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Read clinical record data from the HealthKit store.

Frameworks

Overview

HealthKit’s clinical record support lets you read Fast Healthcare Interoperability Resources (FHIR) from the HealthKit store. Users can download their FHIR records from supported healthcare institutions. The system then updates the records in the background on a regular basis.

Instead of focusing on documents, FHIR breaks the user's medical history into discrete records. HealthKit then represents each FHIR record as an sample that stores a single condition, procedure, or result.

To use clinical records, you must request permission to read each record type. Then, use HealthKit’s queries to access the individual records. Finally, you need to parse and handle each record’s FHIR JSON data.

Due to their sensitive nature, clinical records have additional setup requirements. First, when you enable your app’s HealthKit capabilities, you must also enable Health Records, as shown in Figure 1 .

Figure 1

Enabling the Health Record capabilities

Next, you must provide a Health Records Usage string in your app’s Info.plist file, as shown in Scott Striped Silk Blouse ALC Genuine For Sale tjoxA9
. Use this string to describe what your app does with the user’s records, and why it's important for the the user to share this data.

Figure 2

Setting the Health Records Usage string

You request authorization to read clinical records using the HKClinicalTypeIdentifier enumeration. This enumeration specifies the types of FHIR data supported by HealthKit. You must request permission to read all the types that your app intends to use. Additionally, clinical records are read-only, so you can’t request authorization to share clinical record types. You can’t create or save new HKClinicalRecord objects.

You can request authorization of clinical record types and regular HealthKit types in the same method call; however, HealthKit presents the clinical record types in a separate permission sheet to ensure the user understands exactly what they're approving.

Like all HealthKit apps, apps that read clinical record data must have a valid Privacy Policy URL in the app store submission. This URL appears as a link on the clinical record permission sheet. Make sure the URL works as expected, and is both accessible and legible on supported iOS devices.

You can use HealthKit’s regular queries to look up clinical records.

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Don Julio Real Tequila

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89 /100

3 Amigos Organic Blanco Tequila

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El Padrino Blanco

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· 15 days ago

Fortaleza blanco

I LOVE TEQUILAS AND HAD TRIED MANY TEQUILAS FROM MEXICO.I HAVE BEEN DRINKING FORTALEZA FOR ABOUT 6 YEARS NOW AND AFTER TRYING MANY BLANCOS I STILL PREFER FORTALEZA FOR ITS GREAT FRESH AGAVE TASTE WITH KEYNOTES OF LIME VERY UNIQUE AND SATISFYING. HARDLY NO BURN AT ALL COMPARED TO OTHER BLANCOS.VERY GENUINE HANDCRAFTED FROM BEGINING TO END.EXTREMELY VERY HIGH QUALITY IF YOU ASK ME. DONT MIX THIS DRINK JUST DRINK IT STRAIGHT SHOT GLASS TO REALLY APPREACIATE THE FLAVOR OF THIS TEQUILA. RECOMEND ALSO FORTALEZA REPOSADO

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· 22 days ago

Best tequila

It did not surprise me that experts placed this tequila on their top ten. Amazingly smooth for sipping or in a margarita. Hands down my all time favorite.

2 people found this review helpful. 0 people did not find this review helpful.
· 7 months ago

Man, this is an amazing tequila. So smooth, and deep, and complex...I've never had a blanco tequila like this before. It has that sort of "echo in your mind" quality that long-aged spirits have and yet it hasn't been aged at all. I really have no complaint, but just know that this is a tequila to be enjoyed as a sipping tequila or maybe as shots...this would be difficult to make margaritas or other cocktails with. If you are looking for a highly versatile tequila for shots/cocktails/etc. you might want to go with something like Patron silver or Cazul, but if you want to relax and enjoy some very high-quality tequila, this stuff is top-notch.

8 people found this review helpful. 0 people did not find this review helpful.
· 4 months ago

Good review... BUT... Patron is a bit light (and too expensive) for mixing, you need a tequila with a stronger agave flavor so it does not disappear in a margarita or other mix... and you don't need to spend much to get that... Olmeca Altos Blanco is a great mixer with excellent flavor... even low-price Camarena works... for a BIG agave flavor, try Manik Blanco! JMHO... Skoal!

3 people found this comment helpful. 1 person did not find this comment helpful.
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Entities are words or phrases in utterances that are key data in your application’s domain.

Entity compared to intent

The entity represents a word or phrase inside the utterance that you want extracted. An utterance can include many entities or none at all. An entity represents a class including a collection of similar objects (places, things, people, events or concepts). Entities describe information relevant to the intent, and sometimes they are essential for your app to perform its task. For example, a News Search app may include entities such as “topic”, “source”, “keyword” and “publishing date”, which are key data to search for news. In a travel booking app, the “location”, “date”, "airline", "travel class" and "tickets" are key information for flight booking (relevant to the "Bookflight" intent).

