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STUDENT RECORDS
CONFIDENTIALITY OF STUDENT RECORDS
It is Wesleyan policy to keep the records of Wesleyan students confidential.
Information about students is shared within the University only as needed for
legitimate educational purposes. In order to qualify as legitimate and
educational, an interest must be related in a clearly discernible way to the
conduct of the normal business of the institution, or to the educational welfare
of the individual student, or of other students. If the interest bears
exclusively on the educational welfare of students other than the one whose
record is sought, the director of institutional research should be consulted
before access to the record is granted.
Wesleyan will not disclose other than "directory information" (see following)
about students to people outside the University without the student's written
consent unless the disclosure is 1) compelled by law, a court of law, an
emergency, or some other extraordinary circumstance; 2) is in conjunction with
organized educational research; or 3) is required by an accrediting agency.
Exceptions to this policy may be made in individual cases with the permission of
the dean of the college or the vice president for academic affairs, provided
that the exceptions are consistent with applicable law and are judged to be in
the interest of the student's educational progress. For instance, should it be
impractical to obtain a student's prior written consent, the University may
nonetheless send a transcript to a school to which the student has applied for
admission. Whenever exceptional action is called for and as appropriate, an
effort will be made to notify the student as soon as possible.
In accordance with the Family Educational Rights and Privacy Act and the federal
regulations pertaining thereto, a record will be kept of requests from outside
the University for personally identifiable nondirectory information from a
student's record and of disclosures thereof that occur without the student's
consent. The record of access and disclosure will be available to the student
for inspection. Such disclosures, whether made with or without the student's
consent, will contain a notice to the recipient that the information is being
disclosed on condition that, except as allowed by the Act, it not be revealed by
the recipient to any other party without the student's consent. The student
notification and record keeping provisions of the Act are subject to exceptions
provided for in the Act and other applicable law, including the USA Patriot Act.
Per the USA Patriot Act, if a U.S. assistant attorney general, or similarly
ranked federal official obtains a court order relevant to a terrorist
investigation, the law requires that an educational institution must turn over
the requested records without the student’s consent and the institution cannot
inform the student.
DIRECTORY INFORMATION
Disclosures of directory information may normally be made without the student’s
consent. Directory information includes the student’s name, local address, local
telephone number, home address, Wesleyan e-mail address, photo images, date and place of birth,
major field of study, participation in officially recognized activities and sports,
height and weight of members of athletic teams, dates of attendance, degrees and awards received,
and the most recent previous educational agency or institution attended by the student. A
student who wishes to have directory information withheld must notify the Registrar’s
Office in writing by the first day of classes. Note that the instruction to the Registrar’s
Office should be made at the beginning of each academic year and is valid for that year only.
ACCESS BY STUDENTS TO THEIR RECORDS
Students at Wesleyan may have access to most of the information about them in
their records. The exceptions include letters of recommendation received on a
confidential basis and filed before January 1, 1975; letters of recommendation to which the
student has specifically waived access; private records made by individuals within the
institution, which are kept in their sole possession and shared only with a temporary
substitute; records of Wesleyan’s Office of Public Safety; alumni records; financial information
about parents; and employment information about students whose employment has not resulted from
their status as students.
Except as noted in the preceding paragraph, students may inspect and review
the education records maintained by the following offices:32
ADMISSION (70 WYLLYS AVENUE)
The information about students in attendance at Wesleyan that has been
collected by the Admission Office during the admission process is transferred to the
Vice President for Student Affairs office when the student matriculates. The information that is transferred includes the
secondary school record, standard test scores, letters of recommendation, information
submitted by the student, and correspondence with the student.
CAREER RESOURCE CENTER (BUTTERFIELD A, 25 LAWN AVENUE)
Maintains career counseling records, and files of résumés and letters of
recommendation. The director of the Career Resource Center is responsible for the records.
VICE PRESIDENT FOR STUDENT AFFAIRS OFFICE (NORTH COLLEGE) Maintains information on students’ academic activity. The
Vice President for Student Affairs Office
record also includes the following types of information: secondary school record;
admission information; standard test scores; letters of recommendation; information
submitted by the student; memoranda from faculty about the student; correspondence with
the student; and reports of action taken in regard to the student by the Student
Judicial Board, other standing or ad hoc University committees, and the dean. The
vice president for student affairs is responsible for the records.
OFFICE OF FINANCIAL AID (NORTH COLLEGE)
Maintains a file of information submitted by students and their parents in
regard to financial aid, a record of financial aid actions taken by Wesleyan and
others, and the employment records of students receiving financial aid. The director of
financial aid is responsible for the records.
OFFICE OF GRADUATE STUDENT SERVICES (SCIENCE TOWER)
The Office of Graduate Student Services is the main administrative office for
all master of arts and doctor of philosophy candidates. The office maintains the academic
records of the candidates for graduate degrees. These records include, but are not limited
to, admission information, student biographical information, coursework and research toward
the degree, correspondence, housing/residential life, immigration, health insurance,
degree maintenance, departmental/research advisor information, assistantship
information, and graduation information.
