Member Privacy Sample Clauses

Member Privacy. CareFirst BlueChoice shall comply with state, federal and local laws pertaining to the dissemination or distribution of non-public personally identifiable financial, medical or health related data. In that regard, CareFirst BlueChoice will not provide to unauthorized third parties any personally identifiable financial or medical information without the prior written authorization of the Member or parent/guardian of the Member or as otherwise permitted by law. Personal information, including email addresses and phone numbers, may be used and shared with other businesses who work with CareFirst BlueChoice to administer and/or provide benefits under this plan. Personal information, as described below, may also be used to notify enrollees about treatment options, health-related services, and/or coverage options. Enrollees may contact CareFirst BlueChoice to change the information used to communicate with them. The more complete information health care providers have, the better they can meet the Members’ health care needs. Sharing information and data with the Member’s treating providers can lead to better coordinated care, help the Member get timely care, limit duplicative services, and help the provider better identify patients who would benefit most from care management and other care coordination programs. How we use medical information to enhance or coordinate the Member’s care — In order to administer the Member’s health benefits, CareFirst BlueChoice receives claims data and other information from the Member’s various providers of care regarding diagnoses, treatments, programs and services provided under your health plan. Individual treating providers, however, may not have access to information from the Member’s other providers. When CareFirst BlueChoice has such information, it may share it with the Member’s treating providers through secure, electronic means solely for purposes of enhancing or coordinating the Member’s care and to assist in clinical decision making. The Member may Opt-Out of information sharing by CareFirst BlueChoice for these care coordination purposes. The Member has the right to opt-out of the sharing of this information by CareFirst BlueChoice with his/her treating provider for care coordination purposes at any time. To opt-out, the Member must complete, sign and return the Opt-Out of Medical Information Sharing Form found at xxx.xxxxxxxxx.xxx/xxxxxxxxxxxxxxxxxx. When the Member submits this form, the Member also ends participat...
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Member Privacy. CareFirst BlueChoice shall comply with state, federal and local laws pertaining to the dissemination or distribution of non-public personally identifiable financial, medical or health related data. In that regard, CareFirst BlueChoice will not provide to unauthorized third parties any personally identifiable financial or medical information without the prior written authorization of the Member or parent/guardian of the Member or as otherwise permitted by law. Personal information, including email addresses and phone numbers, may be used and shared with other businesses who work with CareFirst BlueChoice to administer and/or provide benefits under this plan. Personal information may also be used to notify enrollees about treatment options, health-related services, and/or coverage options. Enrollees may contact CareFirst to change the information used to communicate with them.
Member Privacy. The posting of an accusation to social media does not erode the confidential nature of any District response, investigation or action taken in connection with the allegations, except that AFT shall receive the notice, described below, whether or not the faculty member has requested AFT representation.
Member Privacy. CareFirst BlueChoice shall comply with state, federal and local laws pertaining to the dissemination or distribution of non-public personally identifiable financial, medical or health related data. In this regard, CareFirst BlueChoice will not provide to unauthorized third parties any personally identifiable financial or medical information without the prior written authorization of the patient or parent/guardian of the patient or as otherwise permitted by law.
Member Privacy. CareFirst shall comply with state, federal and local laws pertaining to the dissemination or distribution of non-public personally identifiable medical or health-related data. In that regard, CareFirst will not provide to the Group or unauthorized third parties any personally identifiable medical information without the prior written authorization of the patient or parent/guardian or as otherwise permitted by law.
Member Privacy. Collaborating Organization agrees to maintain the standards and regulations pertaining to APNA’s Member Privacy and Confidentiality, which may be found at xxxxx://xxx.xxxx.xxx/i4a/pages/index.cfm?pageid=3460.
Member Privacy. CareFirst shall comply with state, federal and local laws pertaining to the dissemination or distribution of non-public personally identifiable financial, medical or health related data. In that regard, CareFirst will not provide to unauthorized third parties any personally identifiable financial or medical information without the prior written authorization of the Member or parent/guardian of the Member or as otherwise permitted by law. Personal information, including email addresses and phone numbers, may be used and shared with other businesses who work with CareFirst to administer and/or provide benefits under this plan. Personal information may also be used to notify enrollees about treatment options, health-related services, and/or coverage options. Enrollees may contact CareFirst to change the information used to communicate with them.
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Member Privacy. All personally identifiable information about United Concordia’s Members ("Protected Health Information" or "PHI") is subject to state and federal statutory and regulatory privacy standards, including, but not limited to, the Health Insurance Portability and Accountability Act of 1996 (“HIPAA”), the Health Information Technology for Economic and Clinical Health Act (the “HITECH Act”) and regulations adopted thereunder by the U.S. Department of Health and Human Services, 45 C.F.R. Parts 160, 162, 164 (" the HIPAA Rules"). The parties shall treat all such information in accordance with those standards, and shall use or disclose PHI received from the other only for the purposes stated in this Agreement, or to comply with judicial process or any applicable statute or regulation. Producer recognizes and agrees that it is obligated by law to comply with the applicable provisions of the HIPAA Privacy and Security Rules.
Member Privacy. It is Tellover's policy to respect the privacy of its members. Tellover will not backup copy, monitor or disclose any private email message or address information, including its contents, without prior permission from the Member and it is the member's responsibility to copy or back-up their webmail contents. If Tellover is required by legitimate administrative purpose to hand over the contents, we can only handover the log details as all email contents are not kept on file other than in the members webmail, to access this we would need the members permission or a court order. Further we do not retain or acquire any members details or interest from their webmail for advertising purposes as we do not have any intentions now or later to advertise inside the members webmail, and therefore guarantee that we will to all to respect privacy interest or likes. You agree that Tellover may access your account, including its contents, as stated above or to respond to service or technical issues for you.
Member Privacy. It is Mpath's policy to respect the privacy of its Members. Please refer to Mpath's PRIVACY POLICY for more information. You agree that Mpath may access and disclose any information about you or your accounts, if Mpath believes in good faith that such action is reasonably necessary to comply with the law, to comply with legal process, to operate its systems properly, or to protect itself, its Members, or others.
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