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With AACRAO membership you'll be connected to more than 11,000 members from institutions around the world. Facilitate your professional development by attending discounted meetings, gaining complimentary subscriptions to our College & University journal and more.

Why should you join? State higher education coordinating boards, higher education associations, accrediting bodies and international ministries of education and more can collaborate with our members and lend their voices to discussions about practices in the field. 

Annual Membership Price: $710

Requirements: YOU MUST BE A PUBLIC SECTOR AND/OR A PRIVATE NON-PROFIT ASSOCIATION WHOSE INTERESTS ARE CLOSELY ALIGNED TO AACRAO.  

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AACRAO's bi-weekly professional development e-newsletter

Ask the FERPA Professor

Jun 26, 2017, 17:06 PM
legacy id : 595130f24c15640a44e3fa66
Summary : A question about faculty contract dates and email and online roster access.
Url :

Hello FERPA Professor,

Our new faculty contracts begin on July 1, but departments and new faculty are pushing for access to their email, Canvas, and online rosters well before that. I’m specifically speaking about brand new faculty that have never worked at our institution before.

Is it violating FERPA to give them access before they are technically employed by the college? If they have access to their rosters, they can see everything about the students in their courses, including previous grades, cumulative GPA, and so on.

Thanks in advance for your help,

Leto Atreides

___________________________________________

Dear Leto,

You are correct to be concerned about providing access to student education records to individuals who do not meet the conditions found at §99.31(a)(1) of the FERPA regulations. Note in particular the conditions at §99.31(a)(1)(i)(B)(2) dealing with “Direct Control,” which would generally involve a contract:

(B) A Contractor, consultant, volunteer, or other party to whom an agency or institution has outsourced institutional services or functions may be considered a school official under this paragraph provided that the outside party … (2) is under the direct control of the agency or institution with respect to the use and maintenance of education records.

You can find complete language regarding the conditions under which a disclosure to an outsourced entity is permitted under FERPA on page 159 of the 2012 AACRAO FERPA Guide, but the above cited section of the regulations is the most relevant to your particular concern. In short,  it would be an improper disclosure to release any student education records to these new faculty before the terms of a contract which establishes direct control by the institution become effective.

I hope this is helpful in addressing your concern.

The FERPA Professor

Register now for the FERPA Professor's Registrar 101 & FERPA two-day workshop, July 8-9 in New Orleans.

After the workshop, stay and join AACRAO's 2017 Technology and Transfer Conference. Find more information about the Reg 101 workshop here.

Please check out our Ask the FERPA Professor archives for more insight from the professor.

Want the Professor to come to your campus? Visit our FERPA compliance training page.

Send your questions for the FERPA Professor to connect@aacrao.org.

 

Categories :
  • AACRAO Connect
  • FERPA
Tags :
  • FERPA Professor
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