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The Family Educational Rights and Privacy Act

FERPA. The Family Educational Rights and Privacy Act. The Family Educational Rights and Privacy Act, known as FERPA, is a Federal law enacted by the United States Congress in 1974. The Act, sets forth requirements regarding the privacy of student records. FERPA governs

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The Family Educational Rights and Privacy Act

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  1. FERPA The Family Educational Rights and Privacy Act

  2. The Family Educational Rights and Privacy Act, known as FERPA, is a Federal law enacted by the United States Congress in 1974. The Act, sets forth requirements regarding the privacy of student records. FERPA governs the release of records maintained by the University and access to these records.

  3. The federal law requires that a written institutional policy complying with the Act be established and adopted procedures be Published. The Confidentiality of Student Records is our official policy. The policy is available for review in the University Policy Manual.

  4. The University of Toledo must… • Assure students that this data is used only for intended purposes. • Inform students of University record systems and identify what data is on the record. • Give students the opportunity to request a correction or an amendment to their record. • Make certain employees with access to the student information system protect student’s privacy.

  5. If a student requests records be released to a third party, the University may require written permission from the student before we do so. The information requested may be considered sensitive for an employment agency, another institution, or individual person.

  6. Students must provide written permission for release of sensitive information to anyone outside of the University. Examples are: Grade Point Average Grades Courses taken Student schedules

  7. Information release to the general public is known as “Directory Information” and is without the written consent of the student. However…… FERPA regulations allow students the right to restrict this information.

  8. Within FERPA guidelines, institutions decide what information they release as Directory Information. Therefore …. at the University of Toledo Directory Information released without written consent of the student is...

  9. DIRECTORY INFORMATION • Student name • Local address and local phone number • College and major field of study • Class (freshman, sophomore, etc.) • University E-mail address • Dates of attendance • Degrees, certificates, and awards received • Full-time or part-time enrollment status • Student photograph (College of Medicine Only) • Graduate Medical Education Placement (MD students only)

  10. Students may restrict release of their Directory Information by selecting the link, Update Directory InformationRelease/Status Release in the Studenttab at the myUTportalor by visiting Rocket Solution Central in Rocket Hall.

  11. When information is restricted… If a student decides to restrict Directory information, all information about them is confidential, requests for information will not be released to anyone, without the student’s written permission. Remember…. For our students protection, we will not discuss anything with themby telephone if they restrict their directory information.

  12. What are Educational Records? • Records that directly relate to a student • Records that are maintained by an educational • agency or institution or by a party acting for the • agency or institution. Examples are: Student Grade Records Financial Aid Records Student Account Records Admission Application Records

  13. Educational records are not… • Sole possession records • such as faculty/advisor personal notes • Law enforcement records • Records maintained for individuals as employees • yet records for individuals employed as a result of their status as a student (e.g. work study, student employees, etc..) are educational records • Medical/treatment records by means of a medical professional • then again, any medical issue a student shares with the university regarding their personal circumstances are educational records These records have their own rules for respecting privacy. They are not educational records and not subject to FERPA regulations.

  14. Who is allowed to view a student’s record?

  15. SchoolOfficials and employees of the University may review student records as long as there is a legitimate educational need to review these records. Faculty and staff members may review student records as long as they have an academic or administrative reason.

  16. It is not legal for school officials, faculty, staff, student worker or any other member of our campus community to access student records for non-educational purposes. Such access is considered a violation of FERPA and if allowed, the University is subject to fines from the Department of Education

  17. Faculty members must be careful when notifying students what grade they earned for a course or exam. Posting a grade in a public area that lists the student name, social security number (full or partial), or student identification number alongside the earned grade is strictly forbidden under FERPA regulations

  18. Posting Grades or notifications to students must not be done in a personally identifiable manner Do not use student name or ID number Do not post in alphabetic order Do not leave graded exams for student to pick-up Leaving graded personally identifiable papers in a hallway or on a desk for students is nodifferent from posting grades on a wall or website Email notification of grades is not recommended Institutions are held responsible if someone breaks into to the students e-mail account Secure websites, students must only see their own grade UseBlind copy when sending email notifications to a group of students.

  19. Protect Sensitive Information Students, faculty and staff expect data in University systems to be secure. Do not send sensitive information through e-mail or instant messenger unless password protected or encrypted Do store sensitive information on a secure university network drive, or password protect and encrypt information on computers Do secure your office, lock doors, lock file cabinets, and desk drawers Do password protect your computer

  20. What about parents? Do they have the right to view their child's educational records?

  21. Several years ago the Department of Education amended FERPA so that institutions have the option to allow parents to view their child’s educational records.

  22. The following statements summarize FERPA’s position regarding parental access to their child’s educational records • When a student reaches the age of 18 or begins attending a postsecondary institution, regardless of age, FERPA rights transfer from the parent to the student. • Parents may obtain directory information at the discretion of the institution. • Parents may obtain non-directory information (grades, GPA, etc.) at the discretion of the institution and only after it has been determined that their child is legally their dependent. • Parents may also obtain non-directory information by obtaining a signed consent from their child.

