Data and Intelligence Sample Clauses

Data and Intelligence. ‌‌‌ The collection, analysis and comparison of good quality data is critical for the all NHS screening programmes in England. PHE Screening aims to develop a consistent approach to data collection and reporting across all screening programmes and is committed to making sure that stakeholders have access to: • reliable and timely information about the quality of the screening programme • data at local, regional and national levelquality measures across the screening pathway without gaps or duplications Performance thresholds are selected to align with existing screening standards and service objectives; 1 or 2 thresholds are specified. The acceptable threshold is the lowest level of performance which screening services are expected to attain to assure patient safety and service effectiveness. All screening services should exceed the acceptable threshold and agree service improvement plans to meet the achievable threshold. Screening services not meeting the acceptable threshold are expected to put in place recovery plans to deliver rapid and sustained improvement. The achievable threshold represents the level at which the screening service is likely to be running optimally. All screening services should aspire to attain and maintain performance at or above this level.
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Data and Intelligence. The collection, analysis and comparison of good quality data is critical for the all NHS screening programmes in England. Monthly data is provided by PHE to NHS England as part of the data sharing agreement for Section 7a screening services, to support the monitoring of bowel cancer screening programme. PHE Screening aims to develop a consistent approach to data collection and reporting across all screening programmes and is committed to making sure that stakeholders have access to: • reliable and timely information about the quality of the screening programme • data at local, regional and national levelquality measures across the screening pathway without gaps or duplications BCSS uses personal details from GP practice registration just before people become eligible to invite them to participate in the programme. The Secretary of State for Health has given special permission to do this on the basis that cancer screening is in the public interest (Section 251 of the NHS Act 2006). The NHS BCSP is reliant on GP practices cleansing their practice lists to provide accurate information that is then automatically shared with BCSS, to ensure the eligible population is invited to the programme at the correct time. Data is collected on each screening ‘episode’ while people remain eligible. Data on clinicians involved in the screening process are also collected to ensure the programme maintains the highest clinical standards. Where people move outside England and de-register from their GP practice, BCSS retains their data in case they return in the future and need to be screened again. When people reach the age where routine screening ceases (their 75th birthday) their data is retained in case they decide to self-refer (opt in) to the programme. Data from the programme is used to assure the quality and safety of screening and to evaluate and improve the way the screening process works. Data may be shared with university research departments where they have the legal and ethical permission to access it. This is overseen by PHE’s Research Advisory Committee (RAC) and the Office of Data Release (ODR). The NHS national data opt out should be applied to any personal data used as part of the bowel cancer screening programme which is shared for research.
Data and Intelligence. ‌ The collection, analysis and comparison of good quality data is critical for the all NHS screening programmes in England. Monthly data is provided to support the monitoring of bowel scope screening. PHE Screening aims to develop a consistent approach to data collection and reporting across all screening programmes and is committed to making sure that stakeholders have access to: • reliable and timely information about the quality of the screening programme • data at local, regional and national levelquality measures across the screening pathway without gaps or duplications The bowel cancer screening programme uses personal details from GP practice registration to invite people to participate in the programme. The Secretary of State for Health has given special permission to do this on the basis that cancer screening is in the public interest (Section 251 of the NHS Act 2006). The programme takes the data from the national GP registration database just before people become eligible. Data are then collected on each screening ‘episode’ while people remain eligible. Data on clinicians involved in the screening process are also collected to ensure the programme maintains the highest clinical standards. Where people move outside England and de-register from their GP practice, we retain their data in case they return in the future and need to be screened again. When people reach the age where routine screening ceases (a participant 75th birthday) their data is retained in case they decide to self-refer (opt in) to the programme. Data from the programme is used to assure the quality and safety of screening and to evaluate and improve the way the screening process works. Data may be shared with university research departments where they have the legal and ethical permission to access it. This is overseen by PHE’s Research Advisory Committee (RAC) and the Office of Data Release (ODR). The bowel cancer screening programme fully supports the NHS national data opt out programme 13 National Standards and Quality Assurance‌ PHE Screening Quality Assurance Service (SQAS) systems support commissioners and the providers in the quality and clinical governance aspects of the service so that core processes are safe, and the programme achieves better outcomes. The SQAS regional teams will give ample notice to providers about QA visits – these will have a maximum interval of 5 years, but this is decided by an annual review process. The Provider shall always cooperate and pa...
Data and Intelligence. Previously CDRPs have produced three year crime and disorder reduction strategies based on triennial audits of community safety. The new requirements for the establishment of the County Strategy Group, rolling plans refreshed annually and JSIAs has necessitated developing a new process – one more heavily reliant on data sharingin particular data sharing at the county level. Forum response and activity: The Forum will: Continue to support the efforts of the Data and Intelligence JCG Through the D&I JCG, develop an information sharing protocol – using the existing Information Sharing Framework of the NYSP that takes account of the operating context of individual partner’s (e.g. the MOPI guidelines to which the Police must conform) Work with the newly developed performance and Research Unit of the County Council to ensure understanding of the needs of CDRPs and seek – through a continuation of the work already **** by an independent consultant on behalf of partners – to develop more cost effective and efficient information sharing processes. To use these new processes to better inform the development of the 2008 JSIAs – including agreeing a common template and ensuring the engagement of all colleagues. Use the influence of the members of the Forum to consider the information sharing technologies available across the county and ensure – where possible – that all partners seek to move to implement compatible systems. To support the CDRPs in maintaining and where possible developing current analytical capacity, marrying these developments to take advantage of the implementation of the County Council’s P&R unit and other initiatives undertaken on behalf of Data and Intelligence by the Forum Continue to lobby Government Office and other central agencies for additional resources to support the development of data and information capacity across the county and encouraging local and national Government representatives to lobby for the same cause To maintain an outward perspective to capture emerging issues of best practice in data sharing, intelligence gathering and analysis and be prepared to champion the work of practitioners within the county To ensure all partners contribute effectively to, and engage with the Data & Intelligence forum to enable it to operate effectively. To take a leading role in tackling barriers to inclusion and holding partners to account where necessary. To effectively manage data and intelligence to ensure that all members of the Forum c...

