Sentences with phrase «umrp policy compliance»

Pharmaceutical and biotechnology firm Amgen optimized $ 1.9 million in savings in 2016 by focusing on policy compliance, savings strategies and program satisfaction.
For 2017, the company expects to continue its focus on travel policy compliance and officially incorporate ride share service Uber into Amgen's travel program.
Policy compliance will be reviewed and annually, including a review of nutrition standards with education goals; physical activity and education goals, and determine areas in need of improvement.
Finally, by improving policy comprehensive, you're able to improve policy compliance «on the floor,» reducing the risk of safety and quality events.
Family Policy Compliance Office (FPCO) The mission of the Family Policy Compliance Office (FPCO) is to meet the needs of the Department's primary customers — learners of all ages — by effectively implementing two laws that seek to ensure student and parental rights in education: the Family Educational Rights and Privacy Act (FERPA) and the Protection of Pupil Rights Amendment (PPRA).
Power refers to the use of rewards and sanctions related to policy compliance while authority refers to how persuasive the content message of the policy is.
By going rogue, Moskowitz may have opened up Success to a federal investigation if Geidi decides to file a complaint with the U.S. Department of Education's Family Policy Compliance Office.
Manual intervention can be eliminated and the whole process offers increased transparency for audit and policy compliance control.
Mapping the network also helps to maintain security policy compliance by enabling businesses to easily identify all their network traffic across different applications and services, based on actual usage.
The survey respondents confirmed using advanced analytics in defensible disposition (83 %), policy compliance (83 %), data migration (82 %), and automated content categorization (72 %) with the latter showing a 50 % year - over-year increase;
Both management and governance are about procedures and policies, but governance increases the focus and the requirement for policy compliance and sets in place the mechanisms to control and monitor adherence.
• May be responsible for certain additional corporate compliance or government affairs and may head certain committees associated with compliance - related subject matters such as privacy, health and safety, pension and benefits, ethics, policy compliance, etc.;
Policy compliance is important for another reason: the legal options to challenge the Minister's action in response to DFO policy non-compliance are limited — as are any challenges to fisheries licensing and quota decisions generally.
Assist Senior Analyst with item master administration, including scrubbing vendor data to ensure accuracy; identify and purge duplicate product; and monitor minimum retail prices to ensure UMRP policy compliance.
Oversight of administrative duties included but not limited to: policy compliance, staff training, record keeping, scheduling, reviewing patient consults / referrals, coding patient encounters as documented by provider, management of patient medical records, validating patient eligibility within the health system network, with 8 + years of EMR experience.
Core duties included interviewing, on - boarding of hourly and salaried personnel, counseling, employee relations, performance management, and company HR policy compliance.
Key Attributes Include: • Qualified to reduce and control loss of inventory through exceptionally well - placed audits and staff training • Documented success in monitoring for policy compliance and management of violations in accordance to set loss prevention procedures • Familiarity in monitoring for external and internal loss, with a strong ability to respond efficiently
• Received and processed legal documents; checked for correct form, timeliness, and policy compliance.
Freelance HR assistant sought for a long - term, one year, temporary position generating and organizing files, updating records, maintaining policy compliance, ensuring discretion.
Core Competencies Operations Management • Laboratory Operations • Patient Care & Assessment • Health Administration • Medication & Rehabilitation • Physical Examination • Clinical Exposures • Policy Compliance • Medical Records
Supervised 30 Safety representatives within 25 areas for incident investigation, regulation and policy compliance, as well as advising for resolution of discrepancies.
Areas of Expertise * Process Improvement * Policy Compliance * Training Delivery * Contracts Administrator * Vendor Management * Project Coordination * Customer Support * Business Analysis * Bilingual English & Spanish * Project Management PROFESSIONAL CAREER OVERVIEW
Finance - focused young professional holding a degree in economics with demonstrated skills in research, analysis and leadership qualified for entry - level positions in investment, business development and policy compliance.
