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1. WHAT IS FERPA?
The Family Educational Rights and Privacy Act of
1974, also known as the Buckley Amendment, protects
the privacy of student records. The Act provides for
the right to inspect and review education records,
the right to seek to amend those records, and to
limit disclosure of information from the records.
The Act applies to all institutions that are the
recipients of federal funding. The regulations for
FERPA can be found in 34 CFR Part 99.
2. WHO IS PROTECTED UNDER FERPA?
Students who are currently enrolled in higher
education institutions or formerly enrolled,
regardless of their age or status in regard to
parental dependency. Students who have applied, but
have not attended an institution do not have rights
under FERPA.
3. WHAT ARE EDUCATION RECORDS?
With certain exceptions, a student has rights of
access to those records which are directly related
to him/her and which are maintained by an
educational institution or party authorized to keep
records for the institution. "Education Records"
generally include any records in the possession of
the institution, which contain information directly
related to a student, with the exception of those
addressed below. FERPA contains no requirement that
certain records be kept at all. This is a matter of
institutional policy and/or state regulation. The
records may be handwritten or in the form of print,
computer, magnetic tape, e-mail, film or some other
medium. FERPA coverage includes records, files,
documents, and data directly related to students.
This would include transcripts or other records
obtained from a school in which a student was
previously enrolled.
4. WHAT IS NOT INCLUDED IN AN EDUCATION
RECORD?
-
sole-possession records or private notes held by
educational personnel which are not accessible
or released to other personnel
-
law enforcement or campus security records which
are solely for law enforcement purposes
-
records relating to an individual's employment
by the institution (unless employment is
contingent on student status)
-
records relating to treatment provided by a
physician, psychiatrist, psychologist or other
recognized professional or paraprofessional and
disclosed only to individuals providing
treatment
-
records of an institution which contain only
information about an individual obtained after
that person is no longer a student at that
institution (i.e., alumni records)
5. WHAT DOCUMENTS CAN BE REMOVED FROM AN
EDUCATION RECORD BEFORE THE STUDENT VIEWS THE
RECORD?
-
any information that pertains to another student
-
financial records of the student's parents
-
some confidential letters and statements of
recommendation under conditions described in
FERPA section 99.12
6. WHAT IS DIRECTORY INFORMATION?
Institutions may disclose information regarding a student
without violating FERPA through what is known as
"directory information". This generally includes a
student's name, address, telephone number, date and
place of birth, major field of study, participation
in officially recognized sports and activities,
weight and height of athletes, dates of attendance,
degrees and awards received and other similar
information. Each institution is required to
annually notify students in attendance of what
constitutes directory information. This notice must
also provide procedures for students to restrict the
institution from releasing his/her directory
information.
7. WHO WOULD GENERALLY BE PERMITTED ACCESS
WITHOUT THE STUDENT'S WRITTEN CONSENT?
-
school officials who have "legitimate
educational interests" as defined in the Law
Center's annual FERPA notification
-
parents of a "dependent student" as defined by
the Internal Revenue Code
-
the issuer of a judicial order or subpoena which
allows the institution to release records
without the student's consent, however, a
"reasonable effort" must generally be made to
notify the student before complying with the
order
8. WHEN DO YOU NEED CONSENT TO DISCLOSE
PERSONALLY IDENTIFIABLE INFORMATION FROM AN
EDUCATION RECORD (INCLUDING TRANSCRIPTS)?
With specific exceptions (listed below), a signed
and dated consent by the student must be provided by
the student before any disclosure is made. The
written consent must:
-
specify the records that may be disclosed
-
state the purpose of disclosure
-
identify the party or class of parties to whom
the disclosure may be made
9. WHAT IS "PERSONALLY IDENTIFIABLE
INFORMATION"?
-
the student's name
-
name of the student's parent or other family
members
-
address of the student or student's family
-
a personal identifier, such as a social security
number or student number
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a list of personal characteristics that would
make the student's identity easily traceable
10. WHEN IS THE STUDENT'S CONSENT NOT
REQUIRED TO DISCLOSE INFORMATION?
The exceptions are when the infomation is provided:
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to University faculty, staff, and administrators
with a legitimate educational interest (defined
in the University's annual FERPA notification)
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to parents of a "dependent student"
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to Federal, State and local education
authorities involving an audit or evaluation of
compliance with education programs
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in connection with processing Financial Aid
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to organizations conducting studies for, or on
behalf of, educational institutions
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to accrediting organizations
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to comply with a judicial order or subpoena
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in a health or safety emergency
-
as part of directory information
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to the student
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in the form of the results of a disciplinary hearing to an alleged
victim of a crime of violence
Requests to disclose should always be handled with
caution and approached on a case-by-case basis.
11. HOW DOES INCREASING TECHNOLOGY IMPACT
FERPA ON OUR CAMPUS?
The use of computerized record-keeping systems is
increasing at a tremendous rate. Electronic data
will eventually replace most paper documents. We try
to ensure that appropriate policies are established
to protect the confidentiality of those records,
educate faculty, administrators, staff, and
students, about the policies, and make sure the
policies are enforced. The same principles of
confidentiality must be applied to electronic data
as apply to paper documents. These general
guidelines are not intended to be legal advice. This
document only provides a summary of FERPA.
For more information, contact:
SOUTHERN UNIVERSITY LAW CENTER
OFFICE OF ENROLLMENT MANAGEMENT
POST OFFICE BOX 9294
BATON ROUGE, LOUISIANA 70813-9294
You may also visit our website at www.sulc.edu or
call (225) 771-5340 or 1 (800) 532-1135.
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