This applies only to those students who officially enroll at the University of La Verne. Most students will not have each document type as listed below. This is a comprehensive list of all possible documents types for all students at all levels.
The documentation and archiving of student data is critical to ensure the accuracy, privacy and integrity of student records. Each administrative office or division has responsibility for ensuring appropriate use, storage, retention and destruction of university student records in accordance with established records management practices consistent with this policy. The list of documents and data included in a student record with the time period of retention is viewable at the end of this statement. This list will be periodically reviewed and updated as necessary. The University of La Verne is committed to record management and retention of student educational records in accordance with applicable laws and regulations as well as established best practices, reasonable best judgment, and common sense. Management and retention of records must meet legal standards, preserve university history, and ensure that redundant, outdated and useless records are destroyed using secured protocols (Red Flag shredding and purging of digital files).
Administrative offices/units are designated as official repositories and have the responsibility for meeting records management standards to ensure all student educational records are securely stored and/or destroyed. Note, regardless of the medium (hard copy or electronic) of the record and how the record is stored, does not change the length of time the record is to be retained. The protection of security and privacy of student information housed in each of the administrative units must have the highest priority in both the maintenance and destruction of records.
External agencies that we must be in compliance with include, but are not limited to, the Department of Education, FERPA, State of California, Accreditation, Auditors, Veteran Affairs, and IRS. It should also be noted here that all student information/data should be protected as a daily standard practice in accordance with the Family Educational Rights and Privacy Act. The University of La Verne does have contracts with outside agencies to provide services for students. The outside agency must provide verification of secured data storage and destruction.
A record is defined as any “writing” regardless of physical form or characteristics, containing information related to a student that is prepared, owned, used or retained by any of the offices/ individuals at the University of La Verne. The term “writing” is defined as any and all forms of information/data including, but not limited to, written communications, notes, photocopies, emails, photos in any medium (e.g. handwritten, print, tape, film, microfilm, microfiche, and any form of electronic data storage including emails).
For the purpose of this document, the record type is only in reference to Student Educational Records. FERPA defines Student Educational Records as those records “that are directly related to a student and are maintained by an educational agency or institution or by a third party acting on behalf of the agency or institution.” (Rooker and Faulkner 2012, 7)
A complete inventory of what is considered part of the student educational records at the University is listed at the end of this document. Records generated as electronic mail (as email or attachments) should be retained as either paper copies or scanned to the University document imaging system with appropriate storage and back-up protocols. E-mail is retained on university servers in reference to student records for no longer than 5 years.
Note only those records with a students identification should be included in their hard copy file or electronic file. Documents with multiple students names must have all other student data removed or blocked.
The retention period is the maximum/minimum length of time a record must be kept by the university records retention policy. The retention period as indicated in the schedule below means the records must be kept until the designated time period has ended. For the University of La Verne the retention period starts at the end of the students last semester/term of attendance or the date of degree completion, whichever comes later.
A retention schedule identifies all records to be maintained and designates the time period that the record must be retained. At the end of this document, you will find the University of La Verne Student Academic Records Retention Schedule. The schedule describes types of documents and provides the length of time each documents must be retained. The list also includes the retention policy for electronic documents versus hard copy documents. Please note this list will change as we continue to move more documents to be stored in the student’s electronic file. The length of time is based upon guidelines provided by the American Association of Collegiate Registrars and Admission Officers (AACRAO).
Administrative units and divisions outside of the Office of the Registrar may hold records longer than the retention period. It is up to each of these individual administrative units to determine their retention period and ensure the records are appropriately destroyed.
Responsible parties including but not limited to:
Each administrative office or division has responsibility to periodically assesses which University records in his/her office or division have reached their retention period and should be destroyed in accordance within this retention policy. All student records must be destroyed via the Red Flag shredding process for hard copy documents and scheduled digital purging. This includes redundant student academic records that may be created in the normal course of business.
The treatment and destruction of redundant records need to be treated the same as all student academic records. The records need to be in a secured area until sent to Red Flag shredding.
Destruction of student records needs to be coordinated with the Purchasing Department and clearly marked as Red Flag. The Purchasing Department has responsibility to ensure the documents are secured and signed off as being destroyed in a controlled condition.
All University employees have responsibility to maintain student academic records in a safe, secure, and retrievable way. All must adhere to the following practices
Direct any questions about this policy or about an individual student records to the University Registrar. Concerns regarding the University being in compliance with the above policy should be addressed to the University General Counsel.
*May have additional stipulations as per their professional accrediting bodies