Tags for this Online Resume: Telecommunications, Operations, Data Reporting, Training, Project Management, Policies Compliance
The VA expects the tool to help lenders quickly assess appraisal risk for VA policy compliance violations, over / under - valuations, and appraisal quality issues.

Not exact matches

The FDA's Compliance Policy Guide provides guidance on the regulation of [over the counter] and prescription homeopathic drugs and delineates those conditions under which homeopathic drugs may be marketed in the U.S.
Important factors that could cause actual results to differ materially from those reflected in such forward - looking statements and that should be considered in evaluating our outlook include, but are not limited to, the following: 1) our ability to continue to grow our business and execute our growth strategy, including the timing, execution, and profitability of new and maturing programs; 2) our ability to perform our obligations under our new and maturing commercial, business aircraft, and military development programs, and the related recurring production; 3) our ability to accurately estimate and manage performance, cost, and revenue under our contracts, including our ability to achieve certain cost reductions with respect to the B787 program; 4) margin pressures and the potential for additional forward losses on new and maturing programs; 5) our ability to accommodate, and the cost of accommodating, announced increases in the build rates of certain aircraft; 6) the effect on aircraft demand and build rates of changing customer preferences for business aircraft, including the effect of global economic conditions on the business aircraft market and expanding conflicts or political unrest in the Middle East or Asia; 7) customer cancellations or deferrals as a result of global economic uncertainty or otherwise; 8) the effect of economic conditions in the industries and markets in which we operate in the U.S. and globally and any changes therein, including fluctuations in foreign currency exchange rates; 9) the success and timely execution of key milestones such as the receipt of necessary regulatory approvals, including our ability to obtain in a timely fashion any required regulatory or other third party approvals for the consummation of our announced acquisition of Asco, and customer adherence to their announced schedules; 10) our ability to successfully negotiate, or re-negotiate, future pricing under our supply agreements with Boeing and our other customers; 11) our ability to enter into profitable supply arrangements with additional customers; 12) the ability of all parties to satisfy their performance requirements under existing supply contracts with our two major customers, Boeing and Airbus, and other customers, and the risk of nonpayment by such customers; 13) any adverse impact on Boeing's and Airbus» production of aircraft resulting from cancellations, deferrals, or reduced orders by their customers or from labor disputes, domestic or international hostilities, or acts of terrorism; 14) any adverse impact on the demand for air travel or our operations from the outbreak of diseases or epidemic or pandemic outbreaks; 15) our ability to avoid or recover from cyber-based or other security attacks, information technology failures, or other disruptions; 16) returns on pension plan assets and the impact of future discount rate changes on pension obligations; 17) our ability to borrow additional funds or refinance debt, including our ability to obtain the debt to finance the purchase price for our announced acquisition of Asco on favorable terms or at all; 18) competition from commercial aerospace original equipment manufacturers and other aerostructures suppliers; 19) the effect of governmental laws, such as U.S. export control laws and U.S. and foreign anti-bribery laws such as the Foreign Corrupt Practices Act and the United Kingdom Bribery Act, and environmental laws and agency regulations, both in the U.S. and abroad; 20) the effect of changes in tax law, such as the effect of The Tax Cuts and Jobs Act (the «TCJA») that was enacted on December 22, 2017, and changes to the interpretations of or guidance related thereto, and the Company's ability to accurately calculate and estimate the effect of such changes; 21) any reduction in our credit ratings; 22) our dependence on our suppliers, as well as the cost and availability of raw materials and purchased components; 23) our ability to recruit and retain a critical mass of highly - skilled employees and our relationships with the unions representing many of our employees; 24) spending by the U.S. and other governments on defense; 25) the possibility that our cash flows and our credit facility may not be adequate for our additional capital needs or for payment of interest on, and principal of, our indebtedness; 26) our exposure under our revolving credit facility to higher interest payments should interest rates increase substantially; 27) the effectiveness of any interest rate hedging programs; 28) the effectiveness of our internal control over financial reporting; 29) the outcome or impact of ongoing or future litigation, claims, and regulatory actions; 30) exposure to potential product liability and warranty claims; 31) our ability to effectively assess, manage and integrate acquisitions that we pursue, including our ability to successfully integrate the Asco business and generate synergies and other cost savings; 32) our ability to consummate our announced acquisition of Asco in a timely matter while avoiding any unexpected costs, charges, expenses, adverse changes to business relationships and other business disruptions for ourselves and Asco as a result of the acquisition; 33) our ability to continue selling certain receivables through our supplier financing program; 34) the risks of doing business internationally, including fluctuations in foreign current exchange rates, impositions of tariffs or embargoes, compliance with foreign laws, and domestic and foreign government policies; and 35) our ability to complete the proposed accelerated stock repurchase plan, among other things.
