Sharing Student Information with Parents and University Officials
Without Written Student Consent in Compliance with FERPA
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Frequently Asked Questions
The Family Educational Rights and Privacy Act of 1974 ("FERPA” or “the Buckley Amendment") is a federal law that gives students access to their “education record” and protects the privacy of that record. The W&L FERPA policy is available here.
FERPA covers a student’s “education record,” which means any information or data recorded in any medium, including but not limited to handwriting, email, print, etc. that is directly related to a student and maintained by or on behalf of the University. Examples include grades, test scores, evaluations, courses taken, advising records, disciplinary actions, course papers and exams.
FERPA does not cover information that did not come from a student’s written education record, but about which a faculty member has general or personal knowledge. (What students tell you is not part of their education record, nor is what you have personally observed about the student in class, etc.)
You may (but are not required to) share “directory information,” unless a student has opted out of any disclosures of such information (includes email, local phone and address, adviser, enrollment status, academic awards, major, etc.). See the list under the Directory Information on the FERPA Policy page. The University Registrar’s Student Information Spreadsheet can confirm a student’s “opt out” status.
You may have a general conversation with parents about the student covering topics about which you have general/personal knowledge and that do not come from the student’s education record. Examples:
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- "John is doing well in class"
- "John has shown a keen interest in class topics and participates in discussions"
- "John is not always in class"
- "John seems to be struggling a bit with some of the material,” etc.
Two caveats:
- you should try to verify that you are talking to a parent or guardian; and
- if asked for information that is a part of the student’s education record (grades, attendance specifics, exam scores), advise the parent that you cannot release such information without the student’s written consent. If the parent questions this restriction, advise that the law and university policy do not give parents of university students the “right” to access the student record; that right belongs to the student alone. Encourage the parent to discuss the specifics with the student or to request student consent for you to do so with the parent.
W&L’s general practice is to require student written (electronic) consent for disclosure of education record information to family and others outside circumstances of directory information or general knowledge (non-education record information). Students can find the web process in Self-Service ("Student Information Releases (FERPA)") or at the Information Release portal.
FERPA also allows W&L discretion to release education record information in a health or safety emergency. If you become aware of information about a student that might present a health or safety risk, you should communicate that to the Office of the Vice President for Student Affairs and Dean of Students, the Chief Public Safety Officer, or the Director of Lindley Health and Lindley Counseling, as appropriate.
FERPA allows a university discretion to release education record information to school officials who have a legitimate educational interest in the information (e.g., a faculty adviser needing a student’s grades in all classes, or an associate dean talking with a faculty member about possible accommodations for a student’s disability). As well, a university has discretion to release such information as needed in a health or safety emergency.
- Melissa Neal (x8452)
- W&L FERPA Policy