OFFICE OF BEHAVIORAL HEALTH FOR STUDENTS (DAVISON HEALTH CENTER)
Maintains records of mental health care. These records are not available
within the University to other than the staff of the Office of Behavioral Health for
Students without the informed consent of the student. The director of behavioral health for students has overall responsibility for
these records, but in practice, the psychotherapist who created the record takes responsibility
for its security.
OFFICE OF RESIDENTIAL LIFE (NORTH COLLEGE)
Maintains records of the housing history of undergraduate and graduate
students and information gathered in connection with the selection of head residents and
resident advisors, including letters of recommendation and staff evaluations. The
director of residential life is responsible for the records.
INSTITUTIONAL RESEARCH (NORTH COLLEGE)
Maintains records of the first-year-student testing program and information
from other University offices that is to be used for institutional research purposes.
The director of institutional research is responsible for the records.
OFFICE OF THE REGISTRAR (NORTH COLLEGE)
Maintains academic records of currently enrolled students. Maintains the Dean’s
Office records of former students, except that upon graduation reports of
disciplinary actions and other information not needed for the permanent record are destroyed. The
registrar is responsible for the records.
OFFICE OF STUDENT ACCOUNTS (NORTH COLLEGE)
Maintains documents, including correspondence, pertaining to financial
transactions with students and their parents. The director of student accounts is responsible
for the records.
GRADUATE LIBERAL STUDIES PROGRAM (284 HIGH STREET)
Maintains records of candidates for the degree of master of arts in liberal
studies and the certificate of advanced study and of other students enrolled in courses
sponsored by the summer school. The records include the following types of information:
information submitted for admission, correspondence with the student, reports of academic
performance, counseling notes, financial information submitted by the
student, and letters of recommendation. The director of the Graduate Liberal Studies Program is
responsible for the records.
ACADEMIC COLLEGES, DEPARTMENTS, AND PROGRAMS (see phone directory for locations)
Maintain records of graduate students enrolled in the department and
undergraduates majoring in the college, department, or program. The records include the
following types of information: academic performance reports; correspondence with the student;
letters of recommendation; and reports of action taken in regard to a student by the
college, department or program. The records are the responsibility of the director of
the college, chair of the department, or chair of the program.
THE HONOR BOARD AND STUDENT JUDICIAL BOARD (NORTH COLLEGE)
Maintain records of adjudicated cases. The dean of the college is responsible
for Honor Board records. The dean of student services is responsible for Student
Judicial Board records.
MISCELLANEOUS
Various ad hoc committees and groups maintain files of information about
students in connection with such matters as the awarding of prizes and grants and
students’ participation in special programs (foreign study, independent study, etc.).
The chair of the committee or group is responsible for the record.
INFORMATION TECHNOLOGY SERVICES (SCIENCE TOWER)
Information Technology Services (ITS) processes and stores information for
many of the offices listed in this statement. The security of the information while it is
held at ITS is the responsibility of the director of information technology services. Access to
the information remains under the control of the responsible person in the office that
forwarded the information to ITS.
INSPECTION OF RECORDS
To inspect a record, a student should make an appointment at the appropriate
office. A student who, having inspected a record, wishes to challenge its content, may
submit the challenge informally to the person responsible for the record. If the results
of the submission are not satisfactory to the student, he/she may ask the dean of the college
(undergraduates) or the vice president for academic affairs (graduate students) to review the
challenge. If the decision of the dean or the vice president is not satisfactory to the
student, he/she may submit the challenge in writing to the president, whose decision is final. A
student who challenges a record also has a right to prepare a statement in support of the
challenge that will remain a part of the challenged portion of the record as long as that
portion is maintained. The conduct of the hearing will be in accordance with the
constitution of the Wesleyan Judicial System and applicable federal regulations.
Students may obtain copies of material in their permanent records that
pertain to them unless they have not paid all their University bills. The fees that will be
charged for copies are $3 per official transcript of the academic record ($5 for former
students) and not more than 10 cents per page of other material.
COMPLAINTS
Students who feel that their rights under the act have been abridged may file
a complaint with The Family Policy Compliance Office, U.S. Department of Education, 400
Maryland, Ave., S.W., Washington, D.C. 20202-4605.
DEFINITIONS
"Information" means personally identifiable data that includes (a)
the name of the student, the student’s parent or other family member; (b) the address of the
student; (c) a personal identifier, such as the student’s Social Security number; (d) a list of
personal characteristics that would make the student’s identity easily traceable; or (e) other
information that would make the student’s identity easily traceable.
The use of the following terms in this policy statement conforms to the
definitions in the federal regulations issued pursuant to the Family Educational Rights and
Privacy Act: act, attendance, directory information, disclosure, education records, financial
aid, parent, party, record, student.