Student Records Policy
Student Records Policy
Family Educational Rights and Privacy Act
Family Educational Rights and Privacy Act
The Family Educational Rights and Privacy Act of 1974, as amended ("FERPA") is a federal law that gives students certain rights with respect to their education records.
Education Records
Harvard Business School routinely maintains records for its students that describe and document their work and progress. These education records generally include records such as permanent and local addresses, admissions records, enrollment status, course grades, reports and evaluations, completion of requirements and progress toward the degree, records of disciplinary actions, letters of recommendation, and other correspondence with or concerning the student.
Access
To be useful, students' records must be accurate and complete. The officials who maintain
them are those in charge of the functions reflected in the records and the offices
where the records are kept. These ordinarily include the Registrar of Harvard Business
School, and may include other institutional officials.
All students have access to their own education records and may contribute to them if they feel there is need for clarification. Students wishing access to their education records should contact Adam Scarano, ascarano@hbs.edu or in person at MBA Registrar Services, Spangler Center, 2nd Floor. Ordinarily, students are asked to submit a written request that identifies the specific record or records they wish to inspect. Access will be given within 45 days from the receipt of the request. When a record contains information about more than one student, the student requesting access may inspect and review only the portion of the record relating to him or her. Students also are not permitted to view letters and statements of recommendation to which they waived their right of access, or that were placed in their file before January 1, 1975.
Students should direct any questions they have about the accuracy of records to the person in charge of the office where the records are kept. If questions still remain, the matter may be referred to Adam Scarano, MBA Associate Registrar.
Should it be necessary, a hearing may be held to resolve challenges concerning the accuracy of records in those cases where informal discussions have not satisfactorily settled the questions raised.
All students have access to their own education records and may contribute to them if they feel there is need for clarification. Students wishing access to their education records should contact Adam Scarano, ascarano@hbs.edu or in person at MBA Registrar Services, Spangler Center, 2nd Floor. Ordinarily, students are asked to submit a written request that identifies the specific record or records they wish to inspect. Access will be given within 45 days from the receipt of the request. When a record contains information about more than one student, the student requesting access may inspect and review only the portion of the record relating to him or her. Students also are not permitted to view letters and statements of recommendation to which they waived their right of access, or that were placed in their file before January 1, 1975.
Students should direct any questions they have about the accuracy of records to the person in charge of the office where the records are kept. If questions still remain, the matter may be referred to Adam Scarano, MBA Associate Registrar.
Should it be necessary, a hearing may be held to resolve challenges concerning the accuracy of records in those cases where informal discussions have not satisfactorily settled the questions raised.
Directory Information
Although ordinarily students must consent to the disclosure of information from their
education records, FERPA allows certain types of information, known as "directory
information," to be made available to the general public. Harvard Business School
regards the following information as "directory information:" name, address, telephone
number, email address, image, network ID, dates of enrollment, anticipated or actual
graduation date, degrees, prior degrees, and recent educational institutions attended.
Please note that the Registrars of Harvard College and of Harvard's graduate and professional
schools have jointly adopted a set of Common FERPA Directory Information Elements. Because Harvard University's definition includes all of the elements on the Common
List, requests for directory information received at the University level rather than
by the Harvard Business School may result in the disclosure of additional elements.
Students may direct Harvard Business School not to disclose their directory information, usually known as putting in place a "FERPA Block." To do so, a student must inform Adam Scarano, MBA Associate Registrar, in writing, of that decision. A student who is cross-registered at more than one Harvard school must submit separate FERPA Block forms to each school.
Students should be aware of the possible consequences of putting in place a FERPA Block, such as missed mailings, messages, and announcements, non-verification of enrollment or degree status, and non-inclusion in the Harvard Commencement booklet. Students who have previously chosen to put in place a FERPA Block may decide to reverse this decision, also by informing Adam Scarano, MBA Associate Registrar, in writing.
Students may direct Harvard Business School not to disclose their directory information, usually known as putting in place a "FERPA Block." To do so, a student must inform Adam Scarano, MBA Associate Registrar, in writing, of that decision. A student who is cross-registered at more than one Harvard school must submit separate FERPA Block forms to each school.
Students should be aware of the possible consequences of putting in place a FERPA Block, such as missed mailings, messages, and announcements, non-verification of enrollment or degree status, and non-inclusion in the Harvard Commencement booklet. Students who have previously chosen to put in place a FERPA Block may decide to reverse this decision, also by informing Adam Scarano, MBA Associate Registrar, in writing.
Other Disclosures Permitted Under FERPA
In addition to permitting the disclosure of directory information, as set forth above,
FERPA permits disclosure of educational records without a student's knowledge or consent
under certain circumstances. For example, disclosure is permitted to Harvard officials
with a legitimate educational interest in the records, meaning that the person needs
the information in order to fulfill his or her professional responsibilities, including
instructional, supervisory, advisory, administrative, academic or research, staff
support or other duties. "Harvard officials" include: faculty; administrators; clerical
employees; professional employees; Harvard University Health Services staff members;
Harvard University Police Department officers; agents of the University, such as independent
contractors or vendors performing functions on behalf of Harvard Business School or
the University; members of Harvard's governing boards; and students serving on an
official Harvard Business School or University committee, or assisting another Harvard
official in performing their tasks.
A student's education record also may be shared with parties outside the University under certain conditions, including, for example, in situations involving a health and safety emergency. In addition, Harvard Business School will forward a student's education records to other agencies or institutions that have requested the records and in which the student seeks or intends to enroll or is already enrolled so long as the disclosure is for purposes related to the student's enrollment or transfer.
If the Harvard Business School finds that a student has committed a disciplinary violation involving a crime of violence or a non-forcible sex offense, then it also may, if legally permitted and in the Harvard Business School's judgment appropriate, disclose certain information about the disciplinary case. The disclosure may include the student's name, the violation committed, and the sanction imposed.
A student's education record also may be shared with parties outside the University under certain conditions, including, for example, in situations involving a health and safety emergency. In addition, Harvard Business School will forward a student's education records to other agencies or institutions that have requested the records and in which the student seeks or intends to enroll or is already enrolled so long as the disclosure is for purposes related to the student's enrollment or transfer.
If the Harvard Business School finds that a student has committed a disciplinary violation involving a crime of violence or a non-forcible sex offense, then it also may, if legally permitted and in the Harvard Business School's judgment appropriate, disclose certain information about the disciplinary case. The disclosure may include the student's name, the violation committed, and the sanction imposed.
Student Rights Under FERPA
As set forth above, under both Harvard policy and FERPA, students and former students
may inspect and review certain of their education records that are maintained by Harvard.
They also have the right to: exercise limited control over other people's access to
their education records; seek to correct their education records if they believe them
to be inaccurate, misleading or otherwise in violation of their FERPA rights; file
a complaint with the U.S. Department of Education if they believe Harvard has not
complied with the requirements of FERPA; and be fully informed of their rights under
FERPA.
Complaints regarding alleged violation of rights of students under FERPA may be submitted in writing within 180 days to the Family Policy Compliance Office, US Department of Education, 400 Maryland Avenue, S.W., Washington, DC 20202-5920.
Complaints regarding alleged violation of rights of students under FERPA may be submitted in writing within 180 days to the Family Policy Compliance Office, US Department of Education, 400 Maryland Avenue, S.W., Washington, DC 20202-5920.
For More Information
Contact Adam Scarano, Registrar Services, 617-496-6090, ascarano@hbs.edu.