will identify why the personal information is being collected at the time or before the information is collected. If personal information has been collected for a purpose not previously identified, the new purpose will be identified to the individual prior to use, unless the new purpose is required by law. Field Hockey Nova Scotia will only collect that minimal information necessary to satisfy the purposes that have been identified and will not use or disclose the information for purposes other than those for which it was collected, except with the consent of the individual or as required by law. Field Hockey Nova Scotia will only retain the personal information for as long as necessary to fulfill the stated purposes. Reasons Field Hockey Nova Scotia collects personal information:
a) To email out newsletter,
b) Annual promotion of program, service or event, or promotion of new programs, services or events that are created,
c) To audit special programs,
d) To track success of specific programs. Personal information that is no longer required to fulfill the identified purposes will be destroyed. Field Hockey Nova Scotia’s guidelines and procedures to govern the destruction of personal information can be found under the Limiting Use, Disclosure, and Retention principle.
