This provision obviously was to cater for unplanned eventualities and gave
the necessary authorization for the conduct of these elections.
Not exact matches
«In this second phase I am personally following very closely the property insurers that have not yet settled important and
necessary claims
for vital service sectors, and they can be sure that I will see this through, whatever the consequences may be, including suspending the
authorization of the insurers to continue to do insurance business in Puerto Rico, until they have settled all outstanding claims.
A bill to amend the Federal Power Act to modernize
authorizations for necessary hydropower approvals.
Arrangement of
necessary authorizations and licences
for transport of nuclear materials and radioactive substances.
The twin principles upon which rests the so - called Solomon Amendment [to the fiscal 1983 Defense Department
authorization bill, passed last year], which denies federal assistance to students who fail to register
for a potential military draft, are these: It is the first priority of our federal government to preserve freedom and national security, and it is the primary responsibility of free citizens to obey the laws that are
necessary to guarantee...
Authorization for HHS certified laboratories to initiate electronic reporting as the only reporting
necessary for negative results on specimens submitted to laboratories using the new CCF and the reporting of non-negative results using faxed or scanned copies of Copy 1 of the new CCF.
However,
for emergency cases, the referring veterinarian will be consulted first to request
authorization to transfer a patient to the appropriate specialty team
for further care, if
necessary.
--
For the purposes of coordination and processing of oil and gas use authorizations for the Alaska outer Continental Shelf region, the Secretary may authorize the expenditure or transfer of such funds as are necessary to
For the purposes of coordination and processing of oil and gas use
authorizations for the Alaska outer Continental Shelf region, the Secretary may authorize the expenditure or transfer of such funds as are necessary to
for the Alaska outer Continental Shelf region, the Secretary may authorize the expenditure or transfer of such funds as are
necessary to --
Thus, in suits
for damages based on violations of federal statutes lacking any express
authorization of a damage remedy, this Court has authorized such relief where, in its view, damages are
necessary to effectuate the congressional policy underpinning the substantive provisions of the statute.
That is why the Ontario government is required, in setting up «public facing» authentication systems
for transactions between the government and the public, to prepare not only a TRA but a PIA — a privacy impact assessment, to ensure that no more personal information is being sought than
necessary, and that the information is protected against misuse (Government of Ontario Policy
for Public Facing Identification, Authentication and
Authorization, Version 8.1, April 2010, section 3.
If you have requested an
authorization, but it has been withheld
for more than 30 days, with no stated reason, the treating physician may provide care, if
necessary to promote or protect you health or welfare.
On this basis, specific judicial
authorization is
necessary in order
for a computer to be searched:
We also permit health plans to condition payment of a claim
for specified benefits on the individual's
authorization for the disclosure of information maintained by another covered entity to the health plan, if the disclosure is
necessary to determine payment of the claim.
For example, these authorizations may be useful in situations where a health plan wants to obtain information from one provider in order to determine payment of a claim for services provided by a different provider (e.g., information from a primary care physician that is necessary to determine payment of services provided by a specialist) or where an individual's new physician wants to obtain the individual's medical records from prior physicia
For example, these
authorizations may be useful in situations where a health plan wants to obtain information from one provider in order to determine payment of a claim
for services provided by a different provider (e.g., information from a primary care physician that is necessary to determine payment of services provided by a specialist) or where an individual's new physician wants to obtain the individual's medical records from prior physicia
for services provided by a different provider (e.g., information from a primary care physician that is
necessary to determine payment of services provided by a specialist) or where an individual's new physician wants to obtain the individual's medical records from prior physicians.
Third, a health plan may condition payment of a claim
for specified benefits on obtaining an
authorization under § 164.508 (e)
for disclosure to the plan of protected health information
necessary to determine payment of the claim.
Therefore, it should be noted that the minimum
necessary requirements do not apply
for uses or disclosures made with an
authorization.
This prohibition is intended to prevent covered entities from coercing individuals into signing an
authorization for a use or disclosure that is not
necessary to carry out the primary services that the covered entity provides to the individual.
We expect
authorizations that permit another covered entity to use and disclose protected health information
for treatment, payment, and health care operations purposes will rarely be
necessary, because we expect covered entities that maintain protected health information to obtain consents that permit them to make anticipated uses and disclosures
for these purposes.
