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The trigger lists contain a significant amount of personal financial information.
Not all transfers of Trigger List items will require an Assurance.
When you seek a loan, the credit bureaus notice and they put you on a "trigger list."
If you intend to export certain types of sensitive nuclear equipment, some of these may appear on what is called the 'trigger list'.
These agreements and Trigger List have subsequently constituted the first major agreement on nuclear export regulations.
Trigger list in its most general meaning refers to a list whose items are used to initiate ("trigger") certain actions.
The "Trigger List" remained unchanged until 1991, although the Zangger list was regularly updated.
Sweden, Chair of a working group to consider addition of plutonium enrichment equipment to the Trigger List, reported no agreement as yet.
Unless the borrower is opted out, the credit bureaus put the applicants onto a "trigger list" of "leads" about persons who are interested in new loans.
To find information about the trigger list, see the guide the export of nuclear equipment, material and technology - 'Trigger List' requirements.
The so-called NSG Trigger List is a list of certain types of sensitive nuclear items.
This is the case in particular for nuclear items - equipment, material or technology - which are listed on what is known as the NSG Trigger List.
The list is called the Trigger List because the export of listed items 'Triggers' IAEA safeguard.
Members agreed that these materials fell outside the scope of NPT Article III.2 for inclusion on the Trigger List.
Download the NSG Part 1 Trigger List guidelines from the IAEA website.
So although for all other intra-community transfers of Trigger List items, a POCO is not required, an EUU will be.
American officials admit that the ring magnets, which are akin to those used in huge stadium loudspeakers, are not on the American "trigger list" for the Nonproliferation Act.
Chinese regulations in place cover both trigger list items (i.e., those items relevant to Article III of the NPT) and nuclear dual-use items.
Developments in the Zangger Committee included the admission of Turkey and the updating of the "Trigger list" of especially sensitive nuclear-related items to include uranium conversion exports.
Among the buyers of trigger lists are "lead generators" which resell filtered information to borrowers, e.g., of people who live in a certain area and have a certain credit score.
However, some items covered by the Trigger List are accompanied by conditions which must be met for an item to be classified as a Trigger List export.
The NSG uses the Trigger List, adapted to suit its own objectives, which were defined in a set of guidelines adopted in 1978 and published by the IAEA.
Essentially, any item included on the NSG Trigger List may be subject to an Assurance, which must be in place before the ECO can approve and issue an export licence.
The underlying requirement for a GTGA comes from the NSG Part 1 Trigger List Guidelines, where the Guidelines for nuclear transfers, stipulates:
The Committee drafted a "Trigger List" of "source or special fissionable materials" and "equipment or materials specially designed or prepared for the processing, use, or production of fissile materials".