Related to Data and Intelligence

  • Use of artificial intelligence or data analytics You acknowledge that we may use artificial intelligence or data analytics (i.e. technologies that assist or replace human decision-making) whilst providing products and services to you, for purposes including but not limited to risk assessment, statistical, trend analysis and planning; and to make decisions, provide, operate, process and administer your accounts and services with us.

  • Data Access Access to Contract and State Data The Contractor shall provide to the Client Agency access to any data, as defined in Conn. Gen Stat. Sec. 4e-1, concerning the Contract and the Client Agency that are in the possession or control of the Contractor upon demand and shall provide the data to the Client Agency in a format prescribed by the Client Agency and the State Auditors of Public Accounts at no additional cost.

  • Data Encryption Contractor must encrypt all State data at rest and in transit, in compliance with FIPS Publication 140-2 or applicable law, regulation or rule, whichever is a higher standard. All encryption keys must be unique to State data. Contractor will secure and protect all encryption keys to State data. Encryption keys to State data will only be accessed by Contractor as necessary for performance of this Contract.

  • Access to Network Interface Device (NID 2.4.3.1. Due to the wide variety of NIDs utilized by BellSouth (based on subscriber size and environmental considerations), Mpower may access the on-premises wiring by any of the following means: BellSouth shall allow Mpower to connect its loops directly to BellSouth’s multi-line residential NID enclosures that have additional space and are not used by BellSouth or any other telecommunications carriers to provide service to the premise. Mpower agrees to install compatible protectors and test jacks and to maintain the protection system and equipment and to indemnify BellSouth pursuant to Section 8 of the General Terms and Conditions of this Agreement.

  • Data Analysis In the meeting, the analysis that has led the College President to conclude that a reduction- in-force in the FSA at that College may be necessary will be shared. The analysis will include but is not limited to the following: ● Relationship of the FSA to the mission, vision, values, and strategic plan of the College and district ● External requirement for the services provided by the FSA such as accreditation or intergovernmental agreements ● Annual instructional load (as applicable) ● Percentage of annual instructional load taught by Residential Faculty (as applicable) ● Fall Full-Time Student Equivalent (FFTE) inclusive of dual enrollment ● Number of Residential Faculty teaching/working in the FSA ● Number of Residential Faculty whose primary FSA is the FSA being analyzed ● Revenue trends over five years for the FSA including but not limited to tuition and fees ● Expenditure trends over five years for the FSA including but not limited to personnel and capital ● Account balances for any fees accounts within the FSA ● Cost/benefit analysis of reducing all non-Residential Faculty plus one Residential Faculty within the FSA ● An explanation of the problem that reducing the number of faculty in the FSA would solve ● The list of potential Residential Faculty that are at risk of layoff as determined by the Vice Chancellor of Human Resources ● Other relevant information, as requested

  • Data Integrity Contractor shall implement policies and procedures reasonably intended to ensure that Protected Health Information and Personally Identifiable Information in its possession is complete, accurate, and current, to the extent necessary for the Contractor’s intended purposes, and has not been altered or destroyed in an unauthorized manner.

  • Use of Verizon Telecommunications Services 2.1 Verizon Telecommunications Services may be purchased by Connectel under this Resale Attachment only for the purpose of resale by Connectel as a Telecommunications Carrier. Verizon Telecommunications Services to be purchased by Connectel for other purposes (including, but not limited to, Connectel’s own use) must be purchased by Connectel pursuant to other applicable Attachments to this Agreement (if any), or separate written agreements, including, but not limited to, applicable Verizon Tariffs.

  • DATA PROTECTION AND DATA PROCESSING 6.1 The Company and the Client acknowledge that for the purposes of the Data Protection Xxx 0000 and the GDPR, that the Client and the Company shall be considered separate data controllers in relation to the provision of the Services, save and except that in the case of lead generation services, the Client shall be the data controller and the Company shall be the data processor.

  • Availability of Verizon Telecommunications Services 3.1 Verizon will provide a Verizon Telecommunications Service to PCS for resale pursuant to this Attachment where and to the same extent, but only where and to the same extent, that such Verizon Telecommunications Service is provided to Verizon’s Customers.

  • Data Use Each party may use Connected Account Data in accordance with this Agreement and the consent (if any) each obtains from each Connected Account. This consent includes, as to Stripe, consent it receives via the Connected Account Agreement.

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