Institution Name. This Agreement provides a framework that allows the exchange of data and clarifies how data will be submitted and used. NC-▇▇▇▇ will not collect individually identifiable student data and will comply with the Family Educational Rights and Privacy Act (FERPA). NC-▇▇▇▇ has obtained a formal legal opinion on this matter. That opinion is available at ▇▇▇▇://▇▇- ▇▇▇▇.▇▇▇/▇▇▇▇▇/▇▇▇▇/▇▇-▇▇▇▇%20Chicago%20board%20booklet.pdf pages 49-56. See also ▇▇▇▇://▇▇▇.▇▇-▇▇▇▇.org/files/docs/NC-▇▇▇▇-Memo-EdCouncil_2017.pdf regarding small cell sizes. Based on the advice of counsel, NC-▇▇▇▇ believes that the requested data, even in small cell sizes, generally would not be personally identifiable information and, therefore, would not trigger concerns in regard to the federal Family Educational Rights and Privacy Act, 20 U.S.C. § 1232g (FERPA), which addresses the privacy of student records maintained by or for schools (including institutions of postsecondary education) and school districts that are funded by programs of the U.S. Department of Education (USED). However, we caution that a postsecondary institution should apply its established policies for masking or suppressing small size data in reporting data to NC-▇▇▇▇ when BOTH of the following circumstances apply:
Appears in 1 contract
Sources: Data Sharing Agreement
Institution Name. This Agreement provides a framework that allows the exchange of data and clarifies how data will be submitted and used. NC-▇▇▇▇ will not collect individually identifiable student data and will comply with the Family Educational Rights and Privacy Act (FERPA). NC-▇▇▇▇ has obtained a formal legal opinion on this matter. That opinion is available at ▇▇▇▇://▇▇- ▇▇▇▇.▇▇▇/▇▇▇▇▇/▇▇▇▇/▇▇-▇▇▇▇%20Chicago%20board%20booklet.pdf pages 49-56. See also ▇▇▇▇://▇▇▇.▇▇-- ▇▇▇▇.org.▇▇▇/files▇▇▇▇▇/docs▇▇▇▇/NC-▇▇-▇▇▇▇-Memo-EdCouncil_2017.pdf regarding small cell sizes. Based on the advice of counsel, NC-▇▇▇▇ believes that the requested data, even in small cell sizes, generally would not be personally identifiable information and, therefore, would not trigger concerns in regard to the federal Family Educational Rights and Privacy Act, 20 U.S.C. § 1232g (FERPA), which addresses the privacy of student records maintained by or for schools (including institutions of postsecondary education) and school districts that are funded by programs of the U.S. Department of Education (USED). However, we caution that a postsecondary institution should apply its established policies for masking or suppressing small size data in reporting data to NC-▇▇▇▇ when BOTH both of the following circumstances apply:
Appears in 1 contract
Sources: Data Sharing Agreement