New on WCET Frontiers
Practice
Professional Licensure Notifications & Disclosures for Out-of-State Courses/Programs
Published by: WCET | 2/7/2018
It seems like the complexity of compliance requirements increases each year. Luckily, we have WCET staff to provide updates on education regulations as we need them. Today, Cheryl Dowd, our Director of the State Authorization Network (SAN), is here to […]
Practice
Senate Weighs Innovation and Access Options in Reauthorizing Higher Ed Act
Published by: WCET | 1/26/2018
The Senate is moving ahead with deliberations on its version of a bill to reauthorize the Higher Education Act (HEA). Yesterday morning, the Health, Education, Labor, and Pensions Committee held a hearing focusing on “access and innovation.” Much was said […]
Practice
House HEA Proposes Changes for Distance Ed, CBE, and State Authorization
Published by: WCET | 12/4/2017
In a new bill regarding higher education rules proposed in the House of Representatives: all federal state authorization rules are ended, competency-based education gets a boost with “regular and substantive interaction” being redefined and expanded accreditation oversight, accreditation reviews for […]
Policy
E.U. Regulations that are Enforceable Against U.S. Higher Education Institutions
Published by: WCET | 11/27/2017
What do you know about the E.U.’s new General Data Protection Regulation (GDPR)? If you have not read up on this important regulation recently, never fear! Today, Cheryl Dowd, Director of the State Authorization Network, is here to provide background […]
Practice
Steps You Can Take Now to Address Accessibility at Your Institution
Published by: WCET | 11/15/2017
This week, WCET and the Online Learning Consortium (OLC), in conjunction with the National Center on Disability and Access to Education (NCDAE), a partner with WebAIM, jointly offer this blog on a topic of national interest to education communities. Thank […]
Practice
OIG Report on WGU, Part 3: A Brief History of ‘Regular and Substantive Interaction’
Published by: WCET | 10/17/2017
Thank you to Van Davis for this third entry on our series examining the U.S. Department of Education Office of Inspector General’s Audit Report of Western Governors University. Today, Van examines the changing nature of definitions used over time. Is […]
Policy
The OIG Report on WGU, Part 2: React…But Don’t Overreact
Published by: WCET | 10/3/2017
It has been more than a week since the U.S. Department of Education’s Office of Inspector General (OIG) issued its Final Audit Report declaring that “Western Governors University Was Not Eligible to Participate in the Title IV Programs.” Both of […]
Practice
On the OIG/WGU Finding, Part 1: When Interaction Is Not Interaction
Published by: WCET | 9/22/2017
Yesterday, the U.S. Department of Education’s Office of Inspector General (OIG) issued a report concluding: “We concluded that Western Governors University did not comply with the institutional eligibility requirement that limits the percentage of regular students who may enroll in […]
Practice
We Need YOU! …to comment on Federal State Authorization Regulations
Published by: WCET | 7/13/2017
The Department of Education seeks comments about higher education regulations that may be “appropriate for repeal, replacement, or modification.” WCET and the WCET State Authorization Network (SAN) will comment about the federal state authorization regulations that are scheduled to be […]
Policy
Federal Regulations: Delays, Reviews, and a Call for Comments
Published by: WCET | 7/6/2017
Federal higher education regulations are under fire and the Department of Education wants your input. Let’s give it to them. Only the Teacher Prep regulations suffered the quick death of the Congressional Review Act. Several other postsecondary consumer protection regulations […]