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Special Education Division Data Identified of Noncompliance

Special Education Division Data Identified of Noncompliance. Data Identified Noncompliance. OSEP requires the State to account for all instances of noncompliance, including noncompliance identified:

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Special Education Division Data Identified of Noncompliance

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  1. Special Education DivisionData Identified of Noncompliance

  2. Data Identified Noncompliance • OSEP requires the State to account for all instances of noncompliance, including noncompliance identified: • through the review of data collected by the State, including compliance data collected through a State data system…CASEMIS

  3. CASEMIS Data (NCTAG pgs. 2-3) 2011 CASEMIS data was analyzed for compliance to the following state and federal requirements: 1. Children are evaluated within 60 days of receiving parental consent for initial evaluation (SPP Indicator 11) • 3,687 Student noncompliant findings in 195 districts

  4. CASEMIS Data 2. Children referred by Part C prior to age three, who are found eligible for Part B, have an Individual Education Plan (IEP) developed and implemented by their third birthday (SPP Indicator 12)  • 210 student noncompliant findings in 55 districts

  5. CASEMIS Data 3. Youth aged 16 and above have an IEP that includes the eight required measurable post-secondary goals (Indicator 13) • 64,877 student noncompliant findings in 547 districts

  6. CASEMIS Data 4. Annual Individual Education Plan (IEP) meeting (once a year) • 14,877 student noncompliant findings in 547 districts 5. Triennial (TRI) re-evaluation to determine the student’s continued eligibility (every three years) • 12,215 student noncompliant findings in 659 districts

  7. Verifying Correction of NC (NCTAG pg. 3) • Of the identified 95,866 student noncompliant findings identified in 2011, using June 2012 CASEMIS data, AES was able to verify student level corrections for over 80,000 findings • 14,062 students (in 365 districts) continued to be noncompliant over the two CASEMIS submissions (2011 and 2012) • District identified with “continued noncompliance”

  8. Continued Noncompliance (NCTAG pg.4) • Students matched from 2011 to 2012 show continued noncompliance • Finding notification will be sent to the district • Also, identified now as a district level finding • Requires a root cause analysis(RCA) • Corrective action to address RCA

  9. Root Cause Analysis (NCTAG pg. 5) • Root Cause Analysis (RCA) identifies the underlying issues or problems that contribute to the continued noncompliance • RCA tries to solve problems by identifying and correcting the root causes • By focusing correction on root causes, recurrence can be prevented

  10. Root Cause Analysis (NCTAG Pg. 5) • Five categories of root causes • Data entry or systems error • Inadequate tracking system • Student not available • Staff not available • Failed to engage (district’s established policies, practices, and/or procedures)

  11. Tracking Spreadsheet (NCTAG pg. 6) • Districts will use a tracking spreadsheet to monitor and report the correction of noncompliant findings (student and district level) • Spreadsheet is customized for each district to reflect the areas of noncompliance • Prepopulated with district and SELPA information • Prepopulated with student information, the finding, and appropriate corrective action

  12. Tracking Spreadsheet • Each customized spreadsheet will be placed on a FTP site: • Files are encrypted and password protected for confidentiality • Districts will download the spreadsheet • At each due date, the district will submit their spreadsheet through the secure portal (similar to SESR files)

  13. Spreadsheet Fields (NCTAG Pgs. 7-10) • Fields to be completed by the districts: • Student correction date • Evidence and location of evidence • RCA • District Root Cause Corrective Action • Correction date, evidence, and location of evidence • Prong II date • District contact information

  14. Spreadsheet Fields (NCTAG Pgs. 7-10) • Fields to be completed by FMTA: • Notification date: January 23, 2013 • RCA corrective action approval • Clearance letter date • Notes

  15. Tracking Spreadsheet

  16. District Notification • AES will notify districts via e-mail of noncompliant findings: • Cover letter • Includes FTP site and district password • Noncompliance Technical Assistance Guide

  17. Timeline (1 page handout) • Internal due dates • Notification of noncompliance • Generating status reports to the Director’s office and FMTA Managers • External due dates • Minimum of two submissions

  18. Submission Process (single page white handout) • AES will: • Place on the G Drive FMTA Wide a folder identified as 2011 Data Noncompliance • Within that folder will be a subfolder for each district (in alpha order) • Each district folder will have two subfolders: Pending and Final

  19. Submission Process • Pending folder • Most recent submitted spreadsheet file • Files can be resubmitted with edits as often as needed • Version control will be the date and time stamp of the submission • Final folder • All student and district findings are corrected, Prong II completed, and letter of completion is issued • All fields of the spreadsheet are completed

  20. Submission Process • Districts will submit spreadsheet file a minimum of two times • When a file is received: • AES will log it in • AES will save it to the G drive FMTA Wide folder, in the District’s Pending folder • AES will notify the FMTA managers and consultants

  21. Submission Process • FMTA consultants will: • Monitor the correction process • Approve the corrective action developed by the district to address the root cause • Notify AES when correction (student and district level, Prong II) is complete • Place completed spreadsheet in the “Final” folder on the G drive

  22. Questions She lost me at 98,000 noncompliant findings…. Please, please don’t ask any questions so we can get out of here… REALLY? I need to retire! Who has to clean the refrigerators this month? Who is suppose to do what? ?@#?%#^@*&*!

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