We believe it is appropriate to allow disclosure of protected health information without
authorization to private entities only:
For purposes that the FDA has, in effect, identified as national priorities by issuing regulations or express directions requiring such disclosure; or if such disclosure is necessary for a product reca
For purposes that the FDA has, in effect, identified as national priorities by issuing regulations or express directions requiring such disclosure; or if such disclosure is
necessary for a product reca
for a product recall.
We expect such
authorizations will rarely be
necessary, because we expect covered entities that maintain protected health information to obtain consents that permit them to make anticipated uses and disclosures
for these purposes.
Section 164.512 (k) of the final rule states that while individuals are in a correctional facility or in the lawful custody of a law enforcement official, covered entities (
for example, the prison's clinic) can use or disclose protected health information about these individuals without
authorization to the correctional facility or the law enforcement official having custody as
necessary for: (1) The provision of health care to such individuals; (2) the health and safety of such individual or other inmates; (3) the health and safety of the officers of employees of or others at the correctional institution; and (4) the health and safety of such individuals and officers or other persons responsible
for the transporting of inmates or their transfer from one institution or facility to another; (5) law enforcement on the premises of the correctional institution; and (6) the administration and maintenance of the safety, security, and good order of the correctional institution.
This
authorization must not be a condition of enrollment or eligibility, but may be a condition of payment of a claim
for specified benefits if the disclosure is
necessary to determine payment of the claim.
We anticipate these
authorizations will rarely be
necessary, since psychotherapy notes do not include information that covered entities typically need
for treatment, payment, or other types of health care operations.
The NPRM would have allowed covered entities to disclose protected health information without individual
authorization to: (1) A public health authority authorized by law to collect or receive such information
for the purpose of preventing or controlling disease, injury, or disability, including, but not limited to, the reporting of disease, injury, vital events such as birth or death, and the conduct of public health surveillance, public health investigations, and public health interventions; (2) a public health authority or other appropriate authority authorized by law to receive reports of child abuse or neglect; (3) a person or entity other than a governmental authority that could demonstrate or demonstrated that it was acting to comply with requirements or direction of a public health authority; or (4) a person who may have been exposed to a communicable disease or may otherwise be at risk of contracting or spreading a disease or condition and was authorized by law to be notified as
necessary in the conduct of a public health intervention or investigation.
This new provision permits covered entities to make disclosures
necessary for the effective functioning of OSHA and MSHA requirements, or those of similar state laws, by permitting a health care provider to make disclosures without the
authorization of the individual concerning work - related injuries or illnesses or workplace medical surveillance in situations where the employer has a duty under OSHA and MSHA requirements, or under a similar state laws, to keep records on or act on such information.
The proposal allowed a covered entity, when making disclosures to public officials that were permitted without individual
authorization but not required by other law, to reasonably rely on the representations of such officials that the information requested was the minimum
necessary for the stated purpose (s).
To ensure the covered health care provider or health plan is informed of what information the IRB or privacy board has determined may be used or disclosed without
authorization, the final rule also requires that the documentation of IRB or privacy board approval of the alteration or waiver describe the protected health information
for which use or access has been determined to be
necessary.
The final rule requires that the documentation of IRB or Start Printed Page 82537privacy board approval of the alteration or waiver of
authorization describe the protected health information
for which use or access has been determined to be
necessary for the research by the IRB or privacy board.
If the
authorization is
for a disclosure of information that is
necessary to determine payment of a claim
for specified benefits, however, the health plan requesting the
authorization may condition the payment of the claim on obtaining the
authorization from the individual.
The burden associated with these requirements is the time and effort
necessary for a covered entity to obtain written
authorization prior to the disclosure of individually identifiable health information.
While we eliminate from this section the provision requiring covered entities to obtain
authorization for use or disclosure of the minimum
necessary protected health information, § 164.514 (d)(4) requires covered entities to request only the minimum
necessary protected health information to accomplish the purpose
for which the request is made.
SpaceX eventually plans to launch 12,000 of the things, but this
authorization is
for the high - altitude group of 4,425; a separate
authorization is
necessary for the remaining number, since they'll be operating at a different altitude and radio frequency.
Perform duties as
necessary for network address, routing table configuration,
authorization of directory services, etc
Responsible
for obtaining all
necessary signature from physicians, staff and others as
necessary for authorizations, certification, doctor's orders and release of information from Hospice to other parties.
Verified demographics and secured all signatures and
authorizations necessary for treatments, release of medical information, assignment of insurance benefits and payment of services from legally responsible patients
• Collaborate with referring departments
for patients receiving treatments on the Infusion unit, and ensure that all
necessary authorizations are performed prior to patients receiving treatments.
