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National Association of Student Financial Aid Administrators © NASFAA 2011 The following is a presentation prepared for MASFAA Foxborough, MA November 2-3, 2011
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National Association of Student Financial Aid Administrators © NASFAA 2011 How to Research Questions David Futrell Training Specialist Division of Training & Regulatory Assistance
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Slide 3 © NASFAA 2011 How to Research Questions Where do you go to find an answer about the Title IV programs?
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Slide 4 © NASFAA 2011 Hierarchy of Resources Statutory Regulatory Subregulatory
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Slide 5 © NASFAA 2011 Statutory Resources Laws creating and amending the Title IV programs Higher Education Act of 1965, as amended NASFAA maintains searchable compilation of Title IV legislation on its website under Members/Professional Practice Tools tabs The law supersedes regulations Federal law takes precedence over state law
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Slide 6 © NASFAA 2011 Statutory Resources Statement of Managers Often accompanies Conference Report resolving differences between Senate and House of Representatives bills Identifies differences Summarizes each chamber’s position States conferees’ recommendations Often provides insight into conferees’ intent
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Slide 7 © NASFAA 2011 Regulatory Resources Regulations –Govern actions of program participants –Provide procedural guidance in the management of the programs –Have the “force of law” Preambles to Notices of Proposed Rulemaking (NPRMs) and final rules
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Slide 8 © NASFAA 2011 Subregulatory Resources Help decipher meaning of regulations Available on the Department of Education’s (ED’s) Information for Financial Aid Professionals (IFAP) website Major subregulatory resources are FSA Handbook, Dear Colleague Letters, Electronic Announcements, and other ED guides
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Slide 9 © NASFAA 2011 Subregulatory Resources Includes ED guidance in areas that the law prohibits ED from regulating, such as: Part F of the HEA –Need analysis –Professional judgment authority
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Slide 10 © NASFAA 2011 Development of Regulations Title IV regulations developed through negotiated rulemaking Involves representatives of affected groups Goal is to achieve consensus on proposed rule language of regulatory package under consideration –If consensus on all issues, ED must abide by agreement –If consensus not reached, ED free to construct proposed rule language as it sees fit
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Slide 11 © NASFAA 2011 Development of Regulations Results of negotiated rulemaking published as NPRM in the Federal Register for public comment After NPRM comment period over, ED: –Reviews comments –Incorporates changes –Publishes final rule or interim final rule
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Slide 12 © NASFAA 2011 Preambles to NPRMs and Final Rules Identify regulatory parts, programs affected, and action being taken Contain summary statement identifying –Purpose of the regulation –Broad topics covered Lists individual(s) and contact information for further information about the package
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Slide 13 © NASFAA 2011 Preamble to a NPRM Contains background information about the proposed changes Applicable statutory and/or current regulatory references Description of what would change ED’s reason(s) for making the change
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Slide 14 © NASFAA 2011 Preamble to a Final Rule Identifies date the regulations become effective –May have more than one effective date –May have implementation date that differs from the effective date Summarizes comments received and includes ED’s responses to comments –If change made, notes and explains change made –If no change made, explains reason(s) ED did not make the change
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Slide 15 © NASFAA 2011 Structure of Title IV Regulations Regulations governing the Title IV programs are in the Code of Federal Regulations (CFR) CFR divided into 50 Titles –Regulations relating to education designated as Title 34 of the Code of Federal Regulations or 34 CFR Each Title divided into parts
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Slide 16 © NASFAA 2011 Parts of 34 CFR Part 86 Drug Free Schools and Campus Part 99 Family Education Rights and Privacy Part 600 Institutional Eligibility Part 601 Institution and Lender Requirements Relating to Education Loans Part 602 Secretary’s Procedures and Criteria for Recognition of Accrediting Agencies Part 603 Secretary’s Recognition Procedures for State Agencies
