Good afternoon,
Attached is the letter that Commissioner Cardona just sent to your superintendents regarding data privacy. In sum, for new technology you are looking to
onboard, you do not need to pursue separate contracts. Instead, if the vendor has signed the
Student Data Privacy Pledge on the Hub, that suffices for compliance.
As always, and especially with this change, please encourage vendors to sign the Pledge, a single effort on their part that opens the door 200 local education
agencies in the state to use their product(s). We are trying to make this easy for them — and take the burden off you — by providing background and even
model language from our Web site (vendor section here). Still, at the end of the day, it remains the decision of companies
whether they will comply or not.
Regards,
Doug
From: Casey, Doug <Doug.Casey@ct.gov>
Sent: Sunday, March 22, 2020 7:33 PM
To: casl-l@mylist.net
Subject: Data Privacy and COVID-19
Good evening,
This note provides an update on the student data privacy law in Connecticut, in the context of remote learning. As background, a number of districts have asked whether
there will be a waiver of our statute, given the pressure schools are under to implement remote learning programs. Since the closure of schools, many companies have offered assistance in the form of free licenses and support, but districts then face the task
of reviewing terms and pursuing separate contracts with these providers, not the ideal path to onboarding technology rapidly.
Following multiple discussions with CSDE and DAS leaders and counsel, I can tell you that we are looking for a smart solution that balances student data privacy — especially
in a time where the potential for abuses is running high — with the power of educational technology to support remote learning. Following these discussions, the Governor released
Executive Order 7I last night (item 5, page 6), which provides flexibility regarding data privacy.
This provision does not in itself waive the data privacy law but does give Commissioner Cardona the authority to do so. He should be issuing guidance on the matter in
the near future, reflecting thoughtful considerations to streamline compliance work while still protecting student data, records, and information. As soon as that guidance is available (likely sent to superintendents directly), I will share it with the listserv
as well.
Best,
Doug
Doug Casey | Executive Director
Connecticut Commission for Educational Technology
Department of Administrative Services
55 Farmington Avenue
Hartford, CT 06105
Office: (860) 622-2224
www.CT.gov/CTEdTech