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service and a consolidated system budget for career services applicable to more than one Partner <br />as indicated in the Comprehensive Cost Allocation and Partner Contributions. <br />AJCC Partners understand that while only collocated Partners share infrastructure costs, at this <br />time, all AJCC Partners must share in other System costs through non -cash (in -kind) <br />contributions as set forth herein. <br />17) DATA SHARING <br />"Workforce Services Directive 16-23 from the Employment Development Department and the <br />California Workforce Development Board, mandates the use of one integrated data system. <br />Accordingly, all Title I Workforce Innovation and Opportunity Act (WIOA) recipients and sub - <br />recipients are required to be direct entry into CaIJOBS." <br />Parties further agree that the collection, use, and disclosure of customers' personally identifiable <br />information (PII) is subject to various requirements set forth in Federal and State privacy laws. <br />Partners acknowledge that the execution of this MOU, by itself, does not function to satisfy all of <br />these requirements. <br />All data, including customer PII, collected, used, and disclosed by Partners will be subject to the <br />following: <br />a. Customer PII will be properly secured in accordance with the SAWDB's policies and <br />procedures regarding the safeguarding of PII; <br />b. The collection, use, and disclosure of customer education records, and the PII contained <br />therein, as defined under FERPA, shall comply with FERPA and applicable State privacy <br />laws; <br />c. All confidential data contained in Unemployment Insurance wage records must be <br />protected in accordance with the requirements set forth in 20 CFR part 603; <br />d. All personal information contained in Vocational Rehabilitation records must be protected <br />in accordance with the requirements set forth in 34 CFR 361.38; <br />e. Customer data may be shared with other programs, for those programs' purposes, within <br />the AJCC network only after the informed written consent of the individual has been <br />obtained, where required; <br />f. Customer data will be kept confidential, consistent with Federal and State privacy laws and <br />regulations; and, <br />g. All data exchange activity will be conducted in machine readable format, such as HTML <br />or PDF, for example, and in compliance with Section 508 of the Rehabilitation Act of 1973, <br />as amended (29 U.S.C. § 794 (d)). <br />All AJCC and Partner staff will be trained in the protection, use, and disclosure requirements <br />governing PII and any other confidential data for all applicable programs, including FERPA- <br />13 <br />