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Office for Civil Rights and Title IX Education and Compliance

Office for Civil Rights and Title IX Education and Compliance. Rob Kent, Interim Associate Vice President Office for Civil Rights and Title IX Education and Compliance. The Legal and Regulatory Environment re Civil Rights at MSU. Sex Discrimination - Title IX

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Office for Civil Rights and Title IX Education and Compliance

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  1. Office for Civil Rights and Title IX Education and Compliance Rob Kent, Interim Associate Vice President Office for Civil Rights and Title IX Education and Compliance

  2. The Legal and Regulatory Environment re Civil Rights at MSU • Sex Discrimination - Title IX • Investigations by OCR, FSA/Clery, State Legislators, Federal Legislators, and others • Continuing OCR Resolution Agreement oversight • New state legislative reporting requirements (“Boilerplate”) • Other Discrimination • State and National dialogue re gender identity and sexual orientation • National resurgence of hate groups and targeting of universities (Spencer) • Inverse free speech movement

  3. Objectives Understand: • MSU Anti-Discrimination Policy and Relationship Violence and Sexual Misconduct Policy • The MSU Office for Civil Rights • Mandatory reporting responsibilities • Employer/OIE expectations during the investigation process

  4. The Office of Civil Rights and Title IX Education and Compliance is responsible for two primary University Policies: • Relationship Violence and Sexual Misconduct Policy (RVSM) • Anti-Discrimination Policy (ADP)

  5. Relationship Violence and Sexual Misconduct Policy (RVSM) • The University prohibits gender discrimination in any of its programs or activities. Sexual harassment, including sexual assault and other kinds of sexual and relationship violence, is a form of gender discrimination.

  6. The Anti-Discrimination Policy (ADP) • Unlawful acts of discrimination or harassment are prohibited. • In addition, the University community holds itself to certain standards of conduct more stringent than those mandated by law. Thus, even if not illegal, acts are prohibited under this policy if they: • Discriminate against any University community member(s) through inappropriate limitation of employment opportunity, access to University residential facilities, or participation in education, athletic, social, cultural, or other University activities on the basis of age, color, gender, gender identity , disability status, height, marital status, national origin, political persuasion, race, religion, sexual orientation, veteran status, or weight; or • Harass any University community member(s) on the basis of age, color, gender, gender identity, disability status, height, marital status, national origin, political persuasion, race, religion, sexual orientation, veteran status, or weight.

  7. Office for Civil Rights and Title IX Education and Compliance The mission of our office is to: • educate all campus community members regarding how to prevent, identify, and report discrimination, harassment, and gender-based violence; • to monitor complaints of discrimination, harassment, and gender-based violence, conduct a fair and equitable investigation of each complaint, and use information from monitoring and investigations to inform prevention education; • to connect those affected by discrimination, harassment, and gender-based violence with campus and community resources that will allow them to move forward.

  8. Two Units Function Under the Office for Civil Rights and Title IX Education and Compliance • Office of Institutional Equity (OIE) • Title IX Prevention, Outreach and Education Department (POE)

  9. Office of Institutional Equity (OIE) • Reviews concerns related to discrimination and harassment. • Administers the University’s Policy on Relationship Violence and Sexual Misconduct and the University’s Anti-Discrimination Policy. • Investigates complaints of harassment or discrimination.

  10. Title IX Prevention, Outreach, and Education Department (POE) • New stand-alone department underneath the Office for Civil Rights • Prevention focus areas include first year student workshops (SARV Prevention Program), second year student workshops (Bystander Network), graduate student outreach and education, male engagement, faculty/staff outreach and education, and climate response.

  11. What are Faculty and Staff Responsibilities Under These Two Policies? • The University strongly encourages that possible violations of the Anti-Discrimination Policy be reported to OIE • The University requires possible violations of the RVSM Policy be reported to OIE and to the MSU Police.

  12. Mandatory Reporting • All University employees with the exception of confidential resources and medical professionals providing patient care, are expected to promptly report relationship violence, stalking and sexual misconduct that they observe or learn about and that involves a member of the University community or which occurred at a University-sponsored event or on University property.

  13. Mandatory Reporters • Must report possible sexual misconduct, Stalking or relationship violence to OIE and the MSU Police.

  14. How Do I Report Sexual Misconduct, Stalking or Relationship Violence? • Reporting can be done in the following ways: • Go to the OIE website – www.oie.msu.edu and file a public incident report online • Email OIE at oie@msu.edu • Call OIE – 517-353-3922 • Go to OIE in person – Suite 4, Olds Hall • Call the MSU Police – 517-355-2221 for non-emergency matters

  15. OIE Investigation Process

  16. Employer’s Responsibilities During and Investigation • Decide whether interim employment actions are necessary • Work with Office of Employee Relations, Academic Human Resources, and/or the Office of Institutional Equity. • Communicate with OIE regarding interim actions. OIE will provide updates as pertinent information is found during the investigation. • Determine whether there are other violations of policy outside of the ADP and RVSMP that employer should take its own action on After an investigation • If a violation is found - Work with Office of Employee Relations, Academic Human Resources, and/or the Office of Institutional Equity to decide sanction • If no violation - Determine whether there are other violations of policy outside of the ADP and RVSMP that employer should take its own action on

  17. Questions and Discussion

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