  23. You cannot discuss a student’s particular circumstances, you can talk with a parent and describe University policies and procedures, such as... registration add/drop policy billing procedures disciplinary process

  24. Students also have rights regarding their educational record…. (From FERPA regulations) Studentshave the right to inspect and review their records. The University may take up to 45 days before providing students this access. Former students have the same rights under FERPA as presently enrolled students. Deceased studentshave no FERPA rights. Individuals are not consider a student until he/she has registered for and attends his/her first class As provided by FERPA, individuals who are denied admission to the University do not have the right to review their education records (specifically denied applications). .

  25. Amendments to FERPA related to Anti-Terrorism Activities October 2001 amendments to the “USA Patriot Act of 2001” affect FERPA regulations.

  26. FERPA generally requires prior written consent from the parent or student before an educational agency or institution may disclose personally identifiable information from educational records to a third party. The law now includes exceptions to this general rule.

  27. The amendments to FERPA permit release of personal information from educational records to the Attorney General of the United States in connection with an investigation or prosecution of terrorism crimes, without the consent or knowledge of the student or parents. Requests for educational records must be accompanied by an Ex Parte order or a lawfully issued subpoena or court order.

  28. Health or Safety Exception In an emergency regarding Health or Safety, FERPA permits nonconsensual disclosure of educational records or personally identifiable, non-directory information in connection with a health or safety emergency if such knowledge is necessary to protect the health or safety of the student or other individuals.

  29. Things to remember… • FERPA is everyone’s responsibility • Directory Information is the only information • released without written consent of the student • When a student reaches the age of 18 or begins • attending a postsecondary institution, regardless of • age, FERPA rightstransfer from the parent to the • student. • Check the confidentiality status of students’ • to ensure compliance with privacy restrictions • When in doubt contact the Registrar’s Office regarding FERPA issues and student privacy.

  30. If you have any questions regarding FERPA, please contact: Office of the Registrar 419.530.4836 Registrar@utoledo.edu

  31. FERPA Test True or False? • Faculty members have the right to review • educational records of any student who is • enrolled in their class. FALSE – There must be an educational ‘need to know’ or a legitimate educational interest. Faculty and staff members may inspect student records as long as their intent is academically or administratively related to their class.

  32. 2. When a student record is restricted, we may verify the local address on file when contacted by telephone. FALSE – If the student has restricted their information, do not discuss any information over the telephone.

  33. 3. An advisors personal notes do not have to be released to a student. • TRUE – “Sole possession” concept. • Records that are kept in the sole possession • of the maker, are used only as a personal • memory aid, and are not accessible or • revealed to any other person except a • temporary substitute.

  34. 4. Only in the case of an emergency, may we tell a student’s spouse where the student is on campus, provided they have the student’s ID number, birth date, and current address. FALSE – The student’s schedule is not Directory Information and may only be released with prior written consent.

  35. 5. Graded assignments may be placed on a table or in a hallway for students to pick up after class when the student’s ID number is not visible. FALSE - Faculty should never place graded examinations or assignments in a public location where student identifying information such as a name or student ID number links the student with the grade. Also, faculty should not ask another student to “pass out” graded examinations.

  36. 6. Faculty members may display a student’s course work during class. FALSE - Faculty should never display a students assignment without prior written permission to do so regardless of the circumstances. Doing so may inadvertently display sensitive information.

  37. 7. Grades may be sent to students via University e-mail. FALSE – Notification of grades via e-mail is not recommended. There is no guarantee of confidentiality on the Internet. The institution would be held responsible if an unauthorized third party gained access, in any manner, to a student's education record through any electronic transmission method.

  38. 8. School officials awarding academic scholarships need students written permission to review records. FALSE - If it is the responsibility of the school official in question to review student records for the awarding of a possible scholarship, then this school official is said to have a legitimate educational purpose to do so.

  39. 9. A dependent students custodial parent may submit a notarized statement preventing the release of their child's educational records to the other parent. FALSE – If one parent claims the student as a dependent for income tax purposes, the institution may disclose information to either parent.

  40. 10. If a police officer comes to your office to find a student who he has attempted to catch up with for a week you may provide the officer with the student’s schedule. FALSE - The release of non-directory information is appropriate only if “necessary to protect the health or safety of the student or other individuals”.

  41. 11. A parent may receive their child's grades by faxing a copy of his current tax return proving that their child is a dependent. FALSE – Income tax returns should be provided in person along with the parents identification. Suggest that the student order a transcript to be mailed to his parents address or have the student access Self Services from home.

  42. FERPA presentation provided by: Office of the Registrar Office Contact: Sharon Standifer 419.530.4836 Sharon.Standifer@utoledo.edu NOTE: The information shown here is general information about FERPA to acquaint all users of University computer resources with some of the privacy issues surrounding student educational records. It is not all-inclusive nor is it a substitute for legal advice on any particular issue.

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