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Compliance Committee

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Title: Compliance Committee


1
Compliance Committee
  • Chairs SACS office
  • Lynn Grinnell, Ph.D. Deborah Boyle
  • Accreditation Liaison for SACS Staff
    Specialist
  • 727-341-3110 727-341-3321
  • Deb Montalvo
  • Operations Manager
  • Corporate Training Service
  • 727-341-4453

2
Agenda
  • Background
  • Compliance Committee process
  • Timeline
  • Training
  • Resources
  • Task assignment process

3
Background
  • Changes since last visit
  • No 450 must statements
  • Replaced with Integrity Compelling Evidence
  • Prior SACS visit is baseline expect that as
    minimum
  • Responsibility is with institution to make its
    case regarding compliance more subjective
  • Documents SACS prefers web-based
  • Compliance Certification
  • Quality Enhancement Plan (instead of self
    study/Project Edge)

4
Philosophical Basis
  • Commitment to Compliance
  • Commitment to Quality Enhancement
  • Integrity
  • Peer Review

5
Core Requirements
  • Twelve basic requirements which all institutions
    must meet to remain accredited
  • Core Requirements 1-11 are reviewed by an
    off-site team
  • Example 2.7.1 Program Length
  • The institution offers one or more degree
    programs based on at least 60 semester credit
    hours or the equivalent at the associate level
    at least 120 semester credit hours or the
    equivalent at the baccalaureate level The
    institution provides a written justification and
    rationale for program equivalency.
  • Core Requirement 12 (QEP) is reviewed by an
    on-site committee
  • The institution has developed an acceptable
    Quality Enhancement Plan and demonstrates that
    the plan is part of an ongoing planning and
    evaluation process.

6
Comprehensive Standards
  • Represent good practices in institutions of
    higher learning
  • Establish a level of competence expected of all
    members
  • Cover three areas
  • Institutional mission, governance, and
    institutional effectiveness
  • Programs
  • Resources
  • Examples
  • Section 3.4.1
  • The institution demonstrates that each
    educational program for which academic credit is
    awarded establishes and evaluates program and
    learning outcomes.
  • Section 3.5.1
  • The institution identifies college-level
    competencies within the general education core
    and provides evidence that graduates have
    attained those competencies.

7
Federal Regulations
  • US Government recognizes accreditation by SACS in
    determining eligibility for Title IV programs
  • Institutions are required to document compliance
    with criteria outlined by USDOE
  • Example Section 4.1
  • When evaluating success with respect to student
    achievement in relation to the institutions
    mission, the institution includes, as
    appropriate, consideration of course completion,
    state licensing examinations, and job placement
    rates.

8
Documenting compliance
  • Description of process (as brief as possible)
  • Timeline by which it functions
  • Who is responsible for the process
  • Compelling evidence that the process functions
    (and has been functioning)
  • Addresses all elements in the requirement

9
Compelling evidence
  • Guidance
  • Board Policy
  • Plans
  • Procedures
  • Implementation/Communication
  • Publications (manuals, newsletters, SOPs)
  • Website
  • Meetings (agendas, minutes)
  • Results
  • PeopleSoft reports
  • Accountability measures
  • Surveys
  • Assessments and evaluations
  • Feedback loop
  • Effect on strategic plans
  • Unit plans
  • Changes to procedures
  • Example 3.4.10 General Education Requirements
  • BOT policy Mission and goals
  • SOPs (?)
  • Implementation/Communication
  • College catalog
  • How else? Course outlines?
  • Data
  • Graduating student survey
  • Critical thinking test in Speech
  • Etc. (some missing/need revision)
  • Feedback Documentation of changes
  • E.g., Ethics unit plan

In addition to our compliance document, guidance,
implementation/communication, results, and
changes must be on-line
10
Review Process Overview
  • Review of compliance certification by off-site
    review committee
  • Report of off-site review committee shared orally
    or in writing with institution
  • Opportunity to respond/clarify issues from the
    off-site review (optional)
  • Review by on-site review committee of QEP and
    compliance issues identified by off-site
    committee (or which arise during on-site visit)
  • Report of on-site review committee sent to
    institution and Commission as basis for
    accreditation

11
Compliance Committee Process
12
Timeline
Document due Mar 15, 2006
13
Training
  • Basics - Today
  • Writing Next meeting
  • Notes from SACS
  • Last SACS visit documents
  • Current document from similar university
  • Sample (Corporate Training)
  • Website updates October
  • Discussion board
  • Committee members
  • Posting documents
  • Differences from Word, inserting Hyperlinks
  • Send whoever will be doing the typing

14
Resources
  • SACS resources
  • Last SACS document and supporting evidence
  • Cross-references to current evaluation standards
  • SACS document using current evaluation standards
  • People
  • Leadership team
  • Administrative assistants?
  • Content experts
  • SACS co-chairs
  • Project specialist
  • Website
  • Document posting
  • Linking to SPC website documents
  • Discussion boards

15
(No Transcript)
16
Team approach or individual assignments?
  • Individual
  • Mission
  • Governance
  • Administration
  • Institutional effectiveness
  • All educational programs
  • Campus
  • Distance
  • Outreach/partnerships
  • Undergraduate programs
  • Faculty
  • Library
  • Student affairs and services
  • Resources
  • Financial
  • Physical
  • QEP
  • Teams
  • Mission, governance, and administration
  • Institutional effectiveness
  • Educational programs
  • Faculty
  • Student services
  • Resources
  • Policies
  • Quality
  • Support
  • Technology

Individual written assignments and Team reviews?
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