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Slide 17 © NASFAA 2011 Parts of 34 CFR Part 668 Student Assistance General Provisions Part 673 General Provisions for Federal Perkins Loan, Federal Work-Study and Federal Supplemental Educational Opportunity Grant Programs Part 674 Federal Perkins Loan Program Part 675 Federal Work-Study Program Part 676 Federal Supplemental Educational Opportunity Grant Program
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Slide 18 © NASFAA 2011 Parts of 34 CFR Part 682 Federal Family Education Loan Programs Part 685 William D. Ford Federal Direct Student Loan Program Part 686 Teacher Education Assistance for College and Higher Education (TEACH) Grant Program Part 690 Federal Pell Grant Program Part 694 Gaining Early Awareness and Readiness for Undergraduate Programs (GEAR UP)
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Slide 19 © NASFAA 2011 Parts of 34 CFR Each Part divided into sections Sections are composed of paragraphs of increasingly specific levels: Level 1(a), (b), (c), etc.§ 668.22(a) Level 2(1), (2), (3), etc.§ 668.22(a)(1) Level 3(i), (ii), (iii), etc.§ 668.22(a)(1)(i) Level 4(A), (B), (C), etc.§ 668.22(a)(1)(i)(A) Level 5(1), (2), (3), etc.§ 668.22(a)(1)(i)(A)(1) Level 6(i), (ii), (iii), etc.§ 668.22(a)(1)(i)(A)(1)(i)
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Slide 20 © NASFAA 2011 Parts of 34 CFR Sections are followed by subsections (lower case letter) Subsections are divided into paragraphs (Arabic number) Paragraphs are followed by clauses (lower case Roman numerals) Clauses are followed by phrases (capital letters, then italicized Roman numerals)
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Slide 21 © NASFAA 2011 Parts of 34 CFR Example: 668.22(f) Percentage of payment period or period of enrollment completed. (1) For purposes of paragraph (e)(2)(i) of this section, the percentage of the payment period or period of enrollment completed is determined— (i) In the case of a program that is measured in credit hours, by dividing the total number of calendar days in the payment period or period of enrollment into the number of calendar days completed in that period as of the student's withdrawal date; and (ii)(A) In the case of a program that is measured in clock hours, by dividing the total number of clock hours in the payment period or period of enrollment into the number of clock hours scheduled to be completed as of the student’s withdrawal date.
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Slide 22 © NASFAA 2011 On-Line Compilations of Title IV Regulations Government Printing Office (GPO) Electronic Code of Regulations e-CFR at: http://ecfr.gpoaccess.gov/cgi/t/text/text-idx?c=ecfr&tpl=%2Findex.tpl NASFAA Compiled Title IV Regulations on NASFAA website under Members/Professional Practice Tools tabs
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Slide 23 © NASFAA 2011 Exercise Using Regulations 1.Is this a Notice of Proposed Rulemaking, or is this a final rule? Final Rule p. 66832, first column, “Action”
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Slide 24 © NASFAA 2011 Exercise Using Regulations 2.What parts of the Code of Federal Regulations are being amended, and what programs are affected? Parts 600, 602, 603, 668, 682, 685, 686, 690, and 691 FFEL, Federal Direct Loan, TEACH, Federal Pell Grant, ACG, SMART p. 66832, first column, “Summary”
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Slide 25 © NASFAA 2011 Exercise Using Regulations 3.Why was it necessary to publish these regulations? To improve program integrity in the programs authorized under the Tile IV of the HEA p. 66832, first column, “Summary”
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Slide 26 © NASFAA 2011 Exercise Using Regulations 4.What is the effective date of these regulations? July 1, 2011, with the exception of the revision of subpart E of Part 668, Verification and Updating of Student Aid Application Information. Revised Subpart E of Part 668 is effective July 1, 2012. p. 66832, first column, “Dates”
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Slide 27 © NASFAA 2011 Exercise Using Regulations 5.Did ED designate any regulation for early implementation? No p. 66833, middle column, second paragraph under “Implementation Date of These Regulations”
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Slide 28 © NASFAA 2011 Exercise Using Regulations 6.Who at ED is identified as able to answer questions about the provisions related to misrepresentation? Carney McCullough or Vanessa Freeman p. 66832, middle of second column, under “For Further Information Contact”
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Slide 29 © NASFAA 2011 Exercise Using Regulations 7.Suppose you want to refer back to the NPRM that proposed making the major changes in this final rule package. Where would you look? Federal Register of June 18, 2010, pp. 34808 through 34848 p. 66832, bottom of middle column under “Supplementary Information” pp. 66879 and 66880
