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Retired and Former AACRAO Members

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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? Development never ends, retired or not. Keep current on trends in the field by collaborating with our members and lending your voice to discussions about practices in the field. 

Annual Membership Price: $151

Requirements: YOU BE A RETIRED MEMBER OR A MEMBER WHO LOST EMPLOYMENT AND IS NO LONGER ELIGIBLE FOR INSTITUTIONAL MEMBERSHIP.  

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AACRAO's bi-weekly professional development e-newsletter

Ask the FERPA Professor

Jan 29, 2018, 23:00 PM
legacy id : 5a6fa78b4c156419d40bf039
Summary : Are a counselor's records "treatment records" if they have Title IX privilege?
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Good Day,

My college employs four counselors who provide counseling services to students for depression, anxiety, depression, and similar mental maladies. We refer students needing psychiatric (or similar) treatment to professional resources in the community as we are not a treatment facility. We have, however, designated our counselors as having ‘privilege’ under Title IX in which they are not mandatory reporters should a student mention an issue related to a Title IX issue. 

A student has recently requested a copy of his records kept by a counselor. Would my institution consider the records kept by a counselor to be “treatment records” that do not need to be released to the student, or are these considered the same as all education records (i.e. subject to review and inspection) as we are not a treatment facility?  I understand that if these records are considered treatment records and are released to the student that they then become education records.

Thank you,

Prim Enpropeur

________________________________________________________________________

Dear Prim,

The FERPA definition of "education records" specifically excludes treatment records that are made or maintained by a recognized professional or paraprofessional that are made, maintained or used only in connection with treatment of the student and disclosed only to individuals providing treatment.  FERPA does not prohibit the disclosure of these treatment records so long as the disclosure meets the specific conditions set forth in FERPA for the disclosure.  However, if the treatment records are disclosed to a non-treatment provider, including the student, then they would become education records.  You can find the treatment records language as item (4) under the "Education Records" definition on page 154 of the 2012 AACRAO FERPA Guide.

I hope this is helpful in clarifying the issue for you.

Sincerely,

The FERPA Professor

Get better at FERPA. Spend two days diving into the work of the Registrar's Office at the Registrar 101/FERPA Workshop March 24-25, 2018, in Orlando. This workshop is for those new to the profession and will address many of the 'what' and 'how' questions that make up the work of the registrar. Or, if you have at least five years of experience in the profession, join Registrar 201 and explore major competencies and proficiencies of the registrar profession, FERPA beyond the basics, and look to the future of the profession. 

After the preconference workshop, stay for the AACRAO Annual Meeting, March 25-28, 2018.

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

Learn about AACRAO's FERPA Online Training Compliance Program.

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

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

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  • FERPA
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