ITHACA COLLEGE
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VOLUME VII
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7.1 General Student PoliciesFERPA -- Student
Conduct Code -- Services
for Students with Disabilities --
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1. |
The right to inspect and review the student's education records
within a reasonable period of time, but in no case longer than 45
days once a student has submitted a request. A student should submit
to the registrar, dean, department chairperson, or other appropriate
official a written request that identifies the records he or she
wishes to inspect. The College official will make arrangements for
access and notify the student of the time and place where the records
may be inspected. If the records are not maintained by the College
official to whom the request was submitted, that official shall
advise the student of the correct official to whom the request should
be addressed. |
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Records Exempt: The law exempts from student access some
school records under specific conditions, which include |
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2. |
The right to request amendment of the student's education record
that the student believes is inaccurate or misleading. A student
may ask the College to amend any part of his or her record that
the student believes is inaccurate or misleading. The student should
write to the College official responsible for the record, clearly
identify the part of the record the student wants changed, and specify
why it is inaccurate or misleading. If the College decides not to
amend the record as requested by the student, the College will notify
the student of the decision and advise the student of his or her
right to a hearing regarding the request for amendment. Additional
information regarding the hearing procedures will be provided to
the student upon notification of the right to a hearing. |
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3. |
The right to consent to disclosures of personally identifiable
information contained in the student's education records, except
to the extent that FERPA authorizes disclosure without consent.
FERPA permits disclosure without consent to school officials with
legitimate interests. A school official is any person employed by
the College in an administrative, supervisory, academic, research,
or support staff position (including public safety personnel and
health services staff); a person or company with whom the College
has contracted (such as an attorney, auditor, or collection agent);
a person serving on the board of trustees; or a student serving
on an official committee (such as a disciplinary or grievance committee)
or assisting another school official in performing his or her tasks. |
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A school official has a legitimate educational interest if the
official needs to review an education record in order to fulfill
his or her professional responsibility. Under certain emergency
situations, it may be necessary to release information to protect
the health or safety of the student or other students. |
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FERPA also permits disclosures of personally identifiable information
without consent to schools in which a student seeks or intends to
enroll; to federal, state, and local authorities in connection with
an audit or evaluation of compliance with education programs; in
connection with financial aid; to organizations conducting studies
for or on behalf of educational institutions; to accrediting organizations;
and to comply with a judicial order or subpoena. |
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Directory Information: In accordance with the act, College
policy limits disclosure of personally identifiable information
from the educational records of students (with the exception of
"directory information") to those instances authorized
by the act. In accordance with FERPA, Ithaca College has designated
the following list of student information as public or "directory
information": name, address, telephone number, e-mail address,
dates of attendance, class, full- or part-time status, previous
institutions attended, major field of study, awards, honors (including
dean's list), degrees conferred (including dates), past and present
participation in officially recognized sports and activities, physical
factors (height, weight of athletes), date and place of birth, and
ID pictures. Such information may be disclosed by the College for
any purpose, unless specifically requested not to do so by the student. |
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A currently enrolled student may withhold disclosure of directory
information under FERPA by completing a request form available at
the Office of Student Affairs and Campus Life (340 Egbert Hall).
Directory information will continue to be withheld until the student
rescinds this request. |
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Disclosure of Education Record Information to Parents: An
Ithaca College student has the opportunity to declare whether he
or she is independent or dependent for income tax purposes on the
enrollment confirmation form provided to all incoming freshmen and
transfer students at the time of their acceptance to Ithaca College.
If a student's status changes, he or she should notify the Office
of the Registrar. Ithaca College will disclose information (including
grades) from a student's education records to the parents of an
eligible student who claim that student as a dependent for income
tax purposes, unless there is a court order, state statute, or other
legally binding document prohibiting such disclosure. If a student
claims he or she is not a dependent, the parents will need to submit
their most recent federal income tax form to the Office of the Registrar
as evidence that the student is a dependent. |
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4. |
The right to file a complaint with the U.S. Department of Education concerning alleged failures by Ithaca College to comply with the requirements of FERPA. The office that administers FERPA is the Family Policy Compliance Office, U.S. Department of Education, 600 Independence Avenue, SW, Washington, DC 20202-4605. |
A complete copy of the Family Educational Rights and Privacy Act of 1974 is available in the College library. Questions concerning FERPA may be referred to the Office of Student Affairs and Campus Life or the Office of the Registrar. Copies of this policy may be obtained in the Office of Student Affairs and Campus Life.
August 15, 2001 |
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This document is maintained by the Office of the College Attorney. Send comments to: Deb Emnett |