Canada's digital privacy laws should focus on preventing «concrete harm,» not abstract concepts of autonomy and human dignity, and should minimize the compliance burden on businesses, according to a new report from the Macdonald - Laurier Institute for Public Policy.
In a statement to The Washington Post, Disney said it «has a robust COPPA compliance program, and we maintain strict data collection and use policies for Disney apps created for children and families.»
As part of the settlement, Qualcomm will retain two independent consultants to make policy recommendations that will ensure an equitable workplace, and the company will appoint an internal compliance officer to oversee the implementation of the agreement's terms.
The waivers are intended for facilities producing less than 75,000 barrels per day (bpd) that can also prove compliance with the policy would cause them «disproportionate economic hardship.»
For a general sense of the contractor's security policy and practices, review their ISO 27002 compliance statement.
Led by this team, the company will establish and implement various compliance policies for compliance management and provide enterprise - wide training.
«Although policies and procedures requiring reporting were in place, training and compliance measures were lacking.»
As the former VP of Compliance and Customer Trust at Amazon and the chief privacy leader and senior counsel for Information Governance at GE, O'Connor has worked with companies to create those privacy boundaries and policies.
«A determination of responsiveness within those companies encompasses analysis of environment, workplace, community citizenship, corporate regulatory compliance and product integrity policies and practices of the company being considered for investment,» Mr Ashe said.
Comments received by the Department and media reports also indicate that many financial institutions already had completed or largely completed work to establish policies and procedures necessary to make the business structure and practice shifts required by the Impartial Conduct Standards earlier this year (e.g., drafting and implementing training for staff, drafting client correspondence and explanations of revised product and service offerings, negotiating changes to agreements with product manufacturers as part of their approach to compliance with the PTEs, changing employee and agent compensation structures, and designing conflict - free product offerings), and the Department believes that financial institutions may use this compliance infrastructure to ensure that they meet the Impartial Conduct Standards after taking the additional Start Printed Page 16910sixty days for an orderly transition between June 9, 2017, and January 1, 2018.
