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Retired and Former AACRAO Members

Connect to the world of higher education

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

May 2, 2017, 14:34 PM
legacy id : 59074aa44c15642b04e60e8e
Summary : Questions about communicating with high schools about students who have applied.
Url :

Dear FERPA Professor,

I have a couple of questions we need clarification on that have to do with our relationship with high schools.

We have a scholarship program where high school students who are graduating can apply to have their tuition waived for up to two years. Are we violating FERPA if we provide a list of the students who applied to their high schools? We have a school asking for this information.  It will be a mix of students who may or may not already be enrolled taking dual-credit classes at our school.
Related to the dual-credit classes, if the high school asks for the college grades for current high school students in this program, is it a FERPA violation to share this information with the high school? I suggested they go to their high school teacher for that information. We do not have students complete a release of info, nor do we have a MOU agreement for the high school at this time. 

Thanks in advance for your input.

Rusty Till

______________________________________________________

Dear Rusty,

Concerning your questions, you should be able to share information in both situations. 

The applicants from the high school would not meet the FERPA definition of a "student" because you have not admitted them.  As such, any applicant materials you are maintaining on them would not be "education records" as defined by FERPA.  See the definitions in §99.3 of the FERPA regulations.  You can find these on pages 154 and 155 of the 2012 AACRAO FERPA Guide.
Sharing of education records on a student who is enrolled in or receives services at the high school as well is permitted under FERPA.  See §99.34(b) of the FERPA regulations found on page 165 of the Guide.

I hope this is helpful in answering your questions.

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.

 

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.

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  • AACRAO Connect
  • FERPA
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