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FERPA
Overview
Family Education Rights and Privacy Act (FERPA)
An Overview for members of the Bates Community
This webpage provides the basics on this complex law as it relates
to educational records at Bates College. It is important that
all staff who have access to or manage educational records be
informed about this law. Notification of FERPA rights is included
annually in the Bates College Catalog and Student Handbook. Questions
regarding FERPA should be directed to the Registrar and Student
Financial Services office.
FERPA (20 U.S.C 1232g and 34 CFR 99), also known as the Buckley
Amendment, applies to all educational institutions and agencies
that receive funds under any program administered by the U.S.
Secretary of Education. The law provides three fundamental rights
to students:
• Right to inspect and review education records
• Right to request to amend education records
• Right to limit disclosure of "personally identifiable
information" contained in education records
I. Who has FERPA protections?
At the post secondary level, FERPA rights are afforded to the
student. There is no age requirement, and FERPA rights begin
once a student is in attendance and continue until the student’s
death. Rights are not afforded to parents
of students, however parents who claim a student as a dependent
may have access to education records unless the student specifically
prohibits it.
II. What are education records?
Education records are defined as records that are:
1) directly related to a student; and
2) maintained by Bates College or any party acting for Bates
College.
This means that education records consist of any record maintained
in any way, including but not limited to:
• print, including handwritten notes
• film, including microfilm and microfiche
• computer media
• e-mail (including e-mail that has been deleted but still
exists in the computer system)
There are exceptions to the definition of education records:
1) Sole possession records. These are records that are not revealed
to anyone else, and applies in situations when the record is
an informal "memory jogger" to the individual making
the record. A record made in conjunction with a student is not
a sole possession record.
2) Records created and maintained by a Security official for
law enforcement purposes. If a copy of the record is provided
to another campus official, the record maintained by Security
is not an education record, but the copy is
deemed to be an education record.
3) Employment records. Any record that is made regarding an
individual’s employment is generally not an education record
unless the employment is contingent upon the individual attending
the institution.
4) Medical records made and maintained in connection with treatment
and disclosed only to individuals providing treatment.
5) Records that contain only information about an individual
after she or he is no longer a student at Bates. This exception
only pertains to information gathered after the student has left
Bates College, for example some records
maintained by the Office of Alumni and Development.
III. What must Bates College officials do to protect FERPA rights
and be in compliance with the law?
1) Right to inspect and review education records
Bates must comply with student requests to inspect and review
education records within 45 calendar days of receipt of the request.
Bates is not required to provide copies of records unless the
student is not located within commuting distance. In these cases,
unofficial copies of records must be provided. Bates College
is not required to release an official copy of the student’s
transcript if there are outstanding balances on the student’s
account or if other holds have been placed on the release of
the official transcript.
Bates does not have to provide confidential letters and statements
of recommendation if the student has waived his or her right
to inspect and review them, and if related to:
a) admission to another educational institution,
b) application for employment,
c) receipt of an honor or honorary recognition.
Bates does not have to provide students with access to financial
records of parents.
2) Right to request to amend education records
Bates students may exercise this right upon written request
to the Dean of Students. The procedure is outlined in the Bates
Student Handbook.
3) Right to limit disclosure of personally identifiable information
Personally identifiable information is basically any information
that would directly identify the student or make the student’s
identity easily traceable. This may be released only in limited
circumstances that include:
• prior consent from the student. (A student has provided
a signed and dated written consent that specifies the records
that may be disclosed, the purpose of the disclosure, and the
party to whom disclosure may be made.) For example, such a statement
must be provided by Bates students and alumni to release a transcript.
• information that Bates has designated as "directory
information." A student is given the opportunity each year
to request that directory information be withheld by informing
the Registrar’s office. This means that no college publications
will include personably identifiable information and no such
information may be released to a third party. Students do not
have the option of having some directory information released,
and some withheld. If the student has not indicated that directory
information be withheld, Bates College
may, but does not have to, release the information. (What this
means is that if a Bates staff member does not feel comfortable
about releasing information in a particular situation, it is
acceptable to withhold the information.)
Bates College considers the following directory information:
name, address (including e-mail address), phone number, major,
secondary concentration, photographs, participation in officially
recognized activities and sports, dates of attendance, degrees
and awards.
• to school officials who have a legitimate educational
interest. This would include faculty members who, in order to
advise or write a recommendation for a student, require access
to a student’s record. The Bates staff member must be reviewing
an education record to fulfill his or her professional responsibility.
• to schools in which the student seeks or intends to
enroll.
• to Federal, State, and local authorities involving an
audit or subpoena, organizations conducting studies on behalf
of the college, and to accrediting organizations
• to parents of dependent students if the student has
granted us permission
• in the event of a health or safety emergency
• results of a disciplinary hearing to an alleged victim
of a crime of violence
Please direct any questions regarding FERPA to the Registrar
and Student Financial Services office located in Libbey Forum
Bates faculty and staff are encouraged to complete the FERPA
tutorial available on the web
Last Updated: 06/24/2005
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