Essential Duties · To welcome and serve all guests in an efficient, courteous and friendly manner whether face to face, on the phone or via email · To handle all guest compliments, comments, observations and complaints in a timely and effective manner, achieving guest satisfaction · To reserve, register and check out guests completely and accurately, following the procedures and policies set up
for this process · To utilize proper selling techniques and strategies to maximize room and outlet revenues · To ensure the proactive building of guest history · To process credit card
authorizations for each guest upon arrival and as needed during stay · To accurately post charges to group, guest, member and house accounts when
necessary · To forward messages to departments with regards to guest requests and expectations and to follow up on requests with the guest via email, phone, radio and / or trace system · To liaise with bellstaff in order to ensure that gift delivery, luggage service, parking and rooming is taken care of in a courteous and timely manner · To ensure the accuracy of billing
for each guest · To accurately account
for daily bank issuance · To order room drop items and ensure ancilliary charges are scheduled appropriately · Sell, make, process and mail gift certificates · To run nightly audit and separate guest tickets
for accounting · To maintain accurate house account excel spreadsheets · To run reports and perform some accounting duties (may include sales reports and statistics, processing and reconciling daily service charge breakdowns, completing billing instructions, etc).
Coordinates patient
authorization and all
necessary medical documentation and financial information required
for initiation of services
Generates all
necessary forms
for patient visit and obtains patient / parent / legal guardian signature
for Assignment /
Authorization and consent...
The Chasm Group, LLC and Chasm Institute, LLC (San Bruno, CA) 1997 — 2008 Business Operations Manager • Managed all daily operational tasks
for leading multi-million dollar high - tech market strategy consultancy, while providing executive administration to C - level executives and venture capital partners • Developed and managed the firm's annual budget, proposing and implementing expense cuts, producing monthly reports and financial statements, and coordinating with CPA firm
for accurate and timely filings • Oversaw all client relationship management efforts while cultivating new business efforts from concept to implementation, providing high - quality service in sales efforts while utilizing new lead tracking system • Negotiated and managed all contracts, stock grants, and financing arrangements, working closely with outside counsel to draft legal documents and resolve LLC - and proprietary - related issues • Led three office space build - outs and two office relocations, managing all aspects of each process under aggressive timeline and budget expectations • Reduced firm telecom expenses by 22 % by streamlining IT objectives, including migration to VOIP phone system, software / hardware purchases, domain renewals, and outsourced technical support • Directed all phases of staff recruitment while creating and implementing all HR policies and programs, including comprehensive employee benefits plans • Supervised multiple administrative staff members, conducted performance appraisals and wage / salary surveys in comparison to incentive program guidelines, and maintained HR files in accordance with legal mandates • Produced all out - going client invoices in an accurate and timely fashion to increase, cash flow and reduce aging receivables, providing consistent attention to overhead costs and vendor arrangements • Administered all company insurance policies, including E&O, general liability, bonds, partner life and disability, conducting annual benefits reviews and employee / company insurance audits • Obtained
necessary certificates
for consulting contracts while processing federal, state, and local business reporting requirements to maintain licenses and incorporation status • Directed all marketing efforts and oversaw logistical aspects of national educational workshop series, utilizing sponsorship arrangements to offset production costs • Transformed «brochure» website into a dynamic tool to better illustrate company opportunities through relevant case studies, as well as maintaining all other promotional media, including press kits and video Association of California School Administrators (Burlingame, CA) 1993 — 1997 Issues and Planning Committee Coordinator • Executed all phases of event planning and implementation
for a membership - driven organization including 23 state committees, 5 task forces, 6 strategic planning conferences, and a conference of 1,500 attendees • Focused on facility evaluations, bid requests, site visits, contract negotiations, and all pre - and post-conference planning processes • Produced statistical and financial reports, including budget projections and cost monitoring
for developmental training efforts • Oversaw all participant - level responsibilities, including inquiries, eligibility, registration, correspondence, and billing statements • Managed all legal professional standards calls
for Northern California regions, including the processing of attorney
authorizations, the preparation of legal assistance letters, and liens on cause of action • Served as second point of contact
for computer inquiries and troubleshooting efforts as well as provided back - up executive administrative support
for Executive Director, Committee Chairs, and the State Superintendent of Public Instruction • Held responsibility
for software installation and hardware configuration while performing weekly AS / 400 backup and report generation
Unlike past
authorizations of five or more years, this only provides two years of the funding certainty
necessary for projects to go forward.