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Slide 30 © NASFAA 2011 Exercise Using Regulations 8.Where does ED explain the treatment of a 2010 summer payment period under the new satisfactory academic progress requirements, and what is that treatment? Schools may decide the 2010 summer crossover will be subject to the school’s current SAP policy (i.e., under the prior rules) or the school’s new SAP policy (i.e., under the new rules) pp. 66880 to 66883, middle column, first “Discussion” paragraph and “Frequency of Evaluation”
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Slide 31 © NASFAA 2011 Exercise Using Regulations 9.Did ED, based on the comments received, make any changes to the proposed rules regarding the frequency with which schools must evaluate satisfactory progress? If so, what was the change? Yes. For programs that are longer than an academic year, 668.34(a)(3)(ii) was revised to provide that satisfactory progress is measured at the end of the payment period or at least annually to correspond to the end of a payment period. p. 66882, middle column under first “Changes” p. 66883, subsection “Pace”
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Slide 32 © NASFAA 2011 Exercise Using Regulations 10.When calculating the student’s pace in completing his or her program of study, how is remedial coursework treated? Schools have the option of including remedial coursework when calculating pace. p. 66883, middle column, under first “Discussion” p. 66883 and 66884, subsection “Transfer Credits”
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Slide 33 © NASFAA 2011 Exercise Using Regulations 11.What does ED say about students who change majors? Schools can set their own SAP policy that deals with major changes as they relate to the measurement of the maximum timeframe. If a school chooses to limit the number of major changes that it will allow a student, it may do so. p. 66884, first column, second paragraph under “Discussion” pp. 66884 through 66886, subsection “Financial Aid Probation and Financial Warning Statuses”
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Slide 34 © NASFAA 2011 Exercise Using Regulations 12.What reasons does ED provide for requiring that a student submit an appeal before placing the student on an academic plan? ED believes that a student should explain the reason he or she has not been able to meet the SAP standards and what has changed in his or her situation. It is important that the student have ownership in his or her current situation and the resulting academic plan, with an understanding of the consequences the student faces if he or she fails to follow the academic plan. p. 66885, bottom quarter of middle column under “Discussion” pp. 66886 through 66887, subsection “Maximum Timeframe”
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Slide 35 © NASFAA 2011 Exercise Using Regulations 13.Suppose a student completes a bachelor’s degree and enrolls in a second bachelor’s degree program. If coursework completed for the first program also counts toward the second program, how does the school apply the 150% maximum timeframe? The 150 percent maximum timeframe applies to the student’s current program of study, and the school has the flexibility in determining how previously taken coursework applies to the student’s current program of study. pp. 66886 to 66887, under “Discussion” pp. 66953 and 66954, section 668.34, under final rule
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Slide 36 © NASFAA 2011 Exercise Using Regulations 14.How does a school calculate the pace at which a student is completing his or her program, and where is this information in the regulations? Pace is calculated by dividing the cumulative number of hours the student has successfully completed by the cumulative number of hours the student has attempted. 668.34(a)(5)(ii)
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Slide 37 © NASFAA 2011 Exercise Using Regulations 15.If a school’s SAP policy does not allow appeals, what must the school’s SAP policy state, and where is this information found in the regulations? The policy must describe how the student may re-establish his or her eligibility to receive Title IV funds. 668.34(a)(10)
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Slide 38 © NASFAA 2011 Exercise Using Regulations 16.What is the 150% maximum timeframe for graduate programs, and where is this information found in the regulations? The school defines the 150 percent maximum timeframe based on the length of the student’s program of study. 668.34(b), Maximum timeframe, (3)
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Slide 39 © NASFAA 2011 ContactQuestions? askregs@nasfaa.org
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