Information Classification Sample Clauses

Information Classification. Unless otherwise indicated by Customer, consider all Customer Confidential Information to be classified as “Confidential” and handle accordingly.
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Information Classification. The Contractor classifies Personal Data to help identify it and to allow for access to it to be appropriately restricted.
Information Classification. HTL classifies information to three (3) levels: restricted, confidential, and public. Information that is classified as restricted must, in addition, identify the individuals or roles to whom the information is restricted. Personal Data subject to Data Protection Legislation is classified as restricted and is subject the policies as documented in the HTL operating procedure for Information Classification and Handling. Access Control
Information Classification. Classification is used to promote proper controls for safeguarding the confidentiality of information. Regardless of classification the integrity and accuracy of all classifications of information must be protected. The classification assigned and the related controls applied are dependent on the sensitivity of the information. Information must be classified according to the most sensitive detail it includes. Information recorded in several formats (e.g., source document, electronic record, report) must have the same classification regardless of format. The following levels are to be used when classifying information:
Information Classification. The Contractor will ensure that all University Data is classified and labelled by those with custody, control or responsibility for it according to the appropriate security protection for such University Data, and that it is at all times handled appropriately and in accordance with its obligations under the Schedule, the Contract and the Data Protection Laws. Media handling The Contractor will ensure that all information storage media is recorded, managed, controlled, moved and disposed of in such a way that the University Data is not compromised. ACCESS CONTROL Business requirements of access control The Contractor’s requirements to control access to information assets and University Data should be clearly documented in an access control policy and appropriate procedures put in place. Furthermore, network access and connections will need to be restricted to ensure security of the University Data. Internal user access management The allocation of internal access rights to Personnel and in relation to other services not connected with the Service(s), other users shall be strictly controlled from initial user registration through to removal of access rights when no longer required, including special restrictions for privileged access rights and the management of passwords, or other authentication information, plus regular reviews and updates of access rights.
Information Classification. 1.2.1 Prior to performing any Services in connection with an applicable SOW, Client will notify Avanade if: (a) Avanade may have access, including incidental access, to Client Personal Data, or (b) Client Personal Data is being provided for Avanade to process as part of the Services. In either of the foregoing cases, Client will identify, classify and describe the classification restriction for any Client Personal Data clearly and appro- priately. X
Information Classification a. RESTRICTED—This classification applies to the most sensitive business and customer data that is intended for use strictly within Fanplayr. Its unauthorized disclosure could seriously and adversely impact Fanplayr, its customers, its business partners, and its suppliers.
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Information Classification. The Contractor will ensure that all University Data is classified and labelled by those with custody, control or responsibility for it according to the appropriate security protection for such University Data, and that it is at all times handled appropriately and in accordance with its obligations under the Schedule, the Contract and the Data Protection Laws.
Information Classification. The information that passes over the e-Bulk interface is classed as sensitive personal data covered by the Data Protection Xxx 0000. This includes details provided as part of applications for DBS Checks and the corresponding acknowledgements and responses that are returned. All parties must, therefore, ensure that this information is handled in accordance with their respective responsibilities under this Act. UK Government organisations using the e-Bulk interface may wish to note that the information that passes over the e-Bulk interface has been classified as Official - Sensitive during transmission between RBs and the DBS (Details relating to the current Government security classifications can be found at xxxxx://xxx.xxx.xx/government/publications/government-security-classifications).
Information Classification. 8.2.1 Classification of information Defined in the Eight Technology Information Classification Matrix
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