By comparison, the intent represents the prediction of the entire utterance.

Entities are data you want to pull from the utterance. This can be a name, date, product name, or any group of words.

While intents are required, entities are optional. You do not need to create entities for every concept in your app, but only for those required for the app to take action.

If your utterances do not have details your bot needs to continue, you do not need to add them. As your app matures, you can add them later.

If you are not sure how you would use the information, add a few common prebuilt entities such as datetimeV2, ordinal, email, and phone number.

If the word choice or word arrangement is the same, but doesn't mean the same thing, do not label it with the entity.

The following utterances, the word fair is a homograph. It is spelled the same but has a different meaning:

If you wanted an event entity to find all event data, label the word fair in the first utterance, but not in the second.

Entities are shared among intents. They don't belong to any single intent. Intents and entities can be semantically associated but it is not an exclusive relationship.

In the utterance "Book me a ticket to Paris", "Paris" is an entity of type location. By recognizing the entities that are mentioned in the user’s input, LUIS helps you choose the specific actions to take to fulfill an intent.

All intents, including the None intent, should have entities labeled. This helps LUIS learn more about where the entities are in the utterances and what words are around the entities.

LUIS offers many types of entities; prebuilt entities, custom machine learned entities and list entities.

Prebuilt entities are custom entities provided by LUIS. Some of these entities are defined in the open-source Recognizers-Text project. There are many examples in the /Specs directory for the supported cultures. If your specific culture or entity isn't currently supported, contribute to the project.

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The FOGAIN (whose entire legal name is FONDO GENERAL DE GARANTÍA DE INVERSIONES) is the Investors Compensation Scheme for entities providing investment services, other than credit entities (credit entities are covered by the Fondo de Garantía de Depósitos).

The FOGAIN has been established to compensate, with the quantitative limits legally established, to those clients of any of the above entities in respect of which the following occurs:

The FOGAIN has been legally established as a Fund that is managed by a managing entity called the Gestora del Fondo General de Garantía de Inversiones, S.A. ("Gestora").

All Spanish investment firms, with the exception of EAFIS (Empresas de Asesoramiento Financiero) including portfolio managers (Sociedades Gestoras de Carteras), brokers (Agencias de Valores) and broker-dealers (Sociedades de Valores) are mandatory members ("Entidades Adheridas") of the FOGAIN. Becoming a member of the FOGAIN is mandatory for branches in Spain of foreign investment firms incorporated in a non-EU country. Branches in Spain of foreign investment firms incorporated in another EU country may also join the FOGAIN if they decide to do so.

In addition to the above, those Spanish UCITS Managers ("Sociedades Gestoras de Instituciones de Inversión Coleciva") and Managers of Alternative Investment Funds closed-ended type ("Sociedades Gestoras de Entidades de Inversión de Tipo Cerrado")authorised to provide discretionary portfolio management and other investment services and ancillary services to individuals, must also join the FOGAIN. In this latter cases, only those clients receiving that service will be covered by the FOGAIN. Consequently UCITS portfolios are not covered by the FOGAIN.

The FOGAIN is founded basically with the contributions made on an annual basis by its members. In addition to that, the FOGAIN may arrange credit transactions with commercial banks and with the CNMV in the event it were necessary to attend payment needs.

The FOGAIN is subject to supervision by the Spanish securities markets regulator (the Comisión Nacional del Mercado de Valores or CNMV).

The FOGAIN (whose entire legal name is FONDO GENERAL DE GARANTÍA DE INVERSIONES) is the Investors Compensation Scheme for entities providing investment services, other than credit entities (credit entities are covered by the Fondo de Garantía de Depósitos).

The FOGAIN has been established to compensate, with the quantitative limits legally established, to those clients of any of the above entities in respect of which the following occurs:

The FOGAIN has been legally established as a Fund that is managed by a managing entity called the Gestora del Fondo General de Garantía de Inversiones, S.A. ("Gestora").

All Spanish investment firms, with the exception of EAFIS (Empresas de Asesoramiento Financiero) including portfolio managers (Sociedades Gestoras de Carteras), brokers (Agencias de Valores) and broker-dealers (Sociedades de Valores) are mandatory members ("Entidades Adheridas") of the FOGAIN. Becoming a member of the FOGAIN is mandatory for branches in Spain of foreign investment firms incorporated in a non-EU country. Branches in Spain of foreign investment firms incorporated in another EU country may also join the FOGAIN if they decide to do so.

In addition to the above, those Spanish UCITS Managers ("Sociedades Gestoras de Instituciones de Inversión Coleciva") and Managers of Alternative Investment Funds closed-ended type ("Sociedades Gestoras de Entidades de Inversión de Tipo Cerrado")authorised to provide discretionary portfolio management and other investment services and ancillary services to individuals, must also join the FOGAIN. In this latter cases, only those clients receiving that service will be covered by the FOGAIN. Consequently UCITS portfolios are not covered by the FOGAIN.