Eric Ries, Entrepreneur & Author, The Lean Startup Justin Rosenstein, Co-Founder, Asana Alec Ross, Author, The Industries of the Future Javier Saade, Venture Capitalist; Former Associate Administrator, SBA Chris Sacca, Founder / Chairman, Lowercase Capital Dave Samuel, Co-Founder, Freestyle Capital Julie Samuels, Executive Director, Tech: NYC Reshma Saujani, Founder, Girls Who Code Chris Schroeder, Venture Investor; Author, Startup Rising Jake Schwartz, Co - Founder / CEO, General Assembly Robert Scoble, Entrepreneur in Residence and Futurist, Upload VR Kim Malone Scott, CEO, Candor, Inc; Former Director, Google Tina Sharkey, Partner, Sherpa Foundry & Sherpa Capital Clara Shih, Co - Founder / CEO, Hearsay Social Shivani Siroya, Founder / CEO, InVenture Steve Smith, Executive Director, Public Policy Institute, Government Relations & Telecommunications Project, Rainbow PUSH Coalition Jonathan Spalter, Chair, Mobile Future DeShuna Spencer, CEO, kweliTV Katie Stanton, CMO, Color Genomics; Former VP of Global Media, Twitter Jenny Stefanotti, Co-Founder, OneProject; Board of Directors, Ushahidi Debby Sterling, Founder / CEO, Goldiblox Seth Sternberg, Co - Founder / CEO, Honor Margaret Stewart, Vice President of Product Design, Facebook Jeremy Stoppelman, CEO, Yelp Michael Stoppelman, SVP, Engineering, Yelp Baratunde Thurston, Former supervising producer, The Daily Show with Trevor Noah; Co-Founder, Cultivated Wit Stephanie Tilenius, Founder / CEO, Vida Health; Board of Directors, Seagate Technology Richard D. Titus, Entrepreneur; SVP, Samsung Anne Toth, VP of Policy & Compliance, Slack Bill Trenchard, Partner, First Round Capital April Underwood, VP of Product, Slack Max Ventilla, Founder / CEO, AltSchool Tabreez Verjee, Co - Founder / Partner Uprising; Board Director Kiva.org Jimmy Wales, Founder of Wikipedia Hunter Walk, Partner, Homebrew VC; Former Director of Product Management, Google Tristan Walker, Founder / CEO, Walker & Company Brands, Inc.; Founder / Chairman, Code 2040 Ari Wallach, CEO, Synthesis Corp..
Data in the enterprise is always a subject of security, compliance, and access control policies.
The other requirements of these PTEs, including representations of fiduciary compliance, contracts, warranties about firm's policies and procedures, etc., will not become applicable during the period in which the Department performs the mandated examination of the Rule and PTEs.
I provide unique accounting and consulting services to assist small businesses with DCAA compliance issues, SBIR / STTR pre-award audits, policies and procedures, timesheets, travel (FTR), developing indirect cost rates, federal reporting requirements.
Our Board, upon the recommendation of our Corporate Governance and Nominating Committee, has a stock ownership policy that requires each independent director to beneficially own at least 5,000 shares of Common Stock or vested RSUs within two years of becoming a director; all of our independent directors are in compliance with this policy.
The company would have to file a notice with the regulatory department; pay a registration fee of $ 250; provide evidence of registration with FinCEN as a money services business; agree to not invest or pledge virtual currency in its custody or control on behalf of others or to engage in the exchange or transfer of legal tender; and prove its policies for reporting, disclosures, and compliance.
monitoring workforce management programs; establishing compensation policies and practices for service on the Board and its committees, including annually reviewing the appropriate level of director compensation and recommending to the Board any changes to that compensation; developing stock ownership guidelines for directors and executive officers and monitoring compliance with such guidelines; and annually evaluating its performance and its charter.
based in part on their business line performance, and thus presented the potential for excessive risk taking, the HRC concluded that the emphasis on overall Company performance in compensation decisions, the existence of robust compliance, internal control, disclosure review and reporting programs and clawback policies, the Code of Ethics prohibition on, and right to discipline employees for manipulating business goals for compensation purposes and its prohibitions on derivative and hedging transactions in Company common stock, and the Company's stock ownership guidelines provided adequate safeguards that would either prevent or discourage excessive risk taking.
For the purposes of this section, «internal purposes» shall include the conduct of surveys, marketing studies and promotional activities, program planning, evaluation and audits for the Asia Pacific Foundation of Canada, the monitoring of compliance with the terms and conditions of use and the privacy policy set out in this legal notice, and upon notice to the User, editorial and feedback purposes.
«Franchisors will have to put into place compliance networks,» said Michael Lotito, co-chair of Littler's Workplace Policy Institute, part of global employment and labor law firm Littler Mendelson, P.C. Lotito warns compliance - related costs may eventually trickle down to consumers.
Every week we chat with leading thinkers in compliance, auditing, risk management, public policy and more.
The Code of Ethics covers topics such as financial reporting, conflicts of interest and compliance with laws, rules, regulations and our policies.
He established the best execution policies and is responsible for monitoring compliance of trades daily.
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