The FOGAIN is founded basically with the contributions made on an annual basis by its members. In addition to that, the FOGAIN may arrange credit transactions with commercial banks and with the CNMV in the event it were necessary to attend payment needs.

The FOGAIN is subject to supervision by the Spanish securities markets regulator (the Comisión Nacional del Mercado de Valores or CNMV).

To obtain a list of the entities that are currently covered by the FOGAIN please click here (Spanish only).

To obtain a list of the entities that are currently covered by the FOGAIN please click here (Spanish only).

The coverage of the FOGAIN is triggered when one of the entities covered becomes insolvent and as a consequence of that, an investor cannot recover its securities and/or moneys.

Insolvency means that one of the following circumstances is present:

When any of the circumstances above is present, the FOGAIN will compensate to those firm's clients that comply with certain legal requirements.

The coverage of the FOGAIN is triggered when one of the entities covered becomes insolvent and as a consequence of that, an investor cannot recover its securities and/or moneys.

Insolvency means that one of the following circumstances is present:

When any of the circumstances above is present, the FOGAIN will compensate to those firm's clients that comply with certain legal requirements.

In order to be entitled to receive a compensation from the FOGAIN an investor must fulfil the following conditions:

In order to be entitled to receive a compensation from the FOGAIN an investor must fulfil the following conditions:

If you are an investor, and you think that you are entitled to obtain a compensation from the FOGAIN according to that stated in the previous Section, you may deliver an application form to the SOCIEDAD GESTORA DEL FONDO GENERAL DE GARANTÍA DE INVERSIONES, S.A. (which is the company that manages the FOGAIN) attaching a copy of your updated identification card .

The form can be delivered directly in the offices of the FOGAIN, attaching a copy of it so that you can keep a registered copy with you.

You can also send the form with copy of it attached, to the FOGAIN offices by courier or by mail. The FOGAIN will, in this latter case, send you back a registered copy of your form.

The address of the FOGAIN offices are the following: Paseo de la Habana, 82, 1º Dcha, 28036 MADRID, Spain.

Once the FOGAIN had received your application form, it will conduct a number of checking activities to assert that you had a credit position vis a vis the insolvent firm and you have not been able to recover it. To this end, the FOGAIN may request from you the remittance of additional documentation or additional information. Please note that conducting these checking activities is mandatory for the FOGAIN and that it may take some time to finish them.

Once the FOGAIN has checked that you have a credit position the insolvent firm, and provided that you are not one of theinvestors excludedfrom the coverage of the FOGAIN, you will be recognized to have a right to a compensation, and will be informed of the relevant amount.

In the event that you do not agree with the FOGAIN resolution, you may let it know and provide the FOGAIN with any additional documents or allegations you may deemed appropriate.

Any final resolution by the FOGAIN is subject to revision of the ordinary Courts.

If you are an investor, and you think that you are entitled to obtain a compensation from the FOGAIN according to that stated in the previous Section, you may deliver an application form to the SOCIEDAD GESTORA DEL FONDO GENERAL DE GARANTÍA DE INVERSIONES, S.A. (which is the company that manages the FOGAIN) attaching a copy of your updated identification card .

The form can be delivered directly in the offices of the FOGAIN, attaching a copy of it so that you can keep a registered copy with you.

You can also send the form with copy of it attached, to the FOGAIN offices by courier or by mail. The FOGAIN will, in this latter case, send you back a registered copy of your form.

The address of the FOGAIN offices are the following: Paseo de la Habana, 82, 1º Dcha, 28036 MADRID, Spain.

Once the FOGAIN had received your application form, it will conduct a number of checking activities to assert that you had a credit position vis a vis the insolvent firm and you have not been able to recover it. To this end, the FOGAIN may request from you the remittance of additional documentation or additional information. Please note that conducting these checking activities is mandatory for the FOGAIN and that it may take some time to finish them.

Once the FOGAIN has checked that you have a credit position the insolvent firm, and provided that you are not one of theinvestors excludedfrom the coverage of the FOGAIN, you will be recognized to have a right to a compensation, and will be informed of the relevant amount.

In the event that you do not agree with the FOGAIN resolution, you may let it know and provide the FOGAIN with any additional documents or allegations you may deemed appropriate.

Any final resolution by the FOGAIN is subject to revision of the ordinary Courts.

Address of the FOGAIN Managing Entity:

Paseo de la Habana, 82, 1º Dcha. 28036 Madrid (Spain)

Telephone: + 34 91 443 06 50.

Address of the FOGAIN Managing Entity:

Paseo de la Habana, 82, 1º Dcha. 28036 Madrid (Spain)

Telephone: + 34 91 443 06 50.

PASEO DE LA HABANA, 82 1º Dcha. 28036 MADRID

+34 91 443 06 50

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